The complaint - Tor Ekeland PC
Transcription
The complaint - Tor Ekeland PC
JUDGE COTE JS 44C/SDNY REV. 7/2012 cI^er^IV 4054 JUN 1 3 2013 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 UnitedStates in September 1974, is required for use of the Clerk of Court for the purpose of initiating the civil docket sheet. PLAINTIFFS DEFENDANTS BLACKHEART RECORDS GROUP, INC. HOT TOPIC, INC. and BLACKHEART CLOTHING COMPANY, LLC, ATTORNEYS (FIRM NAME, ADDRESS, AND TELEPHONE NUMBER ATTORNEYS (IF KNOWN) Oren Warshavsky BAKER & HOSTETLER, 45 Rockefeller Plaza, New York, New York 10111 (212)589-4624 CAUSE OF ACTION (CITE THE U.S. CIVIL STATUTE UNDER WHICH YOU ARE FILING AND WRITE ABRIEF STATEMENT OF CAUSE) (DO NOT CITE JURISDICTIONAL STATUTES UNLESS DIVERSITY) 15 USC 1114, 1125; federal trademark infringement and unfair competition; state law trademark and unfair competition Has this ora similar case been previously filed in SDNY at anytime? No [X] Yes [~J Judge Previously Assigned If yes, wasthis case Vol. [~J Invol. [7J Dismissed. No [~J Yes [~J If yes, give date IS THIS AN INTERNATIONAL ARBITRATION CASE? No $Q (PLACEAN [x] IN ONE BOX ONLY) & Case No. YeS [~j NATURE OF SUIT ACTIONS UNDER STATUTES CONTRACT I ( [ [ 1110 ]120 J 130 1110 [1150 [ ]151 I 1152 PERSONAL INJURY PERSONAL INJURY FORFEFTURE/PENALTY INSURANCE MARINE MILLER ACT [ 1310 AIRPLANE [ 1315 AIRPLANE PRODUCT [ ] 362 PERSONAL INJURY MED MALPRACTICE PERSONAL INJURY [ 1610 [ ]620 NEGOTIABLE [ J320 ASSAULT, LIBEL & PRODUCT LIABILITY 1 1625 INSTRUMENT RECOVERY OF OVERPAYMENT & ENFORCEMENT OF JUDGMENT MEDICARE ACT LIABILITY [ J 330 RECOVERY OF ASBESTOS PERSONAL INJURY PRODUCT LIABILITY LIABILITY [ I 340 MARINE [ I 345 MARINE [ I 350 [ ]355 (EXCL VETERANS) [ ]153 [ ]368 EMPLOYERS' RECOVERY OF DEFAULTED STUDENT LOANS SLANDER FEDERAL [ ] 365 [ ]360 OVERPAYMENT PERSONAL PROPERTY PRODUCT LIABILITY MOTOR VEHICLE MOTOR VEHICLE PRODUCT LIABILITY OTHER PERSONAL [ I 370 [ ]371 ( )380 OTHER FRAUD TRUTH IN LENDING OTHER PERSONAL PROPERTY DAMAGE [ ]385 PROPERTY DAMAGE INJURY PRODUCT LIABILITY [ [ [ [ ]630 ]640 ]650 ]660 ( )690 BANKRUPTCY OTHER STATUTES AGRICULTURE OTHER FOOD & [ ] 422 APPEAL [ I 400 STATE DRUG [ ]423 WITHDRAWAL DRUG RELATED SEIZURE OF PROPERTY PROPERTY RIGHTS RR & TRUCK [ J 820 COPYRIGHTS [ ] 830 PATENT K]840 TRADEMARK AIRLINE REGS OCCUPATIONAL SAFETY/HEALTH [ 1190 I 1195 MOTIONS TO VACATE SENTENCE 20 USC 2255 [ J 530 ( ]535 [ ]540 HABEAS CORPUS ACTIONS UNDER STATUTES LIABILITY [ 1196 FRANCHISE REAL PROPERTY CIVIL RIGHTS [J 441 [I 442 [ ]443 VOTING EMPLOYMENT HOUSING/ I 1210 LAND CONDEMNATION [1240 [ 1245 FORECLOSURE RENT LEASE & EJECTMENT TORTS TO LAND TORT PRODUCT LIABILITY [ J290 [ I 730 LABOR/MGMT []740 ( J790 REPORTING S FEDERAL TAX SUITS DISCLOSURE ACT RAILWAY LABOR ACT [ ]870 TAXES (U.S. Plaintiff OTHER LABOR Defendant) ( J791 EMPL RET INC [ J 444 WELFARE [ I 445 AMERICANS WITH [ ]446 DISABILITIES EMPLOYMENT AMERICANS WITH LITIGATION IMMIGRATION ]480 I 490 1810 I 850 DEPORTATION RACKETEER INFLU ENCED & CORRUPT CONSUMER CREDIT CABLE/SATELLITE TV SELECTIVE SERVICE SECURITIES/ COMMODITIES/ EXCHANGE CHALLENGE 12 USC 3410 [ I 890 OTHER STATUTORY ACTIONS [ ] 871 IRS-THIRD PARTY [ 1891 AGRICULTURAL ACTS [ ]892 ECONOMIC STABILIZATION ACT or [ ]893 ENVIRONMENTAL MATTERS [ 1894 26 USC 7609 [ ]895 [ )900 ENERGY ALLOCATION ACT FREEDOM OF INFORMATION ACT APPEAL OF FEE DETERMINATION [J 462 NATURALIZATION UNDER EQUAL ACCESS TO JUSTICE APPLICATION I 1463 [ 1465 OTHER CIVIL RIGHTS ANTITRUST BANKS & BANKING COMMERCE [ I 875 CUSTOMER PRISONER CIVIL RIGHTS [ I 550 CIVIL RIGHTS [ J555 PRISON CONDITION DISABILITIES -OTHER [ ]440 [ [ [ [ RELATIONS SECURITY ACT ACCOMMODATIONS [ 1220 [ 1230 FAIR LABOR STANDARDS ACT LABOR/MGMT DEATH PENALTY MANDAMUS & OTHER HIA(1395ff) BLACK LUNG (923) DIWC/DIWW (405(g)) SSID TITLE XVI RSI (405(g)) [ I 720 PRISONER PETITIONS [ 1510 ]861 ] 862 J 863 ] 864 I 865 1410 I 430 ]450 J 460 I 470 (RICO) SOCIAL SECURITY [ [ [ [ [ [ I [ [ ( ORGANIZATION ACT OTHER LABOR [ 1710 BENEFITS STOCKHOLDERS SUITS OTHER CONTRACT CONTRACT PRODUCT REAPPORTIONMENT 28 USC 157 21 USC 881 LIQUOR LAWS OF VETERAN'S I 1160 28 USC 158 HABEAS CORPUSALIEN DETAINEE OTHER IMMIGRATION ACTIONS [ 1950 CONSTITUTIONALITY OF STATE STATUTES (Non-Prisoner) ALL OTHER REAL PROPERTY Check if demanded in complaint: CHECK IF THIS IS A CLASS ACTION DO YOU CLAIM THIS CASE IS RELATED TO A CIVIL CASE NOW PENDING IN S.D.N.Y.? UNDERF.R.C.P. 23 IF SO, STATE: