Tough Hook v. Botach - Complaint
Tough Hook v. Botach - Complaint
Tough Hook v. Botach - Complaint
1 W. WEST ALLEN
Nevada Bar No. 5566
2 [email protected]
JONATHAN FOUNTAIN
3 Nevada Bar No. 10531
[email protected]
4 HOWARD & HOWARD ATTORNEYS PLLC
3800 Howard Hughes Parkway, Suite 1000
5 Las Vegas, Nevada 89169
Telephone: 702.257.1483
6 Facsimile: 702.567.1568
18 Plaintiff, COMPLAINT
v.
19
BOTACH, INC., a Nevada Corporation,
20
Defendant.
21
22
23
Plaintiff, Tough Hook, LLC (“Plaintiff”), by and through undersigned counsel, hereby files
24
its Complaint against Botach, Inc. (“Defendant”) and alleges as follows:
25
PARTIES
26
1. Plaintiff, Tough Hook, LLC, is a limited liability company organized and existing
27
under the laws of the State of Delaware, with an address at 108 West 13th Street, Wilmington,
28
Delaware 19801.
1
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 2 of 12
1 2. Upon information and belief, Defendant, Botach, Inc., is a corporation organized and
2 existing under the laws of the State of Nevada, with an address at 4775 W. Harmon Avenue, Las
5 3. This is an action for injunctive and other relief under the patent laws of the United
7 4. This is also an action for injunctive and other relief under the Federal Trademark Act,
8 15 U.S.C. §1051, et seq., (“Lanham Act”), particularly 15 U.S.C. §1125(a), for trade dress
10 5. Plaintiff also asserts claims in accordance with common law rights under the laws of
HOWARD & HOWARD ATTORNEYS PLLC
11 the State of Nevada, for trade dress infringement and unfair competition.
12 6. This Court has jurisdiction over this action pursuant to 28 U.S.C. §§1331 and 1338,
16 incorporated; or
18 venture in this state, and the District of Nevada, from which this action arises;
19 or
20 c. Defendant has committed tortious acts within this state, and the District of
22 d. Defendant has engaged in substantial and not isolated activity within this
24 8. Venue is proper under 28 U.S.C. §§1391(b) because the wrongful acts committed by
25 Defendant occurred in the District of Nevada, and a substantial part of the events or omissions
26 giving rise to the claim occurred therein, or a substantial part of the property that is the subject of the
28 / / /
2
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 3 of 12
3 FACTUAL BACKGROUND
4 10. Since at least as early as 2013, Plaintiff has been in the business of designing,
5 causing to be manufactured, marketing, promoting, offering for sale, and distributing a proprietary
7 11. Plaintiff has invested considerable time, creative effort, and resources to create and
10 12. Plaintiff is the owner by way of assignment of U.S. Design Patent No. D702,049
HOWARD & HOWARD ATTORNEYS PLLC
11 (“the ‘049 Patent”) which was duly and lawfully issued on or about April 8, 2014, for the
12 ornamental design of its innovative reversible hanger, as shown and described therein (hereafter, the
14 13. Upon information and belief, Plaintiff has and continues to provide public notice of
15 its rights in and to the Plaintiff’s Patented Design since as early as about February 2015 by way of
16 its website located at www.tough-hook.com, which clearly states: “Our Patent – The Tough Hook
18 14. The unique appearance of the “TOUGH HOOK” hanger is recognizable as the style
20 15. Plaintiff’s trade dress consists of an overall look or commercial impression resulting
21 from the arbitrary selection and combination of certain non-functional features, namely, an enlarged
22 hook having an elongated triangular base portion, an inverted trapezoidal portion having a
23 trapezoidal aperture there through disposed opposite the enlarged hook, and an I-beam like cross-
24 section disposed along the entire periphery thereof (collectively hereafter, “Plaintiff’s Product Trade
26 16. Prior to the infringing acts of Defendant complained of herein, Plaintiff adopted and
27 used in commerce Plaintiff’s Product Trade Dress for its “TOUGH HOOK” hangers. Such use has
3
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 4 of 12
1 17. Prior to the infringing acts of Defendant complained of herein, Plaintiff achieved
2 significant commercial success and substantial sales, through advertising and promotion of hangers
3 utilizing Plaintiff’s Product Trade Dress, throughout the State of Nevada and the United States,
