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IN THE UNITED STATES DISTRICT COURT

FOR THE WESTERN DISTRICT OF NORTH CAROLINA


ASHEVILLE DIVISION
Case No. 1:15-cv-00288-MR
THE BILTMORE COMPANY,
a Delaware corporation,
Plaintiff,
v.
NU U, INC.
Defendant.

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AMENDED COMPLAINT
NOW COMES the Plaintiff The Biltmore Company (Biltmore), by and
through counsel, complaining of the Defendant as follows:
PARTIES AND JURISDICTION
1.

The Biltmore Company (Biltmore) is a corporation organized under

the laws of Delaware with its corporate headquarters located within Buncombe
County at One North Pack Square, Asheville, North Carolina 28801.
2.

Nu U, Inc. (Nu) is a North Carolina corporation with a principal

place of business in Buncombe County, North Carolina.


3.

This Court has original subject matter jurisdiction over this action

pursuant to 28 U.S.C. 1331, 28 U.S.C. 1338(ab), and 15 U.S.C. 1121. This


Court has related claim and supplemental jurisdiction over the state law tort claims

Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 1 of 48

alleged in this Complaint pursuant to 28 U.S.C. 1338(b) and 28 U.S.C.


1367(b).
4.

This Court has personal jurisdiction over Nu because Nu maintains its

principle place of business within North Carolina.


5.

Venue is proper in this district under 28 U.S.C. 1391(bc) because

Nu is a resident of both North Carolina and the Western District of North Carolina,
a substantial part of the events or omissions giving rise to the claims alleged in this
Complaint occurred in this district, and Nus principle place of business is within
the district.
FACTUAL ALLEGATIONS
6.

The Biltmore brand is famous for classic, timeless beauty and elegant

hospitality. The Biltmore brand is an invitation to connect with others and savor
lifes moments. Biltmore is the destination lifestyle brand that keeps alive the
beauty of a gracious time and place.
7.

The Biltmore brand is built upon Biltmore Estate, an historic multi-

purpose tourist destination covering 8,000 acres in Buncombe County, North


Carolina. Biltmore House, which George Vanderbilt built from 1889-1895, is the
focal point of the Estate. This inspiring and iconic structure is the largest privately
owned house in the United States. Then as now, the Estate provides an oasis from
the hustle and bustle of city living. Through the Estate, the legendary hospitality of
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the Vanderbilts survives to this day.


8.

Biltmore House has been meticulously restored to maintain historical

accuracy wherever possible. Today, Biltmore Estate is considered among the best
examples of homes from Americas Gilded Age.
9.

Biltmore Estate encompasses Biltmore House and Biltmore Gardens

(available for touring and special events); more than 7000 acres of productive
managed forest, commercial vegetable and viticulture production, and crop and
livestock production (some of which is open for hiking, mountain biking and
horseback riding); Biltmore Winery (a fully functional wine-making facility);
Antler Hill Village (which includes a farm and outdoor adventure center open for
public touring); The Inn on Biltmore Estate (a large upscale hotel with dining and
conference amenities); Village Hotel on Biltmore Estate (Biltmores newest hotel
providing comprehensive lodging amenities); numerous dining facilities (including
Bistro, Cedrics Tavern, Deerpark Restaurant, Smokehouse, Stable Caf, The Bake
Shop, The Conservatory Caf, and The Courtyard Market); as well as multiple
retail facilities that sell Biltmore branded merchandise, apparel, and jewelry.
Biltmore also maintains a significant online presence through its website,
www.biltmore.com, which provides a portal for ticket purchases, wedding
planning, hotel room and dining reservations, and merchandise sales. Biltmore
Estate as it exists today is shown below:
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10.

The BILTMORE mark itself is a fanciful term and inherently strong,

derived from the words Bildt, the place Mr. Vanderbilts ancestors lived in
Holland, and more, the Anglo-Saxon word for open, rolling land. Mr.
Vanderbilt himself coined the term during construction of Biltmore House.
11.