DEMAND $ OTHER JUDGE DOCKET NUMBER Check YES only if demanded in complaint JURY DEMAND: E YES • NO NOTE: Please submit at the time of filing an explanation of why cases are deemed related. (PLACE AN x INONE BOX ONL Y) I2<l 1 Original ORIGIN |~J 2 Removed from Proceeding L~] 3 Remanded LJ 4 Reinstated or state Court from I-! a. a all xii n»rti„« |_| parties r»„r»«„t„H represented LJ 5 Transferred from L"] 6 Multidistrict Reopened (Specify District) [~J 7 Appeal to District Litigation Judge from Appellate ^^ Magistrate Judge Judgment | | b. At least one party is pro se. (PLACE AN x IN ONE BOX ONLY) • 1 U.S. PLAINTIFF BASIS OF JURISDICTION • 2 U.S. DEFENDANT [X] 3 FEDERAL QUESTION IF DIVERSITY, INDICATE Q4 DIVERSITY CITIZENSHIP BELOW. (U.S. NOT A PARTY) (28 USC 1332, 1441) CITIZENSHIP OF PRINCIPAL PARTIES (FOR DIVERSITY CASES ONLY) (Place an [X] in one box for Plaintiff and one box for Defendant) PTF DEF CITIZEN OF THIS STATE [ ]1 [ ]1 CITIZENOR SUBJECT OF A PTF DEF CITIZEN OF ANOTHER STATE []2 []2 INCORPORATED or PRINCIPAL PLACE [ ]3 [ ]3 FOREIGN COUNTRY INCORPORATED afld PRINCIPAL PLACE PTF DEF [ ]5 [ ]5 []6 []6 OF BUSINESS IN ANOTHER STATE []4[]4 FOREIGN NATION OF BUSINESS IN THIS STATE PLAINTIFF(S) ADDRESS(ES) AND COUNTY(IES) BLACKHEART RECORDS GROUP, INC., 636 Broadway, Suite1218, New York, New York 10022 DEFENDANT(S) ADDRESS(ES) AND COUNTY(IES) BLACKHEART CLOTHING COMPANY, LLC, PO Box 7059, Thousand Oaks, California 91359 HOT TOPIC, INC., 18305 E. San Jose Ave., City of Industry, California, 91748 DEFENDANT(S) ADDRESS UNKNOWN REPRESENTATION IS HEREBY MADE THAT, AT THIS TIME, I HAVE BEEN UNABLE, WITH REASONABLE DILIGENCE, TO ASCERTAIN THE RESIDENCE ADDRESSES OF THE FOLLOWING DEFENDANTS: Checkone: THIS ACTION SHOULD BE ASSIGNED TO: Q WHITE PLAINS |X| MANHATTAN (DO NOT check either box if this a PRISONER PETITION/PRISONER CIVIL RIGHTS COMPLAINT.) DATE 06/13/2013 SIGNATUREJ2f^rl^EYja£#ECORD ADMITTED TO PRACTICE IN THIS DISTRICT [ ] NO M YES (DATE ADMITTED Mo. 03 RECEIPT # 2&^^ ^— Attorney BarCode # OW-9469 Magistrate Judge is to be designated by the Clerk of the CouA /> .jon&BlS Magistrate Judge Ruby J. Krajick, Clerk of Court by is so Designated. Deputy Clerk, DATED UNITED STATES DISTRICT COURT (NEW YORK SOUTHERN) . Yr. 1998 13 CIV 4054 JUDGE COTE Baker & Hostetler LLP 45 Rockefeller Plaza New York, New York 10111 Telephone: (212) 589-4200 Facsimile: (212) 589-4201 Oren J. Warshavsky Donna A. Tobin Jessie A. Kuhn CO Attorneysfor PlaintiffBlackheart Records Group, Inc. cr co UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK CD BLACKHEART RECORDS GROUP, INC. Civil Action No. Plaintiff - against HOT TOPIC, INC. AND BLACKHEART CLOTHING COMPANY, LLC, Defendants. COMPLAINT AND JURY DEMAND Plaintiff BLACKHEART RECORDS GROUP, INC. ("Blackheart"), through its undersigned attorneys, Baker Hostetler, LLP, complain of defendants Hot Topic, Inc. ("Hot Topic") and Blackheart Clothing Company, LLC ("BCCL"), as follows: Nature of the Action 1. This is a straightforward action for trademark infringement, dilution, unfair competition and false advertising, all in violation of the laws of the United States and the State of New York. Defendant Hot Topic, who previouslypurchased and distributed products—including clothing— 602303245 made by Blackheart and featuring Blackheart's famous owner, Rock N' Roll legend Joan Jett, willfully and knowingly sought to co-optthe Blackheart name and trademark intending to profit from consumer confusion, Blackheart's well-known brand and Jett's well-known persona. Jurisdiction and Venue 2. Blackheart's claims are predicated on the Trademark Act of 1946, as amended, 15 U.S.C. §§ 1051-1141, and under the statutory and commonlaw of the State of New York. Subject matterjurisdiction over this action is conferredupon this Court by 15 U.S.C. §1121 and 28 U.S.C. §§ 1331 and 1338 (a) and (b). This Court also has diversity jurisdiction under 28 U.S.C. § 1332 because Blackheartis a citizen of New York and Defendants are citizens of California and Delaware and the amount of controversy exceeds $75,000, exclusive of interest and costs. Additionally, the Court has supplemental jurisdiction over Blackheart's state-law claims under 28 U.S.C. § 1367. 3. Venue in this District is proper under 28 U.S.C. § 1391 (b) and (c). 