5 18. By virtue of its unique style and continuous and widespread use, prior to the
6 infringing acts of Defendant complained of herein, Plaintiff’s Product Trade Dress developed a
7 secondary meaning and significance, and has been readily recognizable as distinguishing Plaintiff’s
10 19. Upon information and belief, Defendant had direct and actual knowledge and notice
HOWARD & HOWARD ATTORNEYS PLLC
11 of Plaintiff’s Patented Design and Plaintiff’s Product Trade Dress at least as early as May 2014, at
12 which time Defendant contacted Plaintiff with a request to open a new dealer account via Plaintiff’s
14 20. Defendant purchased hundreds of “TOUGH HOOK” hangers directly from Plaintiff
15 between about mid 2014 through about September 2016, as shown on representative Purchase
17 21. Upon information and belief, in or about September 2016, Plaintiff ceased sales of its
19 22. Immediately thereafter, in or about November 2017, and despite having direct and
20 actual knowledge and notice of Plaintiff’s Patented Design and Plaintiff’s Product Trade Dress,
21 Defendant offered for sale copies of Plaintiff’s “TOUGH HOOK” hangers utilizing and embodying
22 Plaintiff’s Patented Design and Plaintiff’s Product Trade Dress via Defendant’s website located at
23 www.botach.com. Defendant offered its replica product as “Hang-Gear Heavy Duty Equipment
25 23. In or about November 2017, Plaintiff notified Defendant that the “Hang-Gear Heavy
27 Patented Design and Plaintiff’s Product Trade Dress. Upon information and belief, Defendant,
28
4
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 5 of 12
1 therefore, immediately removed all references to the “Hang-Gear Heavy Duty Equipment Hangers,”
3 24. On or about January 24, 2018, Defendant sought to acquire Plaintiff’s product and
4 issued Purchase Order Number NB012418 to Plaintiff for 7,000 units of Plaintiff’s Tough Hook
5 hangers, which comprise Plaintiff’s Patented Design and Plaintiff’s Product Trade Dress. See
6 Exhibit G. However, in view of Defendant’s prior payment issues, Plaintiff declined to fulfill the
7 order.
8 25. Thereafter, upon information and belief, in or about early 2018, and subsequent to the
9 issuance of the ‘049 Patent and the initial sales of goods by or on behalf of Plaintiff embodying
10 Plaintiff’s Patented Design and Plaintiff’s Product Trade Dress, Defendant commenced and has
HOWARD & HOWARD ATTORNEYS PLLC
11 continued making, importing, using, selling, and/or offering for sale, within the District of Nevada
12 and elsewhere, replica unauthorized hangers under the name “Hang-Gear Tough Heavy Duty
13 Hangers,” utilizing and embodying the Plaintiff’s Patented Design and as disclosed and claimed in
14 the ‘049 Patent, and Plaintiff’s Product Trade Dress (the “Infringing Hangers – Type II”).
15 Exemplary printouts obtained from various websites through which the Infringing Hangers – Type
17 26. Defendant has engaged in, and it is believed will continue to engage in, a deliberate
18 and willful scheme to trade upon and to misappropriate for itself the vast goodwill represented and
20 27. Defendant has engaged in, and it is believed will continue to engage in, a deliberate
21 and willful scheme to infringe upon and utilize the Plaintiff’s Patented Design as disclosed and
23 28. Defendant has directly and/or indirectly infringed, and/or has contributed to and/or
25 29. The acts of Defendant complained of herein constitute willful and intentional
26 infringement of Plaintiff’s Patented Design and the ‘049 Patent in total disregard of Plaintiff’s
27 rights.
28 / / /
5
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 6 of 12
1 30. Defendant’s unauthorized sales of the Infringing Hangers – Type I and the Infringing
2 Hangers – Type II and related marketing activities commenced long after substantial sales in
4 31. Defendant’s unauthorized sales of the Infringing Hangers – Type I and the Infringing
5 Hangers – Type II and related marketing activities commenced long after substantial sales in
6 commerce of goods by Plaintiff embodying Plaintiff’s Product Trade Dress, and subsequent to the
7 acquisition of rights and secondary meaning in Plaintiff’s Product Trade Dress accruing to Plaintiff.
8 32. The acts of Defendant complained of herein constitute willful and intentional
9 infringement of Plaintiff’s Product Trade Dress and are in total disregard of Plaintiff’s rights.