The BILTMORE mark has acquired tremendous commercial strength.

12.

Since 2005, there have been over two billion dollars in branded

consumer transactions under Plaintiffs BILTMORE mark and approximately $121


million dollars spent on marketing the BILTMORE mark over the same period.
13.

Biltmore Estate first opened to the public in the 1930s. Since visitor

record-keeping began after World War II, approximately thirty million paying
guests have visited Biltmore Estate. Today, Biltmore Estate hosts over 1.3 million
paying guests each year from around the world.
14.

Since Biltmore Estate opened to the public in 1930, Biltmore has gone

to great expense to ensure that Biltmore House and the entire Estate is as elegant,
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pristine, historically authentic, and visitor-friendly as possible. As a result, the


architecture, interior design, and decor of Biltmore House and Biltmore Estate,
have received widespread international acclaim for their historical importance and
well-preserved beauty.
15.

Biltmore is ranked among the top destinations in North Carolina by

numerous travel publications. According to top travel company Fodors Travel,


Biltmore is the most-visited attraction in North Carolina. Over ten thousand
visitors to Biltmore ranked it excellent and very good on popular travel review
site Trip Advisor, where Biltmore also won the Trip Advisor Certificate of
Excellence.
16.

Major motion pictures, television shows, and documentaries have

been filmed at Biltmore Estate, to include Forrest Gump, The Last of the
Mohicans, My Fellow Americans, Richie Rich, Patch Adams, Americas Castles:
Biltmore Estates, and One Tree Hill.
17.

Biltmore hosts exhibits of interest to its guests. In 2015, Biltmore

hosted a popular Downton Abbey exhibition, Dress Downton: Changing


Fashion for Changing Times and Upstairs-Downstairs Tour. The exhibition
showcased costumes from the very popular television series, Downton Abbey,
and provided guests with both a way to learn more about their favorite television
show and a way to learn about the hospitality offered at Biltmore during the early
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1900s. The Downton Abbey exhibition at Biltmore was covered by major news
outlets, to include USA Today, the New York Post, PBS, the Seattle Times, and
the Los Angeles Times.

Images from the Downton Abbey exhibition at

Biltmore are shown below:

18.

Currently, Biltmore is hosting the Fashionable Romance: Wedding

Gowns in Film exhibition. Fashionable Romance showcases famous wedding


costumes from period movies, mini-series, and television shows. The webpage for
Fashionable Romance from Biltmores website is shown below:

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19.

Individuals visiting Biltmore house during the exhibit are greeted with

imagery of a classic and luxurious wedding experience. Guests view these famous
wedding gowns as they travel from room to room in the Biltmore House. Images
from the Fashionable Romance exhibition are shown below:

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20.

Following in the Vanderbilt tradition of philanthropy, Biltmore

supports numerous charitable causes. In particular, Biltmore supports charitable


organizations that focus on supporting people in need, working with food and
farming, and preserving natural and cultural resources. Examples of organizations
Biltmore supported in 2015 include Asheville Area Habitat for Humanity, Eblen
Charities, Business North Carolina Magazine, Hearts with Hands, MANNA
Foodbank, Mountain Housing Opportunities, ASAP, Organic Growers School,
Asheville Greenworks, WNC Friends of the Nature Center, and Forest History
Society/Cradle of Forestry.
21.

In addition to its financial support of charitable work, Biltmore

provides over 900 complimentary tickets to over 400 local community


organizations for use at fundraising events or as gifts to those organizations
employees.
22.

In addition to connecting with guests at Biltmore Estate, Biltmore

connects with its guests through the Internet. Biltmore maintains a website at
www.biltmore.com, which discusses the events occurring at Biltmore. Millions of
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people visit Biltmores website every year. In fiscal year 2015, Biltmores website
averaged over 502,000 unique visitors each month. Since 2005, 48 million people
have visited Biltmore.com.
23.