4. This Court has personal jurisdiction over Defendants under New York Civil Practice Law and Rules 301 and 302(a) because Defendants do business and solicit business in this District, regularly solicit business in New York, offer goods under the infringing trademark to customers in this District, Defendant Hot Topic is registered to do business in this District, and Blackheart is being harmed in this District. Parties 5. Plaintiff Blackheart Records Group, Inc. ("Blackheart") is a corporation organized and existing under the laws of the state of New York, with a principal place of business in the State of New York. For all purposes herein, Blackheart is the successor in interest to Blackheart Records, Inc. ("BRI"), and as used herein the term "Blackheart" shall be deemed to include BRI. 6. Upon information and belief, Defendant Hot Topic, Inc. ("Hot Topic") is a corporation organized and existing under the laws of California and is registered to do business in New York. 7. Upon information and belief, Defendant Blackheart Clothing Company, LLC ("BCCL") is a limited liabilitycompany organized and existing under the laws of Delaware. Joan Jett, Kenneth Laguna and the Creation of Blackheart 8. In 1973, at the age of 15, Joan Jett formed an all-female punk rock band called The Runaways, whichalso featured well known musicians Cherie Currie and Lita Ford. The Runaways roseto prominence as a punkrock band in the 1970s. The Runaways have beenthe subject of a variety of books and movies, most recently a film called "The Runaways" featuring Kristen Stewart as Jett and Dakota Fanning as Currie. Jett and Kenneth Laguna were executive producers of that film. 9. When The Runaways broke up, Jett worked and recorded with punk rock group The Germs and members of The Sex Pistols. 10. In the late 1970s, while working on a movie based on The Runaways, Jett met Kenneth Laguna. Laguna, who was a performer or writer for over 50 Top-40 hits by 1972, worked with and wrote music for recording artists such as Greg Kihn, Darlene Love, Bill Medley, and others. Lagunaalso wrote music for and/or was a member of bands such as Tommy James & The Shondelles and The Ohio Express. 11. Joan Jett and Kenneth Laguna formed the musical group "Joan Jett and the Blackhearts." The name Blackhearts was coined by Jett and Laguna for its meaning—"Blackheart" means "loner" in Jamaican nautical lingo—and also for its symbol. The black heart was used to symbolize Jett's heart, along with the black color most closely associated with her brand. 12. Because of Jett's notoriety as a punk rock artist with The Runaways, every major record label refused to sign or release the music of Joan Jett and the Blackhearts. After receiving dozens ofrejections, Jett and Laguna started their own recording company and called it "Blackheart Records." 13. In 1984, Blackheart applied to register "Blackheart Records" with the United States Patent and Trademark Office (the "USPTO"). The USPTO granted that application and issued Registration No. 1,319,119 for "Blackheart Records," which has remained a federally registered trademark since 1985. Registration No. 1,319,119 covers recorded music. 14. In 2005, Blackheart applied to register "Blackheart Records Group" with the the USPTO. The USPTO granted that application and issued Registration No. 3,210,496 (together with Registration No. 1,319,119, the "Blackheart Registered Marks") for "Blackheart Records Group," which has been a federally registered trademark since 2005. Registration No. 3,210,496 covers recorded music. 15. Blackheart's first album—which was Jett's first album—had a picture of a black heart next to Jett: 16. Since the release of this album, the terms "Blackheart," "Blackhearts," "Blackheart Records" and "Joan Jett and the Blackhearts," as well as the design element of a blackhearthas continued to be used with products and services associated with Jett and Blackheart. Continued Growth of Blackheart 17. Joan Jettand the Blackhearts quickly became a partof the national consciousness, as they had a string ofhits including Bad Reputation, I Love RockN' Roll, Crimson and Clover, I Hate Myselffor Loving You, Do You Want to Touch Me, Light ofDay, Love Is All Around, and Little Liar. 18. Jett, often referred to as the "Queen of Rock N' Roll," is one of only two women guitarists named on Rolling Stone's list ofthe top 100 guitarists ofall time. 19. The Joan Jett and the Blackheart's recording of / Love Rock N' Roll was ranked by Billboard Magazine as the 56th most popular song ofall time, and Bad Reputation was ranked the 29th besthard rock song of all time by VH1. 