Sony V Knee Deep Brewing
Sony V Knee Deep Brewing
Sony V Knee Deep Brewing
-1- COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 2 of 13 Page ID #:2
1 Plaintiff Sony Pictures Television Inc., by its attorneys, as and for its
2 Complaint, alleges as follows:
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4 NATURE OF ACTION
5 1. This is an action for trademark infringement, false designation of origin,
6 trademark dilution and unfair competition under the Lanham Trademark Act of 1946,
7 15 U.S.C. §§ 1114(1), 1125(a) and (c), and California state law.
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9 PARTIES
10 2. Plaintiff Sony Pictures Television Inc. (“SPT”) is a Delaware
11 corporation with its principal place of business at 10202 W. Washington Blvd.,
12 Culver City, California 90232.
13 3. Upon information and belief, Defendant Knee Deep Brewing Company
14 (“Knee Deep”) is a Nevada limited liability company with its principal place of
15 business at 13395 New Airport Road, Suite H, Auburn, California 95602.
16 4. The true names and capacities of the defendants sued herein as DOE
17 Defendants 1 through 10, inclusive, are currently unknown to SPT, which therefore
18 sues such defendants by fictitious names. Each of the defendants designated herein
19 as a DOE is legally responsible for the unlawful acts alleged herein. SPT will seek
20 leave of Court to amend the Complaint to reflect the true names and capacities of the
21 DOE defendants when such identities become known. Knee Deep and DOE
22 Defendants 1 through 10, inclusive, are referred to collectively herein as
23 “Defendants.”
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25 JURISDICTION AND VENUE
26 5. The Court has subject matter jurisdiction over the federal trademark
27 claims arising under the Lanham Trademark Act of 1946, as amended, 15 U.S.C.
28 § 1051 et seq., pursuant to 15 U.S.C. § 1121 and 28 U.S.C. § 1331 and 1338. The
-2- COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 3 of 13 Page ID #:3
1 Court has supplemental jurisdiction over the related state law claims pursuant to 28
2 U.S.C. § 1367.
3 6. Venue is proper in this judicial District pursuant to 28 U.S.C. § 1391(b)
4 because a substantial part of the events giving rise to the claims occurred here and
5 Knee Deep has sufficient contacts with this District, including through the sale of the
6 infringing products at issue in this case in this District, such as to be deemed to be
7 subject to personal jurisdiction here and thus to reside here for venue purposes.
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9 FACTS COMMON TO ALL CLAIMS
10 SPT and its BREAKING BAD Marks
11 7. SPT is a world renowned entertainment company. Its global operations
12 encompass production, acquisition and distribution of television programs; television
13 networks; digital content creation and distribution; and development of new
14 entertainment products, services and technologies.
15 8. SPT produces and has produced many high-profile widely viewed
16 television shows, including the renowned, Emmy Award winning television series
17 BREAKING BAD, which premiered on the AMC television network in January
18 2008. The show tells the fictional story of Walter White, a high school chemistry
19 teacher in Albuquerque, New Mexico who, having been diagnosed with terminal lung
20 cancer, turns to a life of crime in partnership with his former student, manufacturing
21 and selling crystal meth in order to provide for his wife and children after his death.
22 9. BREAKING BAD became one of the most watched cable shows on
23 American television, has been ranked by the Guinness World Records as the most
24 critically acclaimed show of all time and has been cited as one of the greatest
25 television series in history. The show has won 16 Primetime Emmy Awards,
26 including the Primetime Emmy Award for Outstanding Drama Series in both 2013
27 and 2014. Bryan Cranston also won the Primetime Emmy Award for Outstanding
28 Actor in a Drama Series on four separate occasions for his portrayal of Walter White.
-3- COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 4 of 13 Page ID #:4
1 The show remains available today via Netflix media streaming and DVD rental
2 service, the AMC television channel’s website amc.com, and by download for rental
3 or purchase from the iTunes Store, Google Play, Xbox, and Amazon. The whole
4 series or individual seasons are available for purchase on DVD everywhere that
5 DVDs are sold, including Amazon.com.
6 10. As a result of the great success enjoyed by SPT’s BREAKING BAD
7 show, the BREAKING BAD word mark and various indicia associated with the
8 show, including the BREAKING BAD logo shown below (collectively, “the
9 BREAKING BAD Marks”), have become widely and immediately recognizable to
10 consumers as identifying SPT’s entertainment property and goods and services
11 connected with such property:
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20 The BREAKING BAD logo presents the words in white lettering, with the first two
21 letters of each word (“Br” and “Ba”) framed inside of a green square with white
22 outlining and small white numbers set off in the corners so as to represent the
23 symbols for the chemical elements bromine and barium from the periodic table of
24 chemical elements.
25 11. SPT owns a federal trademark registration for the BREAKING BAD
26 word mark (Reg. No. 3,718,597) for entertainment services in the nature of an
27 ongoing dramatic television series and DVDs featuring dramatic television
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-4- COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 5 of 13 Page ID #:5
1 programming. Such registration is valid, subsisting and in full force and effect and
2 has become incontestable.