Biltmore is active on social media. Biltmores social media sites

include:
a.

Biltmores Facebook page - www.facebook.com/Biltmore - which has

more than 373,000 likes and 438,000 people identifying they visited the Biltmore
Estate. More than 16,000 people have reviewed their trip to the Biltmore Estate,
with the average review being a high 4.7 out of 5 stars.
b.

Biltmores Instagram page - www.instagram.com/biltmoreestate/ -

which has 31.4 thousand followers.


c.

Biltmores Twitter page - twitter.com/BiltmoreEstate - which has 28.9

thousand followers
d.

Biltmores Google Plus page - plus.google.com/+Biltmore/posts -

which has over 16 million views.


e.

Biltmores Pinterest page - www.pinterest.com/Biltmore/ - which has

more than 7,000 followers.


f.

Biltmores YouTube page - www.youtube.com/c/biltmore - which has

more than 1,000 subscribers.


g.

Biltmores winery, Biltmore Wines, maintains a Twitter presence at


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twitter.com/biltmorewines, and an Instagram presence at instagram.com/biltmore


wines.
h.

Biltmores wedding business maintains a Twitter presence at

twitter.com/biltmorewednc, and an Instagram presence at www.instagram.com/


biltmoreweddingsnc/.
24.

Biltmore devotes substantial resources to promoting the BILTMORE

mark. Biltmore engages in online, television and video, radio, print (such as
magazine and newspaper), and outdoor advertising. Each year, Biltmore spends
millions of dollars to promote and market the BILTMORE mark. In the fiscal year
2015, Biltmore spent over 14 million dollars on advertising and promotion.
25.

The BILTMORE brand is closely identified with the art of hospitality.

Biltmore believes hospitality is not formality; it is a lifestyle.

To that end,

Biltmore works hard to ensure the BILTMORE mark is representative of elegance,


high class, timelessness, and authenticity.

Biltmore is successful in these

endeavors. Consumers recognize the BILTMORE brand as elegant, expensive,


beautiful, relating to hospitality, classic, quality, and extraordinary.
26.

In line with its brand reputation, Biltmore sells numerous

understatedly elegant goods on the estate through its retail establishments and
through its online store.
27.

Since at least as early as 2001, Biltmore offered and continues to offer


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a wide variety of womens fashion apparel.

Today, this apparel is available

through retail stores on the Biltmore Estate: The Marble Lion, located inside The
Inn on Biltmore Estate, and Antler Hill Outfitters. This apparel includes dresses,
suits, blouses, jackets, and slacks.

Examples of Biltmores womens fashion

apparel and accessories are shown below:

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28.

Biltmore offers watches and an array of jewelry under its BILTMORE

mark. Biltmore jewelry is available through Biltmores retail establishments and


Biltmores online store.

Examples of Biltmores jewelry products are shown

below:

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29.
mark.

Biltmore sells lotions, soaps, and perfumes under its BILTMORE

Examples of these products from Biltmores retail establishments and

product literature are shown below:

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30. Biltmores retail establishments use the BILTMORE brand.

The

BILTMORE mark is included on retail establishment signs, on signs used


throughout the stores, and as part of displays. Clothing purchases at Biltmores
retail establishments are wrapped in gray tissue paper that is held closed with a
burgundy BILTMORE sticker.

Jewelry purchases are placed in BILTMORE

boxes. Purchases are placed in a BILTMORE branded bag. The receipts are
emblazoned with the BILTMORE mark. An example of such jewelry point of sale
branding is shown below:

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31. Examples of some of Biltmores use of the BILTMORE name in


Biltmores retail establishments are shown below:

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32.

Biltmores retail stores are not the only place Biltmore guests and fans

purchase Biltmores products. As part of its website, Biltmore maintains an online


store that includes many of its numerous retail offerings. Biltmores online store
includes apparel, bath and body products such as soaps, lotions, and perfumes,
jewelry, wine, books, and home dcor, and is located at shop.biltmore.com and is
shown below:

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33.