20. Songs by Joan Jett and the Blackhearts have been featured inmajor motion pictures since the 1980s, including films such as Light ofDay (inwhich Jett co-starred with Michael J. Fox), Days ofThunder (featuring Tom Cruise), Flashdance, Charlie's Angels, Wayne's World 2, Monster, Dazed &Confused, Striptease, Tank Girl, 10 Things I Hate About You, Shrek and more recently, Bad Teacher, Easy A, Kick-Ass and Baby Mama. 21. Songs by Joan Jett and the Blackhearts are featured as theme songs for television shows and specials, including Freaks &Geeks, American Chopper, and Miami Ink. Their cover of Love isAll Around (the theme song from The Mary Tyler Moore Show) became thetheme song of the NCAA women's basketball tournament. Since 2006, the composition / Hate Myselffor Loving You has been the theme song for NBC's Sunday Night Football. 22. In 2000, Jett performed on Broadway in The Rocky Horror Show. 23. Since 1980, all of the recordings by JoanJett and the Blackhearts have beenon the Blackheart's label, Blackheart Records. After the first album, the commercial recordings were released under the performing name "Joan Jett and the Blackhearts," with the following album covers being demonstrative: 24. Likewise, the "Blackheart Records" name and design were used on the recordings featuring Joan Jett and the Blackhearts. This included instances even where the recordings were distributed by larger companies, such as EPIC, CBS, and Warner Brothers: 25. Since the 1980s, Blackheart has continuously and prominently used the name and trademark "Blackheart" as a trademark in connection with music performances, and distributing music and audiovisual works, such as vinyl records, cassette tapes, CDs and DVDs. 26. Since the 1980s, Blackheart has used the name and trademark "Blackheart" in connection with merchandise surrounding its artists, including tee shirts and other materials. 27. Blackheart continues to use the Blackheart Registered Marks and the term "Blackheart" and images of a black heart shape in a variety of ways and does so with long term and short term projects, such as "Blackheart Records," "Blackheart Records Group," "Joan Jett and the Blackhearts," "The Blackhearts," "Blackheart Clothing," "Blackheart Production," "Blackheart Music," "Blackheart Distribution Group" (a corporation from 1992-1997), and "Blackheart Jeans" (collectively, the "Blackheart Family of Marks"). The Blackheart Family of Marks also includes stylized marks, including certain design elements—notably a heart, which is either solid black, black with a white outline, or white with a black outline, such as those below: • I I and thejjy nheaii RECORDS 28. Although Joan Jett and the Blackhearts has always been the best-known artist working with Blackheart, in the 1990s, Blackheart produced, promoted and distributed the music of other artists. The list of musicians that Blackheart produced, promoted and distributed music for includes The Chemical Brothers, Metal Church, Big Daddy Kane, Professor Griff, The 8 Eyeliners, Girl in a Coma, The Vacancies, The Dollyrots and The Cute Leppers. Blackheart's name and logo has been included on the products and promotional material for these bands. 29. Besides the musical products, Blackheart's Family of Marks has been used in connection with the promotion and distribution of related merchandise, including apparel,jewelry and accessories. These are the natural outgrowth of the music industry. Further, Blackheart's Familyof Marks has been featured on those products. Blackheart's Family of Marks also has been used in connection with other projects with which it is affiliated, including the aforementioned recent movie "The Runaways." 30. For instance, Blackheart promotes and offers for sale clothing and accessories which both feature the artists and projects with which it is affiliated, such as: ura 31. Blackheart also sells apparel that features the Blackheart Family of Marks including: % ,» "V; V i\?""T/ 10 *V loan'Jetji Blackhearts I 1 - *•. &L:" 4.J.- V..!.- C'SjS '• f^v-;:-i:j 32. In the eyes of the public, in connection with music and ancillary goods and services, the word and trademark "Blackheart" has become inextricably intertwined with Blackheart, Joan Jett and the Blackhearts, and Jett herself. 