usa sports v. onnit labs - complaint
DESCRIPTION
USA Sports v. Onnit Labs - ComplaintTRANSCRIPT
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IN THE UNITED STATES DISTRICT COURTFOR THE WESTERN DISTRICT OF TEXAS
AUSTIN DIVISION
USA SPORTS, INC.
Plaintiff,
v.
ONNIT LABS, LLC
Defendant.
CASE NO. 1:15cv00125
ORIGINAL COMPLAINT
For its complaint against Onnit Labs, LLC (“Onnit) plaintiff USA Sports, Inc. (“USA Sports”)
alleges:
PARTIES
1. USA Sports is a corporation organized under the laws of the State of Texas and
has its principal place of business in Houston, Texas.
2. Onnit is a corporation organized under the laws of the State of Texas
and had its principal place of business within this judicial district.
NATURE OF ACTION, JURISDICTION AND VENUE
3. This is an action for: (a) patent infringement under the Patent Act, 35 U.S.C. § 1
et seq.; (b) infringement of unregistered trademarks under the Lanham Act, 15 U.S.C. § 1125(a); and
(c) related state common law claims.
4. This Court has subject matter jurisdiction under 28 U.S.C. § 1331 (Federal
Question), § 1338 (Patent, Trademark and Unfair Competition) and § 1367 (Supplemental
Jurisdiction), and/or 15 U.S.C. § 1121 (Lanham Act).
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5. Venue is proper under 28 U.S.C. §§ 1391(b) & (c), § 1400(a), and/or § 1400(b)
because, among other things, defendant Onnit resides in this district and has its principal place of
business in this district; because a substantial part of the events or omissions giving rise to the claims
occurred in this District; and/or because a substantial part of the property that is the subject of this
action is situated in this District.
FACTS COMMON TO ALL COUNTS
USA Sports Property Rights
7. USA Sports is the owner by assignment of U.S. Patent No. D672,416 issued
December 11, 2012 (the “‘416 Design Patent”), which is valid and enforceable. The ‘416 Design
Patent is directed to an ornamental design for a wall ball. A true and correct copy of the ‘416 design
patent is attached as Exhibit A.
8. At all times relevant to this action, USA Sports has complied with any notice
provisions of 35 U.S.C. § 287 as they may relate to the ‘416 Design Patent.
9. Over the years, USA Sports has manufactured, or had manufactured for it, and
sold a wide variety of athletic equipment. Among its better-known products are products sold
under its famous registered VTX trademark.
10. Years ago, USA Sports began utilizing a unique trade dress for certain
products sold under the VTX mark (the “VTX Trade Dress”) including, specifically, its wall ball
products. The unique trade dress is generally reflected in the images below:
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12. As will be noted in the images provided above, the VTX Trade Dress for USA Sports’ VTX
wall ball products includes material panels that have the general appearance of a “V” and other
panels that have the general appearance of an “X.” The shape and design of these panels was
selected by USA Sports to associate the VTX wall ball product with USA Sport’s famous VTX
trademark.
13. The overall appearance of the USA Sports’ wall balls using the VTX Trade Dress provides a
certain distinctive and non-functional appearance that, taken as a whole in combination, identifies
the wall balls as originating exclusively with USA Sports.
14. USA Sports has used and actively promoted the VTX Trade Dress to identify to
customers and users the high quality wall ball products it sells extensively throughout the United States
and other parts of the world.
15. USA Sports has sold substantial numbers of wall balls bearing the VTX Trade
Dress. USA Sports has extensively advertised, marketed, and promoted its wall balls bearing the VTX
Trade Dress. USA Sports’ wall balls bearing the VTX Trade Dress are well known and well respected
for quality and dependability.
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16. The VTX Trade Dress has developed a secondary meaning within the relevant
market, which meaning signifies quality wall balls originating with a single source, USA Sports.
17. The VTX Trade Dress is inherently distinctive as to wall balls, and is now
famous for wall balls.
Defendants’ Improper Activities
18. Onnit has offered for sale, exposed for sale, and sold and is currently offering and exposing
for sale various sizes of the Onnit Battle Ball.
