Expandable wire bangle bracelet

Information

  • Patent Grant
  • RE45079
  • Patent Number
    RE45,079
  • Date Filed
    Tuesday, November 22, 2011
    13 years ago
  • Date Issued
    Tuesday, August 19, 2014
    10 years ago
  • US Classifications
    Field of Search
    • US
    • D11 1- 15
    • D11 18
    • D11 19
    • D11 20
    • D11 22
    • D11 23
    • D11 24
    • D11 25
    • D11 93
    • 063 003000
    • 063 004000
    • 063 009000
    • 063 038000
    • 063 003200
  • International Classifications
    • 1101
Abstract
Description


FIG. 1 is a perspective view of an expandable bangle bracelet, showing my new design;



FIG. 2 is a top plan view thereof;



FIG. 3 is a bottom view thereof;



FIG. 4 is a left side view thereof;



FIG. 5 is a right side view thereof;



FIG. 6 is a rear view thereof; and,



FIG. 7 is a front view thereof;.




FIG. 8 is a perspective view of a second embodiment of my design; and,




FIG. 9 is a perspective view of a third embodiment of my design.



The subject matter depicted in dashed lines in FIG. 9 is shown for illustrative purposes only and forms no part of the claimed design.


Claims
  • The ornamental design for an expandable wire bangle bracelet, as shown and described.
US Referenced Citations (14)
Number Name Date Kind
14438 Ahn Nov 1883 A
393239 Johnstone Nov 1888 A
421615 Riker Feb 1890 A
1043063 Cahoone Nov 1912 A
D152434 Pizzano et al. Jan 1949 S
D224257 Lee Jul 1972 S
D245834 Wilbert Sep 1977 S
D247482 Schupp Mar 1978 S
5247814 McDonald Sep 1993 A
D386999 Kothari Dec 1997 S
D446146 Cevallos Aug 2001 S
D446147 Cevallos Aug 2001 S
D452456 Cabarbaye Dec 2001 S
D460373 Cabarbaye Jul 2002 S
Non-Patent Literature Citations (45)
Entry
Richard M. Garbarini, Complaint and Jury Demand filed on Jun. 11, 2010 in the Southern District of New York, pp. 1-26.
Robert H. Morse, Answer and Counterclaims filed on Jul. 7, 2010 in the the Southern District of New York, pp. 1-11.
Richard M. Garbarini, First Amended Complaint and Jury Demand dated Jun. 7, 2010, pp. 1-12.
Robert H. Morse, Amended Answer and Counter Claims to First Amended Complaint filed on Jul. 27, 2010 in the the Southern District of New York, pp. 1-9.
Robert H. Morse, Exhibit 1 to Amended Answer and Counter Claims to First Amended Complaint filed on Jul. 27, 2010 in the the Southern District of New York, pp. 1-9; includes U.S. Patent No. D498,167 (a child patent claiming priority to the patent of the subject reissue application).
Robert H. Morse, Exhibit 2 to Amended Answer and Counter Claims to First Amended Complaint filed on Jul. 27, 2010 in the the Southern District of New York, pp. 1-3; includes U.S. Patent No. 421,615.
Robert H. Morse, Exhibit 3 to Amended Answer and Counter Claims to First Amended Complaint filed on Jul. 27, 2010 in the the Southern District of New York, pp. 1-3; includes a jewelry catalogue from The Hoffman Jewelry Company of Columbus, OH dated 1909-1910, pp. 1-4.
Richard M. Garbarini, Reply to Counterclaims of Defendant MOA International Corp. filed Aug. 4, 2010 in the Southern District of New York, pp. 1-6.
Robert H. Morse, Letter to the Hon. Kimba M. Wood of the Southern District of New York, dated Jul. 21, 2010, pp. 1-24; includes the above-mentioned Exhibits 1-3.
Kimba M. Wood, Order in response to Defendants' Letter of Jul. 21, 2010, dated Aug. 9, 2010, pp. 1-2.
Richard M. Garbarini, Plaintiff's Responses to Defendant's Rule 56.1 Statement filed Aug. 13, 2010 filed in the Southern District of New York, pp. 1-12; includes U.S. Patent No. 498,167 (a child patent claiming priority to the patent of the subject reissue application).
Robert H. Morse, Response to Plaintiff's Rule 56.1 Statement and Argument filed Aug. 20, 2010 in the Southern District of New York, pp. 1-8.
Kalpana Nagampalli, Declaration of Kalpana Nagampalli dated Aug. 20, 2010 filed in the Southern District of New York in support of Defendant's Response to Plaintiff's Rule 56.1 Statement, pp. 1-2.
