APPLICANT CLAIMS EXCLUSIVE RIGHTS

Brand Owner (click to sort) Address Description
BOVINE 'N' SWINE'S Ryan Boys, Inc. 300 S GREENWICH RD BLDG 21 WICHITA KS 67207 Applicant claims exclusive rights to use the mark in the area comprising the entire United States, except for the following states: Alabama, Connecticut, Delaware, Florida, Georgia, Illinois, Indiana, Kentucky, Maine, Maryland Massachusetts, Michigan, Minnesota, Mississippi, New Hampshire, New Jersey, New York, North Carolina, Ohio, Pennsylvania, Rhode Island, South Carolina, Tennessee, Vermont, Virginia, West Virginia, and Wisconsin.;BOVINE AND SWINES;restaurant services;
ESKIMO PIE MINIATURES ESKIMO PIE CORPORATION Richmond VA APPLICANT CLAIMS EXCLUSIVE RIGHTS TO USEOF THE WORD MINIATURES AS PART OF ITS MARK, BUT NOT OTHERWISE .;FROZEN DESSERTS-NAMELY, ICE CREAM;
ESPLANADE WORTH AVENUE WORTH AVENUE ASSOCIATES, LTD. 777 S. FLAGLER DRIVE WEST PALM BEACH FL 33401 Applicant claims exclusive rights to the words Worth Avenue only in the mark as shown in the drawing, but disclaims none of its common law rights in the mark or any part thereof.;SHOPPING CENTER SERVICES-NAMELY, LEASING OF SHOPPING CENTER SPACE;
HONEY WAX STONER, INC. 1070 RobertFulton Highway Quarryville PA 17566 APPLICANT CLAIMS EXCLUSIVE RIGHTS TO USE OF THE WORD WAX AS PART OF THE MARK SHOWN, BUT NOT OTHERWISE.;MOLD RELEASE COMPOUND;
RING DOPE E TOTALENERGIES MARKETING USA, INC. 1201 LOUISIANA STREET SUITE 1800 HOUSTON TX 77002 APPLICANT CLAIMS EXCLUSIVE RIGHTS TO THE WORDS RING DOPE AS PART OF THE MARK SHOWN, BUT NOT OTHERWISE.;LUBRICANT FOR SWABBING THE RINGS OF GLASSWARE MAKING MACHINES;
SCIENCE DIET Hill's Pet Nutrition, Inc. 400 SW Eighth Avenue Topeka KS 66603 APPLICANT CLAIMS EXCLUSIVE RIGHTS TO USE OF THE WORD DIET AS PART OF ITS MARK, BUT NOT OTHERWISE.;FOOD PRODUCTS FOR ANIMALS-NAMELY, PRIMATES, FELIDAE, AND CANIDAE;
SHINGLE SHAKES REYNOLDS METALS COMPANY Richmond VA APPLICANT CLAIMS EXCLUSIVE RIGHTS TO USE OF THE WORDS SHINGLE AND SHAKES AS PART OF ITS MARK, BUT NOT OTHERWISE WITHOUT WAIVING ANY COMMON LAW RIGHTS THERETO.;ALUMINOUS METAL ROOFING AND SIDING COMPONENTS;
SOCK TUCKER CECIL A. GORDON ADVERTISING ASSOCIATES,INC. 17 CHURCH ST. PATERSON NJ APPLICANT CLAIMS EXCLUSIVE RIGHTS TO THEUSE OF THE WORD SOCK AS PART OF ITS MARK, BUT NOT OTHERWISE.;SOCK, HOSIERY AND LINGERIE SORTERS;
THE GARMENT DISTRICT ARNOLD CONSTABLE CORPORATION 5TH AVE. AT 40TH ST. NEW YORK NY APPLICANT CLAIMS EXCLUSIVE RIGHTS TO USE OF THE WORD GARMENT AS PART OF ITS MARK BUT NOT OTHERWISE.;RETAIL CLOTHING STORE SERVICES;
THE ORIGINAL LEONARD'S PIT BARBECUE LEONARD'S, INC. 5465 FOX PLAZA DRIVE MEMPHIS TN 38115 APPLICANT CLAIMS EXCLUSIVE RIGHTS TO THE SLOGAN THE ORIGINAL PIT BARBECUE AS PART OF ITS MARK, BUT NOT OTHERWISE, WITHOUT WAIVING ANY COMMON LAW RIGHTS TO ANY FEATURE THEREOF.;AT LEAST AS EARLY AS 1922 IN A DIFFERENT FORM.;THE ORIGINAL LEONARDS PIT BARBECUE;AT LEAST AS EARLY AS 1922 IN A DIFFERENT FORM.;RESTAURANT AND CATERING SERVICES;
THE PANELING PEOPLE Pluswood Incorporated Oshkosh WI APPLICANT CLAIMS EXCLUSIVE RIGHTS TO THE WORD PANELING AS PART OF THE MARK SHOWN, BUT NOT OTHERWISE.;PLYWOOD;
YOUR FAMILY GUIDE HATHAWAY PUBLISHING CORPORATION P.O. BOX 1635 SKOKIE IL 600768635 APPLICANT CLAIMS THE EXCLUSIVE RIGHTS IN THE WORD COMBINATION, YOUR FAMILY GUIDE, BUT ASSERTS NO RIGHTS IN THE WORD FAMILY OR GUIDE WHEN USED SEPARATELY AND PROPERLY BY OTHERS.;COMMUNITY INFORMATION BOOKLET;
YOUR FAMILY GUIDE HATHAWAY FINANCIAL MARKETING CONSULTANTS, INC. P.O. BOX 32 WILMETTE IL 60091 APPLICANT CLAIMS THE EXCLUSIVE RIGHTS IN THE WORD COMBINATION, YOUR FAMILY GUIDE, BUT ASSERTS NO RIGHTS IN THE WORD FAMILY OR GUIDE WHEN USED SEPARATELY AND PROPERLY BY OTHERS.;COMMUNITY INFORMATION BOOKLET;
 

Where the owner name is not linked, that owner no longer owns the brand

   
Technical Examples
  1. A method, system and device for transferring usage rights associated with digital works, including generating, by a first party, first usage rights and hierarchical rights for a digital work, the first usage rights defining a use for the digital works, the first hierarchical rights specifying rights to derive usage rights or other hierarchical rights; presenting the first usage rights and hierarchical rights to a second party; receiving a selection from the second party indicating desired rights of the first usage rights and hierarchical rights; and granting the desired rights of the first usage rights and hierarchical rights to the second party.