10 33. Defendant’s use of the Infringing Hangers – Type I and the Infringing Hangers –
HOWARD & HOWARD ATTORNEYS PLLC
11 Type II is designed and calculated to cause confusion, to cause mistake, and to deceive current and
12 prospective customers as to the origin or sponsorship of Defendant’s goods and to falsely cause the
13 consuming public to believe that Defendant’s goods are the goods of Plaintiff, or are sponsored,
14 licensed, authorized, or approved by Plaintiff, all to the detriment of Plaintiff, the trade, and the
15 public.
17 knowing, and wanton disregard of the rights of Plaintiff and to Plaintiff’s irreparable injury, and
18 unless restrained by this Court, said infringing activities will be continued and Plaintiff will continue
22 35. Plaintiff incorporates herein each and every allegation set forth in Paragraphs 1
23 through 34 as if fully set forth herein.
24 36. Defendant’s aforesaid acts, including the unauthorized manufacture, import, use,
25 sales, and/or offering for sale of goods embodying the design as disclosed and claimed in the ‘049
26 Patent, i.e., the Plaintiff’s Patented Design, including at least the Infringing Hangers – Type I,
27 constitute infringement of the ‘049 Patent, directly and/or under the doctrine of equivalents.
28 / / /
6
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 7 of 12
1 37. Defendant’s aforesaid acts have deprived Plaintiff of sales that Plaintiff otherwise
2 would have made, entitling Plaintiff to the profits of Defendant in addition to other available
3 remedies.
4 38. Defendant’s aforesaid acts have caused and will cause great and irreparable injury to
5 Plaintiff, and unless said acts are restrained by this Court, they will be continued and Plaintiff will
10 40. Plaintiff incorporates herein each and every allegation set forth in Paragraphs 1
HOWARD & HOWARD ATTORNEYS PLLC
12 41. Defendant’s aforesaid acts, including the unauthorized manufacture, import, use,
13 sales, and/or offering for sale of goods embodying the design as disclosed and claimed in the ‘049
14 Patent, i.e., the Plaintiff’s Patented Design, including at least the Infringing Hangers – Type II,
15 constitute infringement of the ‘049 Patent, directly and/or under the doctrine of equivalents.
16 42. Defendant’s aforesaid acts have deprived Plaintiff of sales that Plaintiff otherwise
17 would have made, entitling Plaintiff to the profits of Defendant in addition to other available
18 remedies.
19 43. Defendant’s aforesaid acts have caused and will cause great and irreparable injury to
20 Plaintiff, and unless said acts are restrained by this Court, they will be continued and Plaintiff will
26 45. Plaintiff incorporates herein each and every allegation set forth in Paragraphs 1
28 / / /
7
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 8 of 12
2 Dress, Defendant intentionally commenced to use in commerce, and upon information and belief,
3 will continue to use in commerce, the Infringing Hangers – Type I, which are a reproduction, copy,
4 and colorable imitation of the Plaintiff’s Product Trade Dress, despite Plaintiff’s prior use thereof
5 and the public recognition thereof, constituting use in commerce of a word, term, name, symbol, or
7 fact, or a false or misleading representation of fact that is likely to cause confusion, or to cause
10 47. Defendant’s aforesaid acts constitute unfair competition, false designation of origin,
HOWARD & HOWARD ATTORNEYS PLLC
11 and/or false description or representation in violation of §43(a) of the Lanham Act, 15 U.S.C.
12 §1125(a).
13 48. Defendant’s aforesaid acts have harmed Plaintiff’s reputation, severely damaged
14 Plaintiff’s goodwill, and upon information and belief, have diverted sales from Plaintiff.
15 49. Defendant’s aforesaid acts have caused and will continue to cause great and
16 irreparable injury to Plaintiff, and unless said acts are restrained by this Court, they will be
17 continued and Plaintiff will continue to suffer great and irreparable injury.
25 will continue to use in commerce, the Infringing Hangers – Type II, which are a reproduction, copy,
26 and colorable imitation of the Plaintiff’s Product Trade Dress, despite Plaintiff’s prior use thereof
27 and the public recognition thereof, constituting use in commerce of a word, term, name, symbol, or
8
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 9 of 12
1 fact, or a false or misleading representation of fact that is likely to cause confusion, or to cause
4 53. Defendant’s aforesaid acts constitute unfair competition, false designation of origin,
5 and/or false description or representation in violation of §43(a) of the Lanham Act, 15 U.S.C.
