Amazon.com, Inc. v. Wong, 2024 WL 553695, NO. C19-0990JLR (W.D. Wash. Feb. 12, 2024)
This default
judgment actually analyzes the false advertising claims, which is why I note
it. Amazon and Nite Ize sued Wong for selling hundreds of thousands of dollars’
worth of counterfeits of Nite Ize’s mobile device mounting products on Amazon
using “false credentials, including aliases, forged bank records, and
fabricated invoices” to create accounts. Obviously, the trademark-related
claims succeeded.
However, the false
advertising claims by Amazon failed, because Amazon didn’t allege that
defendants made false statements in commercial advertisements for the purpose
of influencing consumers or that Amazon was in competition with Wong. (The
default raises its ugly head, since Lexmark would deal with the second
issue). Instead, Amazon alleged only that defendants made false, misleading,
and deceptive statements that “were material to Amazon’s decision to allow them
to sell their goods on the Amazon store because Amazon would not have permitted
them to sell their goods but for the deceptive acts.” This wasn’t commercial
advertising or promotion.
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