Northridge Cellular, Inc.

3 Cited authorities

  1. Magic Wand, Inc. v. RDB, Inc.

    940 F.2d 638 (Fed. Cir. 1991)   Cited 32 times   1 Legal Analyses
    Explaining that the Lanham Act is clear "that the relevant public for a genericness determination is the purchasing or consuming public"
  2. In re Gyulay

    820 F.2d 1216 (Fed. Cir. 1987)   Cited 14 times   1 Legal Analyses
    Stating that the Board did not err in affirming the examiner's prima facie case that the mark was merely descriptive
  3. In re Seats, Inc.

    757 F.2d 274 (Fed. Cir. 1985)   Cited 10 times
    Holding that the word "SEATS" was not generic for ticket reservations services even though it could not be registered in connection with chairs or couches