3 12. In order to further capitalize on the enormous popularity of the
4 BREAKING BAD show, SPT has established an extensive licensing program
5 commercializing various products and services based on the show. SPT sells a wide
6 variety of officially licensed merchandise in connection with the BREAKING BAD
7 Marks at the official BREAKING BAD store located at breakingbadstore.com in
8 addition to other retail sources, including such diverse goods as apparel, glassware,
9 travel cups, mugs, posters, costumes, wallets, keychains, ashtrays, coasters, figurines
10 and action figures, bottle openers, throw pillows, postcards and vodka, to name just
11 some examples of goods sold throughout the United States. SPT has also actively
12 pursued exploiting its BREAKING BAD Marks in the food & beverage category,
13 including the already officially licensed HEISENBERG BLUE Ice Vodka, which
14 uses the pseudonym adopted and used in the show by the fictional lead character
15 Walter White in connection with his clandestine sale of blue colored crystal meth.
16 13. The right to associate one’s business with the BREAKING BAD Marks
17 and accompanying reputation and goodwill associated therewith is extremely
18 valuable. Indeed, companies pay substantial licensing fees for such rights in order to
19 promote and identify their businesses, products and services with the BREAKING
20 BAD Marks and show.
21 14. As a result of the widespread fame and success of the BREAKING BAD
22 show and SPT’s related licensing program, SPT has built up tremendously valuable
23 goodwill in the BREAKING BAD Marks, including the BREAKING BAD logo, as
24 marks symbolizing SPT, its famous BREAKING BAD hit television show and
25 official merchandise associated with the show.
26 Knee Deep’s Infringing BREAKING BUD Beer
27 15. Upon information and belief, Defendant Knee Deep is a manufacturer of
28 beer, ales, porters and stouts.
-5- COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 6 of 13 Page ID #:6
1 16. Upon information and belief, beginning in 2015, long after SPT
2 established its valuable trademark rights in its BREAKING BAD Marks, Defendants
3 began selling beer under the name BREAKING BUD.
4 17. In an obvious effort to trade on the fame and recognition of the
5 BREAKING BAD Marks and associate itself with the tremendous success of SPT’s
6 famous television show, Defendants deliberately imitated the BREAKING BAD logo
7 and marketed their product by incorporating other design elements clearly meant to
8 evoke SPT’s legendary show.
9 18. As shown in the image below, the label for Knee Deep’s beer presents
10 the BREAKING BUD mark in virtually the identical format as SPT’s BREAKING
11 BAD logo:
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22 Thus, just as in the BREAKING BAD logo, Knee Deep’s BREAKING BUD mark is
23 presented in white lettering with the first two letters of each word (“Br” and “Bu”) set
24 off inside a green box outlined in white with small white numerals in a corner, so as
25 to give the appearance of chemical symbols from the periodic table of elements.
26 19. In addition, the label and related marketing materials feature a character
27 wearing a hazmat suit appearing against a desert background (such as the
28 Albuquerque setting of SPT’s BREAKING BAD show) incorporating the image of
-6- COMPLAINT
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-7- COMPLAINT
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1 cause consumers to draw the false impression that Defendants’ goods are associated
2 with, or authorized, endorsed or sponsored by SPT as the producer of the
3 BREAKING BAD show and owner of the BREAKING BAD Marks.
4 23. Defendants have performed the aforementioned acts without SPT’s
5 permission or authority.
6 24. Upon information and belief, unless and until Defendants are enjoined
7 from any further unauthorized exploitation of the BREAKING BAD Marks, they will
8 continue to use their infringing designations in violation of SPT’s rights. Although
9 SPT has sought to halt Knee Deep’s infringing conduct, Knee Deep has refused to
10 cease using marks and indicia exclusively associated with SPT’s BREAKING BAD
11 show.
12 25. Upon information and belief, by virtue of their unlawful conduct,
13 Defendants have made or will make substantial profits and gains to which they are
14 not in law or equity entitled.
15 26. Upon information and belief, Defendants’ actions have been willful,
16 wanton, reckless and in total disregard of SPT’s valuable trademark rights.
17 27. As a result of Defendants’ unlawful actions, SPT has been or will be
18 damaged and has suffered, and will continue to suffer, immediate and irreparable
19 injury for which SPT has no adequate remedy at law.
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21 FIRST CLAIM FOR RELIEF
22 (Infringement of Registered Mark, Lanham Act § 32(1))
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24 28. SPT repeats and realleges the allegations set forth in paragraphs 1-27
25 above with the same force and effect as if set forth fully herein.
26 29. Defendants’ conduct as described above constitutes infringement of
27 SPT’s federally registered BREAKING BAD mark in violation of Section 32(1) of
28 the Lanham Act, 15 U.S.C. § 1114(1).
-8- COMPLAINT
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-9- COMPLAINT
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- 10 - COMPLAINT
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- 11 - COMPLAINT
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1 I. That SPT be granted such other and further relief as the Court deems just
2 and proper.
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4 Dated: April 17, 2018 JASSY VICK CAROLAN
Jean-Paul Jassy
5 Kevin L. Vick
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COWAN, LIEBOWITZ & LATMAN, P.C.
7 Richard S. Mandel
8 By:_______/s/ Jean-Paul Jassy______________
9 Jean-Paul Jassy
Attorneys for Plaintiff
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Sony Pictures Television Inc.
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- 12 - COMPLAINT
Case 2:18-cv-03221 Document 1 Filed 04/17/18 Page 13 of 13 Page ID #:13
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JURY DEMAND
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SPT hereby demands a jury trial on all issues so triable.
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4 Dated: April 17, 2018 JASSY VICK CAROLAN
Jean-Paul Jassy
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Kevin L. Vick
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COWAN, LIEBOWITZ & LATMAN, P.C.
7 Richard S. Mandel
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By:_______/s/ Jean-Paul Jassy______________
9 Jean-Paul Jassy
10 Attorneys for Plaintiff
Sony Pictures Television Inc.
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- 13 - COMPLAINT