33. Because of the extensive sales, unsolicited media coverage, advertising and promotion in connection with a variety of goods and services of the Blackheart Family of Marks, and the consistent use of the term "Blackheart," the Blackheart Family of Marks continues to be associated with Blackheart, Jett, and Joan Jett and the Blackhearts. Third-party products include 11 apparel, promotional materials, books and even toys, such as a Hot Wheels tour bus, a Joan Jett doll by Mattel (which has the Blackheart design on the doll's shirt), a tee shirt (which includes the Blackheart design around the band name), and buttons: 12 34. Due to the public's connection between Jett, Joan Jett and the Blackhearts, Blackheart, and the Blackheart Family of Marks, Blackheart is continually approached with licensing opportunities for the term "Blackheart." Lucky Brand, Junk Food Clothing, Worn Free, Trunk Limited, Hysteric Glamour and others have contracted with Blackheart Records to produce and distribute apparel, accessories, and jewelry featuring the Blackheart Family of Marks. 35. The aforementioned apparel, accessories, and jewelry, use the design and word elements present in the Blackheart Family of Marks, such as the example below: 36. When Lucky Brand created charm bracelets using the Blackheart Family of Marks, the bracelets included charms with Jett's picture, a black heart charm, and a charm etched with "Blackhearts," such as the examples below: 13 Hot Topic's Purchases and Business Discussions with Blackheart 37. Upon information and belief, Hot Topic has been involved in the retail business since the 1990s. 38. Upon information and belief, one of Hot Topic's main businesses has been retail sales of music and music related apparel, such as concert tee shirts. 39. From time to time throughout the 1990s, Hot Topic distributed music and music related apparel that it purchased from Blackheart and/or Blackheart's business partners. These products included certain of Blackheart's Joan Jett and the Blackhearts albums shown above. These products also included clothing, such as concert and band tee shirts, which had the Joan Jett and the Blackhearts name and the Blackheart Family of Marks. 40. On or around January 2010, Hot Topic contracted with one of Blackheart's licensees, Junk Food Clothing, to sell a version of the vintage tee shirt featured below: 14 41. On or around February2010, Hot Topic approached Blackheartto design and distribute merchandise featuring the Blackheart Family of Marks. 42. Hot Topic subsequently contracted with Lagunatic Music & Filmworks, Inc. ("Lagunatic"), a licensee of Blackheart also owned by Jett and Laguna, for the production and distribution of Blackheart merchandise, including three orders of Blackheart's tee shirts. 43. Notably, when deciding on whichof the Blackheart Familyof Marks to use for this merchandise, a representative of Hot Topic wrote, "Exclusivity is so important to us and our business, so we have to make sure that we are only placing things that we can have true ownership on." Hot Topic knew of the images proposed by Blackheart on a tee shirt in Urban Outfitters and wanted to differentiate its Jett-inspired apparel from the competition. 44. As of April 2013, Hot Topic continued to feature at least two Jett-inspired tee shirts on their website: HOT TOPIC LOG IN/JOIN Cash In! Spend your HotCash and get $15off your $30 purchase! Details NEW ARRIVALS T-SHIRTS DENIM ACCESSORIES SHOES MUSIC POP CULTURE SALE FEATURES BLACKHEART HOME > CLOTHING Share This Product: R $*< + fc<k JOAN JETT GUITAR T-SHIRT Wasl^l^JJp Now: $6.98 This T-shirt features Joan Jett rockin' her Gibson Melody Maker mid-air! Full front screen has a halftone image that is accented with hints of red on lips, wrist, and feet. • 100% cotton • Wash warm, dry low • Imported • Listed in men's sizes • SKU: 901745 SWEATSHIRTS UNDIES/BRAS ONLINE EXCLUSIVE NEW ARRIVALS You Might Also Lil 15 HOT TOPIC LOG IN I JOIN Cath In! Spend toim HoiCmtt and gat $IS oH»ow $» pwchaae! Ofjulh NEW ARRIVALS T-SHIRTS DENIM ACCESSORIES SHOES MUSIC POP CULTURE SALE FEATURES BLACKHEART Siwami Product: G ' ?a*t*«- :wsv Alt, HUSK WORN FREE JOAN JETT BORN TO BE BAD GIRLS T-SHIRT WaOSOOJP Now: »30.98 Jam J#tt was bom to b# b»S Ttfej repfccaof a T-$M *M wo?»