19. Onnit engaged in the acts set forth in the previous paragraph, in part,
through its website, www.onnit.com. A portion of a page from that website exposing the Onnit Battle
Ball products for sale is reproduced below:
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COUNT I
Infringement of the ‘416 Design Patent
20. The allegations in the preceding paragraphs of this Complaint are hereby restated
and incorporated by reference.
21. Defendants have committed acts of direct and indirect patent infringement by
making, using, selling, offering to sell, and/or importing wall balls that infringe the ‘’416 Design
Patent.
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22. Defendants have applied the design of the ‘416 Design Patent, or a
colorable imitation thereof, to an article of manufacture for the purpose of sale and/or have sold or
exposed for sale articles of manufacture to which the design or colorable imitation has been applied.
As such, they are liable to USA Sports for their total profit under 35 U.S.C. § 289.
23. As a result of USA Sports’ activities, its prior purchase of USA Sports’ VTX wall balls,
USA Sports consistent marking of its VTX wall ball products with the patent number for the ‘416
Design Patent, Onnit is believed to have knowledge of the ‘416 Design Patent and to have had such
knowledge as of the time it adopted its current design for the Onnit Battle Ball wall ball products. As
such, Onnit’s infringement of the ‘416 Design Patents is deliberate and willful. The allegations and
factual contentions set forth in this paragraph have evidentiary support and are likely to have additional
evidentiary support after a reasonable opportunity for further investigation or discovery. See Fed. R.
Civ. P. 11(b)(3).
COUNT II
Trade Dress Infringement under the Lanham Act
24. The allegations in the preceding paragraphs of this Complaint are hereby restated
and incorporated by reference.
25. Without authorization, Onnit has used in connection with
goods, and continue to use in interstate commerce and/or in commerce between the United States and
foreign nations, a symbol or device in the form of a reproduction, or copy of the USA Sports VTX
Trade Dress, which is likely to cause confusion, or to cause mistake, or to deceive as to Page the
affiliation, connection, or association of Onnit, or as to the origin, sponsorship, or approval of their
goods or commercial activities. Onnit is liable for such unauthorized use under 15 U.S.C. §
1125(a)(1)(A).
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26. As a result of such unauthorized use of a counterfeit, reproduction, or copy of the
USA Sports VTX Trade Dress, USA Sports has suffered damages in the form of lost sales, lost profits,
and injury to its goodwill and business reputation symbolized by the USA Sports VTX Trade Dress.
27. Further, as a result of such unauthorized use, Onnit has made unjust profits and ill-gotten
gains from the sale of its goods by trading on the reputation and goodwill associated with the USA
Sports VTX Trade Dress.
28. In addition, USA Sports will be irreparably harmed and damaged by the
continuation of such unauthorized use and does not have adequate remedies at law.
COUNT III
Trademark and Trade Dress Infringement under Texas Common Law
40. The allegations in the preceding paragraphs of this Complaint are hereby restated
and incorporated by reference.
41. Onnit’s conduct and actions set forth above constitute
trademark and trade dress infringement in violation of the common law of Texas.
42. As a result of such infringement, USA Sports has suffered damages in the form of
lost sales and lost profits and USA Sports has suffered injury to its goodwill and business reputation
symbolized by the USA Sports VTX Trade Dress.
43. Further, as a result of such infringement, Onnit has made unjust profits and ill-
gotten gains from the sale of its goods by trading on the reputation and goodwill associated with the
VTX Trade Dress.
44. In addition, USA Sports will be irreparably harmed and damaged by the
continuation of such unauthorized use. USA Sports’ complete remedies at law for the continuation
of such infringement are inadequate.
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COUNT IV
Unfair Competition under Texas Common Law
48. The allegations in the preceding paragraphs of this Complaint are hereby restated
and incorporated by reference.
49. Onnit’s conduct and actions set forth above constitute unfair competition in violation of
the common law of Texas.