Biltmore also licenses the BILTMORE mark to licensees to produce

high quality items worthy of the BILTMORE mark across a wide variety of
consumer products to include furniture, bedding, bath ware, cookware, holiday
dcor and decorative accessories.

Biltmore has generated tens of millions of

dollars from licensing its BILTMORE mark.


34.

Biltmore entered into a license agreement with Belk, an upscale

department store headquartered in Charlotte, North Carolina. Belk offers fashion


apparel, cosmetics, accessories, shoes, home furnishings, and wedding registry
services. Belk operates approximately 300 stores in sixteen states, mostly in the
Southeast. The BILTMORE goods at Belk reflect Biltmores craftsmanship,
beauty, and legacy of gracious hospitality. An image of Belks webpage featuring
BILTMORE items, and Biltmores webpage introducing Belk as its licensee, are
shown below:

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35.

Biltmores direct retail sales are substantial. Since 2005, Biltmore has

generated more than $250 million of retail sales from its Biltmore Estate retail
establishments and from its online webstore.
36. Over the past ten years, there have been more than 30 million
consumer transactions related to Plaintiffs BILTMORE branded goods and
services. BILTMORE products are distributed to consumers in all fifty states and
the District of Columbia.
37.

Biltmore owns trademark registrations in the United States and around


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the world for BILTMORE and BILTMORE ESTATE. In particular, Biltmore


owns:
a.

Incontestable

U.S.

Trademark

Registration

Nos.

2,361,022; 3,210,613; 3,690,732; and 3,791,632; 3,855,102 for


BILTMORE. These registrations are valid, enforceable and
subsisting. True and accurate copies of these registrations are
attached hereto as Exhibits AE.
b.

U.S. Trademark Registration Nos. 4,029,560 and

4,769,396 for BILTMORE. These registrations are valid,


enforceable and subsisting. True and accurate copies of these
registrations are attached hereto as Exhibits F and G.
c.

Incontestable

1,616,971,

U.S.

1,618,044,

and

Trademark
2,316,670

Registration
for

Nos.

BILTMORE

ESTATE; U.S. Trademark Registration No. 4,542,205 for


BILTMORE

CENTER

FOR

PROFESSIONAL

DEVELOPMENT; and U.S. Trademark Registration No.


3,846,281 for BILTMORE BREWING COMPANY. These
registrations are valid, enforceable and subsisting. True and
accurate copies of these registrations are attached hereto as
Exhibits HL
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d.

Numerous foreign registrations for BILTMORE, to

include Registration Nos. TMA673,561 (Canada); 10,726,062,


10,560,366,

10,726,061,

10,726,060,

10,726,059,

and

10,726058 (China); 292,755 (Egypt); 121,242 (Kuwait);


529,123 (Russia); 1,435,000,405 (Saudi Arabia); and 2013
76849 (Turkey), as well as Registration No. TMA667,921
(Canada) for BILTMORE ESTATE.
38.

Included in its complement of comprehensive guest services, Biltmore

provides an extensive array of award winning wedding and bridal services. These
services include, among others: nationally recognized wedding venue and
reception locations within the Estate; comprehensive wedding packages for
weddings held on the Estate; world-class catering options for wedding rehearsals,
bridesmaid luncheons, receptions, and morning-after brunches; an extensive
offering of outdoor activities for wedding guests, including Biltmores: Land
Rover Experience Driving School, Orvis Fly-Fishing School, Sporting Clays
School, French Broad River float trips, spa and beauty packages, horseback riding,
hiking, biking, carriage rides, and Segway tours; an Estate Wedding Team of bridal
professionals to assist couples with the planning and execution of their wedding;
and a comprehensive suite of lodging options for the wedding party and guests
through Biltmores exclusive Inn on Biltmore Estate, Village Hotel on Biltmore
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Estate, the Cottage on Biltmore Estate, and local area accommodation partners.
39.