6 §1125(a).
7 54. Defendant’s aforesaid acts have harmed Plaintiff’s reputation, severely damaged
8 Plaintiff’s goodwill, and upon information and belief, have diverted sales from Plaintiff.
9 55. Defendant’s aforesaid acts have caused and will continue to cause great and
10 irreparable injury to Plaintiff, and unless said acts are restrained by this Court, they will be
HOWARD & HOWARD ATTORNEYS PLLC
11 continued and Plaintiff will continue to suffer great and irreparable injury.
9
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 10 of 12
goodwill, and upon information and belief, have diverted sales from Plaintiff.
11
65. Defendant’s aforesaid acts have caused and will continue to cause great and
12
irreparable injury to Plaintiff, and unless said acts are restrained by this Court, they will be
13
continued and Plaintiff will continue to suffer great and irreparable injury.
14
66. Plaintiff has no adequate remedy at law.
15
PRAYER FOR RELIEF
16
WHEREFORE, Plaintiff respectfully requests that this Court enter:
17
1. That this Court will adjudge that the ‘049 Patent is valid, enforceable, and has been
18
infringed as a direct and proximate result of the acts of Defendant as set forth herein, in violation of
19
Plaintiff’s rights under 35 U.S.C. §1, et seq.
20
2. That Plaintiff’s Product Trade Dress has been infringed as a direct and proximate
21
result of the acts of Defendant as set forth herein, in violation of Plaintiff's rights under the Lanham
22
Act, 15 U.S.C. §1051 et seq., and the common law and under the laws of the State of Nevada.
23
3. That this Court will adjudge that Defendant has competed unfairly with Plaintiff as
24
set forth in this Complaint, in violation of Plaintiff’s rights under the Lanham Act, 15 U.S.C.
25
§1125(a), and the common law.
26
4. That Defendant, and all of its officers, directors, agents, servants, employees,
27
attorneys, successors, and assigns, and all persons in active concert or participation therewith, be
28
10
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 11 of 12
1 permanently enjoined and restrained from further manufacture, use, sale, offer for sale and/or import
2 of the Infringing Hangers – Type I and the Infringing Hangers – Type II, and all other infringement
4 5. That Defendant, and all of its officers, directors, agents, servants, employees,
5 attorneys, successors, and assigns, and all persons in active concert or participation therewith, be
6 permanently enjoined and restrained from further manufacture, use, sale, offer for sale, and import
7 of the Infringing Hangers – Type I and the Infringing Hangers – Type II, and all other designs likely
9 6. That Defendant be required to deliver up for destruction all of the Infringing Hangers
10 – Type I and all of the Infringing Hangers – Type II, and other written or printed material in the
HOWARD & HOWARD ATTORNEYS PLLC
11 possession or control of Defendant which embody or bear the Infringing Hangers – Type I and/or
12 the Infringing Hangers – Type II, and all plates, molds, matrices, and other means from making the
13 aforesaid items.
14 7. That Defendant be directed to file with this Court and to serve upon Plaintiff within
15 ten (10) days after service of the injunction issued in this action, a written report, under oath, setting
17 8. That Plaintiff recover damages adequate to compensate it for the Defendant’s patent
18 infringement, but in no event less than a reasonable royalty for the use made of the Plaintiff’s
19 Patented Design by Defendant, and in addition to the amount of actual damages found, such sums
20 shall be in an amount three (3) times the amount of the actual damages found pursuant to 35 U.S.C.
21 §284.
22 9. That Plaintiff have and recover the profits of Defendant derived from the use of the
24 10. That Plaintiff recover the Defendant’s profits and the damages of Plaintiff arising
25 from Defendant’s acts of trade dress infringement and unfair competition, pursuant to 15 U.S.C.
26 §1117.
27 / / /
28 / / /
11
Case 2:18-cv-01827-VCF Document 1 Filed 09/20/18 Page 12 of 12
1 11. That Plaintiff have and recover, pursuant to the laws of the State of Nevada, and
2 common law, in addition to its actual damages, punitive damages in an amount which the Court
4 12. That Plaintiff have and recover both pre-judgment and post-judgment interest on
6 13. That the Court find this case to be exceptional and award Plaintiff its reasonable
7 attorney fees incurred in this action, pursuant to 15 U.S.C. §1117, 35 U.S.C. §285, and as otherwise
8 authorized.