Robert H. Morse, Exhibit A to Defendant's Response to Plaintiff's Rule 56.1 Statement and Argument filed Aug. 20, 2010, pp. 1-2; includes a web page published by Alex and Ani, Inc.
Robert H. Morse, Exhibit B to Defendant's Response to Plaintiff's Rule 56.1 Statement and Argument filed Aug. 20, 2010, pp. 1-2; includes pictures of bracelets.
Robert H. Morse, Exhibit C to Defendant's Response to Plaintiff's Rule 56.1 Statement and Argument filed Aug. 20, 2010, pp. 1-2; includes U.S. Patent No. Des. 245,834.
Robert H. Morse, Exhibit D to Defendant's Response to Plaintiff's Rule 56.1 Statement and Argument filed Aug. 20, 2010, pp. 1-2; includes a web page published by Alex and Ani, Inc.
Kalpana Nagampalli, Memorandum of Law in Support of Defendant's Motion for Summary Judgment filed Feb. 18, 2011 in the Southern District of New York, pp. 1-30.
Kalpana Nagampalli, Exhibits in support of the Memorandum of Law in Support of Defendant's Motion for Summary Judgment filed Feb. 18, 2011 in the Southern District of New York, pp. 1-29; includes U.S. Patent No. D498,167 (Ex. A), Declaration of Robert H. Morse (Ex. B), U.S. Patent No. 14,438 (Ex. 1), U.S. Patent No. 421,615 (Ex. 2), John V. Farwell Company Jewelry, Diamonds and Watches Catalog dated 1908-1909 (Ex. 3), The Hoffman Jewelry Company Wholesale Jewelry Catalogue No. 27 dated.
Bradley S. Corsello, Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-19.
Carolyn Rafaelian, Declaration of Carolyn Rafaelian in Support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-8.
Carolyn Rafaelian, Exhibit A Part 1 of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-6; includes magazines showcasing Alex and Ani bracelets.
Carolyn Rafaelian, Exhibit A Part 2 of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-5; includes magazines showcasing Alex and Ani bracelets.
Carolyn Rafaelian, Exhibit A Part 3 of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-6; includes magazines showcasing Alex and Ani bracelets.
Carolyn Rafaelian, Exhibit A Part 4 of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-4; includes magazines showcasing Alex and Ani bracelets.
Carolyn Rafaelian, Exhibit A Part 5 of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-5; includes magazines advertising Alex and Ani bracelets.
Carolyn Rafaelian, Exhibit B of Declaration of Carolyn Rafaelian in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-2; includes a PR Newswire about Carolyn Rafaelian and Alex and Ani, Inc.
Dr. Victoria Tillotson, Declaration of Expert Witness Dr. Victoria Tillotson in Support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-8.
Dr. Victoria Tillotson, Exhibit A of Declaration of Expert Witness Dr. Victoria Tillotson in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-3; includes the resume of Dr. Victoria Tillotson.
Dr. Victoria Tillotson, Exhibit B of Declaration of Expert Witness Dr. Victoria Tillotson in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-2; U.S. Patent No. 421,615.
Dr. Victoria Tillotson, Exhibit C of Declaration of Expert Witness Dr. Victoria Tillotson in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-3; includes an article entitled Four Centuries of Silver by Margaret Duda.
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Dr. Victoria Tillotson, Exhibit E of Declaration of Expert Witness Dr. Victoria Tillotson in support of Plaintiff's Memorandum of Law in Opposition to Defendant's Proposed Motion for Summary Judgment filed Feb. 28, 2011, pp. 1-10; includes pages from the Hoffman Jewelry Company Jewelry Catalogue dated 1909-1910.
Hon. Kimba M. Wood, Order in response to Defendant's Motion for Summary Judgment dated Sep. 6, 2011, pp. 1-2.
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Richard M. Garbarini, Letter to the Hon. Kimba M. Wood in response to Defendant's Response to Plaintiff's Rule 56.1 Statement and Argument, dated Aug. 23, 2010, pp. 1-3.
Excerpts from “World of Bracelets”, 4 pages.
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Reissues (1)
Number Date Country
Parent 29181844 May 2003 US
Child 29407021 US