When a couple elects to have their wedding at Biltmore, Biltmores

professional team works with that couple from the moment of first contact through
the wedding day. Biltmores team is involved in in-person site visits, reserving
room blocks at Biltmore hotels, planning menus and layouts, arranging rentals for
tents, draping, lighting, china, glass, and silverware, assisting with the wedding
rehearsal, coordinating with the wedding planner, and ensuring Biltmores role in
the wedding day runs smoothly.
40.

Each year, approximately 180 to 200 weddings are held at Biltmore.

On some weekends, Biltmore hosts as many as nine weddings.


41.

Weddings held at Biltmore are elegant, high class affairs.

42.

Biltmore has hosted the weddings of several celebrities, including

professional athletes. Images from the 2015 Biltmore wedding of professional


football player Roman Harper and Heather Haukaas are shown below.

43.

Biltmore advertises its wedding services in print publications and

online. For example, Biltmore has advertised in print in Weddings Unveiled,


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Town & Country Weddings, The Knot (magazine), The Knot North Carolina
(magazine), Carolina Bride, Inside Weddings, Destination I Do, Southern Bride,
and Martha Stewart Weddings. Biltmore also advertises through its website and its
social media pages. Examples of some of Biltmores wedding advertisements
include the following:

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44.

Biltmore maintains wedding specific accounts on Twitter and

Instagram. Screen shots of Biltmore Weddings on Instagram and Twitter are


shown below:

45.

As part of its social media wedding advertising, Biltmore Weddings

showcases pictures of the happy couple before, during, and after their Biltmore
weddings.

When showcasing pictures of brides getting married at Biltmore,

Biltmore Weddings adopted the hashtag #BiltmoreBride. Below is an example of

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a post on Instagram from approximately 86 weeks ago (August 2014), showing


how Biltmore uses the #BiltmoreBride hashtag:

46.

Another example of an Instagram post from approximately 80 weeks

ago (September 2014) is shown below:

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47.

Brides getting married at Biltmore also use the #BiltmoreBride

hashtag when sharing their own pictures of their special day at Biltmore.
48.

The use of a hashtag allows for social media postings and

advertisements to be categorized together by keyword. When a person searches for


a particular keyword, such as biltmorebride, all postings and advertisements with
the same or similar hashtag are then produced in the search results. For example,
when an individual interested in wedding services provided by Biltmore searches
for #biltmorebride on Facebook, every posting with the #biltmorebride
hashtag will appear in the results, including postings from Biltmore, guests of
Biltmore who hold their weddings at the Estate, and wedding industry
professionals who work events held at Biltmore.
49.

Biltmores wedding services receive substantial acclaim in national

media. In the past five years, Biltmore has been featured by major media outlets as
a premier wedding location more than 250 times. For example, Biltmore weddings
have been featured in:
e. 10 Vineyards Outside CA Where You Can Get married,
Martha Stewart Weddings.
f. Boston Bombing Couple Gets Dream Wedding Planned by
America, People Magazine
g. Destination Wedding Venue: The Biltmore Estate in
Asheville, Brides.com
h. Real Wedding Album: BreAnne and Tim, Glamour
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i. The Most Luxurious Wedding Venues in the World, Town &


Country
j. Where to Get Married: The Best Weddings in All 50 States,
Frommers
k. Fall Wedding Destinations, The Travel Channel.com
50.

Well-known online publications with national audiences have also

lauded Biltmore weddings. These include Southern Weddings, Southern Bride &
Groom, Brides.com, BelleTheMagazine.com, Mountainside Bride, Weddings With
Tara, USA Travel Tips, The Black Tie Bride, Honey Darling Events, Town and
Country.com, Glamour.com, agoldenlocket.com, Fox Sports, June Bug Weddings,
weddingstylemagazine.com, Conde Nast Traveler, Washington Post, NY Daily
News, weddingnewsday.com, Asheville Event Co, wedding-spot.com, ai.com,
Grace Ormande Wedding Style, Ceci In New York, BizBash.com, and The Bridal
Bar.
51.

