Airs Aromatics v. Victoria's Secret, No. 12-55276 (9th Cir. 2014)
Annotate this CaseAirs International, a purported owner of an ANGEL DREAMS trademark, filed suit against Victoria's Secret alleging breach of contract claims and requesting cancellation of Victoria's Secret's registered DREAM ANGELS trademark. On appeal, Airs International challenged the district court's dismissal of its claims. The court held that Section 37 of the Lanham Act, 15 U.S.C. 1119, did not provide an independent basis for federal jurisdiction. Because Airs Aromatics had not appealed the dismissal of the only claims it brought that could support jurisdiction, the district court's judgment dismissing this action with prejudice must be affirmed. Airs Aromatics has not alleged sufficient facts to support a claim for trademark infringement where it failed to allege that the litigation was the kind of continuous, public usage of a trademark that served to identify the marked goods to the public as those of the mark's owner. Finally, leave to amend would be futile. Accordingly, the court affirmed the judgment of the district court.
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Court Description: Lanham Act. The panel affirmed the district court’s dismissal of a trademark cancellation claim under § 37 of the Lanham Act. The panel held that the trademark cancellation claim would not provide an independent basis for subject matter jurisdiction standing alone. The panel also held that the plaintiff failed to state a claim for trademark infringement because it failed sufficiently to allege continuous usage of the mark.
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