9 14. That Plaintiff have and recover its taxable costs and disbursements herein, pursuant
11 15. That the Court retain jurisdiction of this action for the purpose of enabling Plaintiff,
12 Tough Hook, LLC, to apply to the Court at any time for such further orders and interpretation or
13 execution of any order entered in this action; for the modification of any such order for the
14 enforcement or compliance therewith and for the punishment of any violations thereof.
15 16. That Plaintiff have and recover such further relief as the Court may deem just and
16 proper.
18
HOWARD & HOWARD ATTORNEYS PLLC
19
By: /s/ W. West Allen
20
W. WEST ALLEN
21 Nevada Bar. No. 5566
[email protected]
22 HOWARD & HOWARD ATTORNEYS PLLC
3800 Howard Hughes Parkway, Suite 1000
23 Las Vegas, Nevada 89169
24 MEREDITH F. MENDEZ
[email protected]
25 JOHN FULTON, JR.
[email protected]
26 MALLOY & MALLOY
2800 S.W. 3rd Avenue
27 Miami, Florida 33129
12
Case 2:18-cv-01827-VCF Document 1-1 Filed 09/20/18 Page 1 of 1
INDEX OF EXHIBITS
EXHIBIT DESCRIPTION
EXHIBIT A
Case 2:18-cv-01827-VCF Document 1-2 Filed 09/20/18 Page 2 of 4
Case 2:18-cv-01827-VCF Document 1-2 Filed 09/20/18 Page 3 of 4
Case 2:18-cv-01827-VCF Document 1-2 Filed 09/20/18 Page 4 of 4
Case 2:18-cv-01827-VCF Document 1-3 Filed 09/20/18 Page 1 of 2
EXHIBIT B
$ERXW8V 7RXJK+RRN 3DJHRI
Case 2:18-cv-01827-VCF Document 1-3 Filed 09/20/18 Page 2 of 2
'GCNGT.QIKP - JVVRUYYYVQWIJ
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JQQMEQOYJQNGUCNGNQIKPRCIG
0+ .$.5
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FUHDWHWKHPRVWUREXVWWRXJKHVWSODVWLFSURGXFWVDYDLODEOHDQGRXU7RXJK+RRNKDQJHUVILWWKHELOO
$OO7RXJK+RRNVDQGWKHLUODEHOVDUHSURXGO\SURGXFHGLQWKH86$E\PHQDQGZRPHQZKRKDYH
VHUYHGLQODZHQIRUFHPHQWPLOLWDU\ILUVWUHVSRQVHDQGRWKHUKLJKGHPDQGSURIHVVLRQVWKDWHQVXUH
WKHIUHHGRPDQGVDIHW\RIRXUQDWLRQDQGLWVSHRSOH
:HDUHSURIHVVLRQDOVDQGDGYHQWXUHUVMXVWOLNH\RXDQGRXUSURGXFWVDUHPDGHWRVHUYHWKHQHHGVRI
SHRSOHIURPDOOZDONVRIOLIH
2XU3DWHQW 7KH7RXJK+RRN+DQJHULVFRYHUHGDQGSURWHFWHGE\863DWHQW'
7KH7RXJK+RRN+DQJHULVFRYHUHGDQGSURWHFWHGE\863DWHQW'DVD
UHYHUVLEOHKDQJHUZLWKDFDUU\KDQGOH:DQWWRLQWHJUDWHDFDUU\KDQGOHLQWR\RXUKDQJHU":HKDYH
OLFHQVLQJRSSRUWXQLWLHVDYDLODEOH
&RQWDFW8V FRQWDFW
KWWSVZZZWRXJKKRRNFRPDERXWXV
Case 2:18-cv-01827-VCF Document 1-4 Filed 09/20/18 Page 1 of 2
EXHIBIT C
Case 2:18-cv-01827-VCF Document 1-4 Filed 09/20/18 Page 2 of 2
Case 2:18-cv-01827-VCF Document 1-5 Filed 09/20/18 Page 1 of 2
EXHIBIT D
Case 2:18-cv-01827-VCF Document 1-5 Filed 09/20/18 Page 2 of 2
Case 2:18-cv-01827-VCF Document 1-6 Filed 09/20/18 Page 1 of 3
EXHIBIT E
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Case 2:18-cv-01827-VCF Document 1-6 Filed 09/20/18 Page 3 of 3
Case 2:18-cv-01827-VCF Document 1-7 Filed 09/20/18 Page 1 of 4
EXHIBIT F
Case 2:18-cv-01827-VCF Document 1-7 Filed 09/20/18 Page 2 of 4
Case 2:18-cv-01827-VCF Document 1-7 Filed 09/20/18 Page 3 of 4
Case 2:18-cv-01827-VCF Document 1-7 Filed 09/20/18 Page 4 of 4
Case 2:18-cv-01827-VCF Document 1-8 Filed 09/20/18 Page 1 of 2
EXHIBIT G
Case 2:18-cv-01827-VCF Document 1-8 Filed 09/20/18 Page 2 of 2
Case 2:18-cv-01827-VCF Document 1-9 Filed 09/20/18 Page 1 of 22