<n 1ST! by Worn Ftw » mada oSth* t«8*« Dr»w($h«d and Jlnun* t4<i*ycotton fo* J tawfeng M and wntaoa *mI Inefcidtf photo tticfe«K t09% cotton Wath caW Oty to* MadamUSA Ustaa1 « j*»ofs' *««* OUTERWEAR SOLD OUT UNDIES BRAS ROCKABILLY STFAMPUUK NEW ARRr.'ALS 45. Upon information and belief, Hot Topic previously sold tee shirts that appearedas follows: HOTTOPIC 16 46. Likewise, Hot Topic still advertises (out of stock) vinyl copies of the Greatest Hits of Joan Jett and the Blackhearts, which features the Blackheart Family of Marks: Defendants' Infringement 47. After experimenting with legitimate and illegitimate items that use and/or are sold under the Blackheart Family of Marks, Defendants commenced their own line of clothing under their own new "Blackheart" brand (the "Infringing Brand"). 17 48. Upon information and belief, Defendants' actions were geared towards trading off on the substantial goodwill associated with Blackheart, using the tag-line "Lingerie for Girls Who Rock & Roll." Thus, not only do Defendants utilize the "Blackheart" name in the Infringing Brand, they do so while invoking the image and persona of Joan Jett, who, as stated above, is referred to as "The Queen of Rock N' Roll" and whose best known recording is "I Love Rock N' Roll." 49. Upon information and belief, Defendants continue to advertise the Infringing Brand in connection with clothing featuring musicians—the same way Blackheart does. Upon information and belief, Defendants have used internet advertisements similar to the one below: BLACKHE^RJ LINGERIE FOR GIRIS WHO ROCK ft ROLL SHOP tUCKHEAW MEW MORES NOW OPEN CopyrightHotTopic©2013 AllRights Reserved 50. The Defendants knew of Blackheart Records' ownership of the Blackheart Family of Marks based on their prior business dealings with Blackheart. 51. Upon information and belief, Defendants intentionally named, designed and promoted the Infringing Brand to trade off on the goodwill established by Blackheart in connection with the Blackheart Family of Marks and Jett's iconic female rock star image. 18 Confusion Created by the Infringing Brand 52. Even before the Infringing Brand was officially launched, the public confused the Infringing Brand as being associated with and/or sponsored by Jett and the Blackheart Family of Marks. 53. On November 3, 2012, the website "ohnotheydidn't.com" featured an article on the soon- to-launch Infringing Brand. One of the website's registered users commented: "When I read 'Blackheart,' I got excited for a Joan Jett and the Blackhearts." 54. Blackheart's existing and potential customers know that Blackheart uses the Blackheart Family of Marks in connection with clothing and accessories. 55. Various individuals have contacted Blackheart to ask whether Blackheart and/or Jett is affiliated with and/or sponsoring the Infringing Brand. 56. Upon information and belief, members of the public are likely to be confused that the Infringing Brand is associated with, and/or sponsored by Blackheart. 57. The public and professional confusion between Blackheart's Family of Marks and the Infringing Brand was foreseeable and is understandable. Both use the same name: "Blackheart." Both associate the same logo with their name: a black heart. Both sell merchandise, including clothing, jewelry, and accessories featuring the formative "Blackheart" and the black heart logo. Both are associated with music—and rock n' roll in particular—as well as a female rocker image. Jett is the "Queen of Rock n' Roll," and the Infringing Brand is marketed to "Girls who Rock & Roll," targeting the youth market. 58. Defendants promote and sell the goods in connection with the Infringing Brand to customers familiar with, and that are actual purchasers of, the goods and services sold and promoted by Blackheart in connection with the Blackheart Family of Marks. 19 COUNTI Federal Trademark Infringement 59. To the extent applicable, Blackheart incorporates the allegations hereinabove as though fully set forth herein. 60. Defendants' offer to sell, sale, distribution, and advertisement of products under the Infringing Brand violates Section 32(1) of the Lanham Act, 15 U.S.C. § 1114(1). 61. The Blackheart Registered Marks are federally registered, and are entitled to protection under both federal and common law. 62. Defendants' unauthorized use of the Infringing Brand is likely to cause confusion, to cause mistake, and to deceive customers and potential customers as to the source or origin of Defendants' goods, and to cause them to mistakenly believe that Defendants' goods are Blackheart's goods, or are otherwise affiliated, connected, or associated with Blackheart in violation of Section 32(1) of the Lanham Act, 15 U.S.C. § 1114(1). 