50. As a result of such unfair competition, USA Sports has suffered damages in the
form of lost sales and lost profits and USA Sports has suffered injury to its goodwill and business
reputation symbolized by the VTX Trade Dress.
51. Further, as a result of such unfair competition, Onnit has made unjust profits and ill-gotten
gains from the sale of its goods by trading on the reputation and goodwill associated with the VTX
Trade Dress.
52. In addition, USA Sports will be irreparably harmed and damaged by the
continuation of such unfair competition and does not have adequate remedies at law.
COUNT V
Unjust Enrichment under Texas Common Law
53. The allegations in the preceding paragraphs of this Complaint are hereby restated
and incorporated herein.
54. Onnit’s conduct and actions set forth above constitute
unjust enrichment under the common law of Texas.
55. USA Sports is thus entitled to disgorgement of the unjust profits made by
Onnit.
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PRAYER
WHEREFORE, USA Sports requests judgment against Onnit as follows:
1. A preliminary and permanent injunction against the patent and trade dress infringement and
unfair competition in such form as the Court deems just;
2. An award of Onnit’s profits for infringement of the VTX Trade Dress, increased as the
Court deems just;
3. An award to USA Sports of damages for trade dress infringement and unfair competition,
increased to three fold as the Court deems just;
4. An award to USA Sports of damages for patent infringement, including an award of profits
under 35 U.S.C. § 289;
5. An award of attorney fees based on a finding that this is an exceptional case pursuant to 15
U.S.C. § 1117(a);
6. An award of attorney fees and enhanced damages based on a finding that this is an
exceptional case pursuant to 15 U.S.C. § 1117(a);
7. That this case be declared exceptional under the patent laws and this Court award enhanced
damages under 35 U.S.C. § 284; and attorney fees and costs under 35 U.S.C. § 285 or other
applicable statute;
8. An award of compensatory damages under the state law claims;
9. An award of punitive damages under the state law claims;
10. An award of Onnit’s unjust profits and ill-gotten gains under the unjust enrichment claim;
12. An award of prejudgment interest and costs of the action; and
13. Such other and further relief as the Court may deem just and proper
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February 11, 2015 Respectfully submitted,
/s/ Robert J. McAughan, Jr.Robert J. McAughan, Jr.Attorney In ChargeTX State Bar No. [email protected] L. TerrellTX. State Bar No. [email protected] MCAUGHAN DEAVER PLLCThree Riverway, Suite 900Houston, TX 77056(713) 800-5700 (T)(713) 800-5699 (F)
Attorneys for PlaintiffUSA Sports, Inc.
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USO0D672416S
US D672,416 S 4* Dec. 11, 2012
(12) United States Design Patent (10) Patent N0.: Lien et a]. (45) Date of Patent:
(54) WALL BALL 7,201,670 B2* 4/2007 Ninomiya etal. .......... .. 473/374 D590,460 S * 4/2009 Hirata et a1. ..... .. .. D21/713
* .
(75) Inventors: Louis Lien, Bellaire, TX (US); Naseer 2009/0062043 A1 3/2009 Welhngton’ Jr‘ """""" " 473/604
Ahmed, Sialkot (PK) FOREIGN PATENT DOCUMENTS _ CH 29749-0001 * 8/2003
(73) Ass1gnee: USA Sports, Inc., Houston, TX (US) CN 301201695 4 5/2010 EM 000595806-0003 * 12/2006
GB 1014218 * 1/1984 _ GB 2074108 * 8/1998
(21) Appl. No.. 29/416,902 W0 13071297009 * 6/2009
(22) Filed: Mar. 28, 2012 * Cited by examiner
(51) LOC (9) Cl. ................................................ .. 21-02 Primary Examiner i Catherine Turtle
(52) US. Cl. .................................................... .. D21/713 (74) Attorney] Agent] 0,, Firm i Osha Liang LLP (58) Field of Classi?cation Search ....... .. D2l/707i7l4;
446/220e226; 473/569e577, 5934615, FOR. (57) CLAIM 1344FOR_ 167 The ornamental design for a wall ball, as shown and
See application ?le for complete search history. described
(56) References Cited DESCRIPTION
U_S_ PATENT DOCUMENTS FIG. 1 is a front View of the wall ball showing our new design; FIG. 2 is a right side View thereof, the left side View being
1,438,226 A * 12/1922 Edwards ..................... .. 473/607 .d . 1 h _ 1,669,198 A * 5/1928 Greer .... .. 473/597 1 emlc?‘ t ere/t0’ _ D270,851 S * 10/1983 Feger , , , , , , , , , , , , , , ,, D21/713 FIG.31sabottomv1ew thereof; and,
D306,470 S * 3/1990 Norman et a1. .. D21/713 FIG, 4 is a top View thereof.