EXHIBIT H
Case 2:18-cv-01827-VCF Document 1-9 Filed 09/20/18 Page 2 of 22
Case 2:18-cv-01827-VCF Document 1-9 Filed 09/20/18 Page 3 of 22
Case 2:18-cv-01827-VCF Document 1-9 Filed 09/20/18 Page 4 of 22
Case 2:18-cv-01827-VCF Document 1-9 Filed 09/20/18 Page 5 of 22
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JS 44 (Rev. 11/15) CIVIL COVER SHEET
The JS 44 civil cover sheet and the information contained herein neither replace nor supplement the filing and service of pleadings or other papers as required by law, except as
provided by local rules of court. This form, approved by the Judicial Conference of the United States in September 1974, is required for the use of the Clerk of Court for the
purpose of initiating the civil docket sheet. (SEE INSTRUCTIONS ON NEXT PAGE OF THIS FORM.)
(b) County of Residence of First Listed Plaintiff County of Residence of First Listed Defendant
(EXCEPT IN U.S. PLAINTIFF CASES) (IN U.S. PLAINTIFF CASES ONLY)
NOTE: IN LAND CONDEMNATION CASES, USE THE LOCATION OF
THE TRACT OF LAND INVOLVED.
(c) Attorneys (Firm Name, Address, and Telephone Number) Attorneys (If Known)
W.West Allen, Esq., Howard & Howard Attorneys PLLC, 3800 Howard
Hughes Pkwy, Suite 1000, Las Vegas, NV 89169 (702) 257-1483
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)
u 1 U.S. Government u 3 Federal Question PTF DEF PTF DEF
Plaintiff (U.S. Government Not a Party) Citizen of This State u 1 u 1 Incorporated or Principal Place u 4 u 4
of Business In This State
u 2 U.S. Government u 4 Diversity Citizen of Another State u 2 u 2 Incorporated and Principal Place u 5 u 5
Defendant (Indicate Citizenship of Parties in Item III) of Business In Another State
To: (Defendant’s name and address) BOTACH, INC., c/o IRIS BOTACH, 4775 W. HARMON AVE., LV, NV 89103
Within 21 days after service of this summons on you (not counting the day you received it) — or 60 days if you
are the United States or a United States agency, or an officer or employee of the United States described in Fed. R. Civ.
P. 12 (a)(2) or (3) — you must serve on the plaintiff an answer to the attached complaint or a motion under Rule 12 of
the Federal Rules of Civil Procedure. The answer or motion must be served on the plaintiff or plaintiff’s attorney,
whose name and address are: W. West Allen, Esq, Howard & Howard Attorneys PLLC, 3800 Howard Hughes
Parkway, Suite 1000, Las Vegas NV 89169
If you fail to respond, judgment by default will be entered against you for the relief demanded in the complaint.
You also must file your answer or motion with the court.
CLERK OF COURT
Date:
Signature of Clerk or Deputy Clerk
Case 2:18-cv-01827-VCF Document 1-11 Filed 09/20/18 Page 2 of 2
PROOF OF SERVICE
(This section should not be filed with the court unless required by Fed. R. Civ. P. 4 (l))
’ I left the summons at the individual’s residence or usual place of abode with (name)
, a person of suitable age and discretion who resides there,
on (date) , and mailed a copy to the individual’s last known address; or
’ Other (specify):
.
My fees are $ for travel and $ for services, for a total of $ 0.00 .
Date:
Server’s signature
Server’s address