63. Defendants' unauthorized use of the Infringing Brand has caused, and unless enjoined, will continue to cause substantial and irreparable harm to Blackheart, including without limitation, substantial and irreparable harm to the goodwill and reputation associated with the Blackheart Registered Marks. 64. Upon information and belief, Defendants' infringement of the Blackheart Registered Marks is willful and reflects Defendants' intent to trade on the goodwill and strong brand recognition associated with the Blackheart Registered Marks. 65. Blackheart is entitled to injunctive relief, and also entitled to recover its costs, reasonable attorneys' fees, and Defendants' profits under 15 U.S.C. §§ 1114, 1116, 1117. 20 countn False Designation of Origin and Unfair Competition 66. To the extent applicable, Blackheart incorporates the allegations hereinabove as though fully set forth herein. 67. Defendants' offer to sell, sale, distribution, and advertisement of goods under the Infringing Brand constitutes unfair competition and false designation of origin in violation of Section 43(a) of the Lanham Act, 15 U.S.C. § 1125(a). 68. The Blackheart Family of Marks, including the Blackheart Registered Marks, are entitled to protection under both federal and common law. 69. Defendants' unauthorized use of the Infringing Brand constitutes unfair competition and the use of a false designation of origin that is likely to cause confusion and deceive consumers as to the impression that Defendants' products are manufactured by, authorized by, or otherwise associated or affiliated with Blackheart in violation of Section 43(a) of the Lanham Act, 15 U.S.C. § 1125(a). 70. Defendants' unauthorized use of the Blackheart Family of Marks has caused, and unless enjoined, will continue to cause substantial and irreparable injury to Blackheart, including without limitation, substantial and irreparable injury to the goodwill and reputation associated with the Blackheart Family of Marks. 71. Upon information and belief, Defendants' conduct complained of herein is willful and reflects Defendants' intent to trade on the goodwill and strong brand recognition associated with the Blackheart Family of Marks. 21 countm Violation of New York General Business Law Article 24 § 360 72. To the extent applicable, Blackheart incorporates the allegations hereinabove as though fully set forth herein. 73. Without Blackheart's authorization or consent, and having knowledge of Blackheart's well-known, prior rights in the Blackheart Family of Marks, Defendants manufactured, distributed, promoted, offered for sale and sold to the public goods under the Infringing Brand. 74. Defendants' unauthorized offer to sell, sale, distribution, and advertisement of goods bearing the Blackheart name violates Section 360-L of the New York General Business Law. 75. The Blackheart Family of Marks is entitled to protection under both federal and New York common law. 76. Defendants' unauthorized use of the Infringing Brand is likely to confuse and deceive consumers as to Blackheart's sponsorship or approval of Defendants' goods by creating the false and misleading impression that the Infringing Brand is authorized, licensed or otherwise associated with Blackheart. 77. Defendants' unauthorized use of the Blackheart Family of Marks, unless enjoined, will cause substantial and irreparable injury to Blackheart for which Blackheart has no adequate remedy at law, including at least substantial and irreparable injury to the goodwill and reputation associated with the Blackheart Family of Marks. 78. Defendants' unauthorized use of the Infringing Brand has diluted and damaged the distinctiveness of Blackheart's famous Family of Marks and has caused, and unless enjoined, will continue to cause substantial and irreparable injury to Blackheart for which it has no 22 adequate remedy at law, including substantial and irreparable injury to the goodwill and reputation associated with the Blackheart Family of Marks. COUNT IV Trademark Infringement in Violation of New York Common Law 79. To the extent applicable, Blackheart incorporates the allegations hereinabove as though fully set forth herein. 80. Defendants' offer to sell, sale, distribution, and advertisement of goods under the Infringing Brand constitutes common law trademark infringement. 