133571958 S : 5;1995 Alalcllero, Jr~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~~ 1321713 The broken lines are included for the purpose of illustrating g * ; gills ' ' ' ' ' ' ' ' ' ' ' " portions of the wall ball that form no part of the claimed
D452,721 S * 1/2002 Sonntag D21/713 deslgn' D510,113 S * 9/2005 Kelly D21/713 D533,239 S * 12/2006 Yang .......................... .. D2l/7l3 1 Claim, 2 Drawing Sheets
Case 1:15-cv-00125 Document 1-1 Filed 02/11/15 Page 1 of 3
US. Patent Dec. 11,2012 Sheet 1 of2 US D672,416 S
Case 1:15-cv-00125 Document 1-1 Filed 02/11/15 Page 2 of 3
US. Patent Dec. 11,2012 Sheet 2 of2 US D672,416 S
Case 1:15-cv-00125 Document 1-1 Filed 02/11/15 Page 3 of 3
CIVIL COVER SHEET
(SEE INSTRUCTIONS ON NEXT PAGE OF THIS FORM.)
I. (a) PLAINTIFFS DEFENDANTS
(b)
(EXCEPT IN U.S. PLAINTIFF CASES) (IN U.S. PLAINTIFF CASES ONLY)
(c) (Firm Name, Address, and Telephone Number) (If Known)
II. BASIS OF JURISDICTION (Place an “X” in One Box Only) III. CITIZENSHIP OF PRINCIPAL PARTIES (Place an “X” in One Box for Plaintiff(For Diversity Cases Only) and One Box for Defendant)
PTF DEF PTF DEF
(U.S. Government Not a Party) or
and(Indicate Citizenship of Parties in Item III)
IV. NATURE OF SUIT (Place an “X” in One Box Only)
CONTRACT TORTS FORFEITURE/PENALTY BANKRUPTCY OTHER STATUTES
PERSONAL INJURY PERSONAL INJURY
PROPERTY RIGHTS
LABOR SOCIAL SECURITYPERSONAL PROPERTY
REAL PROPERTY CIVIL RIGHTS PRISONER PETITIONS FEDERAL TAX SUITS
Habeas Corpus:
IMMIGRATION
Other:
V. ORIGIN (Place an “X” in One Box Only)
(specify)
VI. CAUSE OF ACTION
(Do not cite jurisdictional statutes unless diversity)
VII. REQUESTED INCOMPLAINT:
CLASS ACTION DEMAND $
JURY DEMAND:
VIII. RELATED CASE(S)IF ANY (See instructions):
FOR OFFICE USE ONLY
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Case 1:15-cv-00125 Document 1-2 Filed 02/11/15 Page 1 of 2
INSTRUCTIONS FOR ATTORNEYS COMPLETING CIVIL COVER SHEET FORM JS 44
I.(a) Plaintiffs-Defendants.
(b) County of Residence.
(c) Attorneys.
II. Jurisdiction.
. ; NOTE: federal question actions take precedence over diversitycases.
III. Residence (citizenship) of Principal Parties.
IV. Nature of Suit.
V. Origin.
VI. Cause of Action. Do not cite jurisdictionalstatutes unless diversity.
VII. Requested in Complaint.
VIII. Related Cases.
Date and Attorney Signature.
Case 1:15-cv-00125 Document 1-2 Filed 02/11/15 Page 2 of 2