With regards to social media activity, the evidence adduced by the Complainant
shows it has over 2.5 million followers on Facebook and 1.6 million followers on Twitter. The Complainant
therefore contends that the Disputed Domain Name is identical and confusingly similar to
the Complainant’s trademark in that the Disputed Domain Name wholly incorporates the Complainant’s
AMERICAN mark. ...
2022-05-30 - Case Details
Complainant also asserts that its Twitter page has over 75,100 followers, its Facebook page has over 131,000 “likes”, and its LinkedIn page has over 729,000 followers.
Complainant asserts that the disputed domain name consists of Complainant’s JLL trademark followed by the generic terms “property” and “management” – terms that allegedly are closely linked and associated with Complainant’s brand and trademark. ...
2022-03-03 - Case Details
The Complainant’s Twitter account has approximately 4,700,000 followers, its
Facebook page has more than 388,000 followers, its Instagram account has approximately 348,000
followers, and its Reddit page has approximately 195,000 members.
...
2022-04-19 - Case Details
Il ajoute que ses comptes de réseaux sociaux sont suivis par des millions d’internautes : 11.7 millions de “followers” pour Facebook, 149 000 “followers” pour Instagram et 106 000 “followers” pour Twitter.
Le nom de domaine litigieux est , enregistrée le 10 août 2021.
...
2021-12-29 - Case Details
Similar logos to the orange MYBOOKIE logo, depicted superimposed on a black circle or disc with an orange border, appear on the Complainant’s Instagram, Facebook, and Twitter accounts.
The Complainant’s primary Instagram account has over 44,000 followers; its Instagram_mma account has over 20,000 followers, and three other Instagram accounts have more than 2,000 followers each.
...
2021-11-23 - Case Details
In addition, the Complainant operates several social media platforms, such as Facebook, Twitter, YouTube, etc. all of which enjoy a wide followership. The Complainant also operates a mobile application by the name of “Khadi India” to help customers, patrons and members of trade in locating the nearest Khadi India Store.
...
2021-11-22 - Case Details
Further promotion and reference took place all around the world on an enormous scale in the lead up to and during the Games themselves.
The Complainant’s Facebook account has over 780,000 followers and its Twitter account over 6.1 million followers; its Olympics Instagram account has over 2 million followers. ...
2021-11-22 - Case Details
In addition, consumers can become a fan of “Corvette” on FACEBOOK.
The Complainant has capitalized on the strength of its CORVETTE mark and uses the trademark CORVETTE on a wide variety of products in addition to automobiles, including but not limited to personal accessories, hats, clothes, car accessories, Die Cast & Collectibles, furniture, posters, tool boxes, watches and clocks and neon signs.
...
2013-02-01 - Case Details
The Complainant’s main website at “www.tonybianco.com.au” has amassed some 2.7 million unique visits over the period May 2009 to April 2012 and the Complainant has achieved over 234,000 “likes” on Facebook.
The Complainant owns a range of registered trade marks including an Australian trade mark for the stylized word “tony bianco” in filed March 27, 1995, in class 25.
...
2012-10-29 - Case Details
The brand has a strong presence online through social media such as Facebook, Twitter, YouTube and FourSquare (see “www.facebook.com/gucci”, “www.twitter.com/gucci, http://youtube.com/gucci” and “http://foursquare.com/gucci”), and has dedicated websites such as the main site “www.gucci.com”, and “www.gucciconnect.com” and “www.gucciparfums.com”. ...
2013-06-20 - Case Details
b) The Respondent has rights or legitimate interests in respect of the Disputed Domain Name:
(i) the Respondent is using the Disputed Domain Name in connection with a bona fide offering of goods, in particular the Vodka;
(ii) the Facebook and Twitter page for the Respondent’s goods demonstrate use of the MONTE CARLO WORLD’S MOST PRETIGIOUS VODKA trade mark;
(iii) the Respondent applied for the MONTE CARLO WORLD’S MOST PRESTIGIOUS VODKA trade mark on July 8, 2011 and submitted a statement of use on September 20, 2012 alleging a first use date of June 1, 2012. ...
2013-04-09 - Case Details
The burden of proof then shifts to the respondent to rebut the complainant’s assertion”. See also Facebook, Inc. v. Majid Karimian Ghannad,
WIPO Case No. DIR2009-0001 and EPSON Europe BV for and on behalf of Seiko EPSON Corporation v. ...
2013-08-02 - Case Details
El Titular ha promovido su portal de Internet en Facebook, Twitter y demás plataformas sociales, desviando tráfico del sitio Web del Promovente.
B. Titular
El Titular no contestó a la Solicitud ni a las alegaciones del Promovente.
6. ...
2015-08-31 - Case Details
The Complainant also provided copies of webpages indicating that the Complainant has promoted its Virtual FlyBox app via Facebook since at least as early as April 2014, including through some limited use of Facebook's paid advertising feature, as well as via Google+ since May 2014.
...
2014-10-16 - Case Details
He claims to have been associated with for 25 years on his Facebook, titled Bleach Stain Carpet Repairs and LinkedIn without acknowledgement of any previous business. ...
2014-07-14 - Case Details
The Complainant represents that it advertises its services across a broad range of media, including print, television, and radio throughout the Middle East and international media including global publishers such as MSN, Yahoo, YouTube, and Facebook. According to the Complainant, its advertising expenditures exceed USD 2.5 billion annually.
Against this backdrop, the Complainant turns to the MBC Pro Sports Network, which the Complainant indicates was launched “to great fanfare” on August 7, 2014. ...
2015-03-18 - Case Details
The Complainant also has a strong online presence in online stores and social networks such as Facebook, Twitter, and YouTube. Its main website at “www.goldengoosedeluxebrand.com” generates significant visits and offers its products for sale through the internal online store (Annex 6 to the Complaint).
...
2015-06-16 - Case Details
In this context, it has a strong presence also in social media such as Facebook, Twitter, YouTube and Instagram. Its activities have received substantial press coverage in prestigious fashion publications such as Elle, Esquire and Vogue.
...
2016-03-14 - Case Details
The Panel moreover has doubts as to this claim of the Respondent as it does not claim to be a non-profit
and its website bears links “get pricing” and “free trial” speaking to a commercial undertaking.
The Panel cites with approval Facebook, Inc. and Instagram, LLC v. WhoisGuard Protected, WhoisGuard,
Inc. / Phishing Operations, Wombat Security Technologies, WIPO Case No. ...
2022-09-07 - Case Details
Factual Background
The Complainant, Meta Platforms, Inc., (“Meta”) is a United States social technology company that operates
a number of businesses including Facebook, Instagram, Meta Quest (formerly Oculus), Novi, Portal, and
WhatsApp. The Complainant, Instagram, LLC (“Instagram”), is a wholly owned subsidiary of Meta, and a
well-known online photo and video-sharing social-networking application. ...
2022-08-15 - Case Details