81. The Blackheart Family of Marks includes federally registered trademarks as well as unregistered marks, and is used in New York and elsewhere extensively, and is entitled to protection under both federal law and New York common law. 82. Defendants' unauthorized use of the Infringing Brand is likely to cause confusion and deceive consumers as to the origin, sponsorship, or approval of Defendants' products by creating the false and misleading impression that Defendants' products are manufactured by, authorized by, or otherwise associated with Blackheart. 83. Defendants' unauthorized use of the Infringing Brand has caused, and unless enjoined, will continue to cause substantial and irreparable injury to Blackheart for which it has no adequate remedy at law, including substantial and irreparable injury to the goodwill and reputation associated with the Blackheart Family of Marks. 84. Upon information and belief, Defendants' infringement of the Blackheart Family of Marks is willful and reflects Defendants' intent to trade on the goodwill and strong brand recognition associated with the Blackheart Family of Marks. 23 85. Upon information and belief, Defendants' infringement of the Blackheart Family of Marks has been deliberate and calculated, having previously distributed, advertised, and promoted Blackheart's products and unauthorized versions of Blackheart's products, resulting in confusion and deception among consumers as to the origin, sponsorship, or approval of Defendants' products, and resulting in damage to Blackheart. 86. Defendants' acts constitute trademark infringement in violation of the common law of the State of New York. COUNT V Unfair Competition in Violation of New York Common Law 87. To the extent applicable, Blackheart incorporates the allegations hereinabove as though fully set forth herein. 88. With knowledge of the fame and distinctiveness of the Blackheart Family of Marks, Defendants intended to and did trade on the goodwill and strong brand recognition associated with the Blackheart Family of Marks by manufacturing, distributing, promoting and selling products using the Blackheart name under the Infringing Brand. 89. Defendants' acts as alleged herein are likely to cause confusion, mistake, and deception to consumers as to the affiliation, connection, or association of Defendants with Blackheart, and as to the origin, sponsorship, or approval of Defendants' products under the Infringing Brand, all to the detriment and damage of Blackheart and to the unjust enrichment of Defendants. 90. Defendants' unauthorized use of the Infringing Brand, unless enjoined, will cause substantial and irreparable injury to Blackheart for which it has no adequate remedy at law, 24 including at least substantial and irreparable injury to the goodwill and reputation associated with the Blackheart Family of Marks. PRAYER FOR RELIEF WHEREFORE, Blackheart prays for relief, and respectfully request that the Court: a) enjoin Defendants, their agents, servants, employees, and affiliates from engaging in trademark infringement, unfair competition, and passing off in each state in which the Defendants do business; b) require Defendants, their agents, servants, employees, affiliates, licensees, and assignees to account for all sums collected because of manufacturing, distributing, selling and/or otherwise exploiting the trademarks at issue herein; c) award Blackheart its attorneys' fees, taxable costs and disbursements of this action, under, in light of Defendants' willful conduct; and d) award Blackheart any further relief as justice may require, or as this Court deems necessary. 25 DEMAND FOR JURY TRIAL Plaintiff Blackheart Records Group, Inc., requests a jury trial for all claims. Respectfully submitted, BAKER HOSTETLER, LLP Dated: June 12,2013 New York, New York Oren J. Warshavsky Email: owarshavsky@bakerlaw.com Donna A. Tobin Email: dtobin@bakerlaw.com Jessie A. Kuhn Email: jkuhn@bakerlaw.com 45 Rockefeller Plaza New York, New York 10111 Telephone: (212) 589-4624 Facsimile: (212) 589-4201 Attorneysfor Plaintiff 26 Blackheart Records Group, Inc. v. Hot Topic, Inc. et al, Docket No. 1:13-cv-04054 (S.D.N.Y. Jun 13, 2013), Court Docket General Information Case Name Blackheart Records Group, Inc. v. Hot Topic, Inc. et al Docket Number 1:13-cv-04054 Court United States District Court for the Southern District of New York Primary Date 2013-06-13 00:00:00 Nature of Suit Property Rights: Trademark © Bloomberg Finance L.P. All rights reserved. Terms of Service View at Bloomberg Law // PAGE 1