Biltmore has been recognized as one of the USAs most beautiful

destination wedding venues by Brides.com.


52.

Biltmores impressive wedding services caught the attention of The

Knot. Upon information and belief, the Knot is Americas largest wedding news
and inspiration website in the US, reaching more than 11 million unique monthly
visitors.

The Knot also publishes print magazines directed towards wedding

planning. In 2013, The Knot selected Biltmore as a Best of Wedding Venue, 2013

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Editors Pick.
53.

In 2014, The Knot selected Biltmore to be the location for The Knot

Dream Wedding. The Knot Dream Wedding provided a fairy tale wedding for two
survivors of the Boston Marathon bombing. The Knot readers and fans voted for
various aspects of the ceremony, such as dresses and flowers. The Knot Dream
Wedding at Biltmore was covered by the national press, to include People
Magazine and The New York Post. Images from The Knot Dream Wedding 2014
at Biltmore are shown below:

54.

Biltmore received first place honors by BorrowedandBlue.com for

Best All-Around Wedding Venue, Best Venue for Grand Weddings, and Best Fall
Wedding.
55.

Biltmore hosted Engage!13, a luxury wedding business summit that


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brings together the most innovative minds in the wedding industry from across the
United States.
56.

Biltmores weddings business brings in millions of dollars in

revenues. For fiscal year 2015, Biltmores weddings business generated more than
four million dollars in revenues.
57.

When consumers were asked how they would feel about various

goods and services carrying the BILTMORE brand, wedding-related items were
very appealing. Among those who said that the Biltmore brand would catch their
eye in the marketplace, 70% said that the Biltmore brand would raise their
satisfaction, make the product more appealing, and increase their purchase interest
in wedding-related products.
58.

The BILTMORE name in conjunction with weddings is widely

associated in North Carolina as representing Biltmore Estates wedding services.


Defendant Nu Us Use of BILTMORE
59.

For several years, Nu operated a combined prom store and a Merle

Norman cosmetics franchise in the greater Asheville area using the marks MERLE
NORMAN ASHEVILLE and TOP 10 PROM. Nu offered prom dresses, shoes,
accessories, and Merle Norman branded cosmetic products.

A copy of Nus

webpage, mnprom.com, from October 11, 2015 is shown below:

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60.

During Fall 2015, Nu rolled out a new identity, which includes the

mark BILTMORE BRIDE. Nu now does business under BILTMORE BRIDE and
BILTMORE BRIDE PROM & TUX and has taken over the Merle Norman
franchise.

As shown by the side by side comparison below with Plaintiffs

BILTMORE mark, Defendants adopted a nearly identical stylized font:

61.

In November 2015, Nu began operating a Facebook page under the

name BILTMORE BRIDE.

The earliest posts on Nus BILTMORE BRIDE

branded Facebook page are shown below.

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62.

Nu uses the BILTMORE BRIDE Facebook page to advertise retail

bridal services, MERLE NORMAN cosmetics, beauty pageant services, and prom
dresses.

Typically, Nu also includes the hashtag #biltmorebride with their

Facebook posts. Examples of posts made by the BILTMORE BRIDE Facebook


page are shown below:

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63.

In or around early November 2015, Nu began using the handle

@biltmorebride on Instagram. Nu uses Instagram to advertise wedding services


under the name BILTMORE BRIDE. As with Facebook, Nu typically includes the
hashtag #biltmorebride with its Instagram posts. An example of Nus Instagram
posts is shown below:

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64.

In or around December 2015, Nu began operating a Twitter page

under the handle @BiltmoreBridal. Nu uses this page to advertise its wedding
related services. Nu named its Twitter page BILTMORE BRIDE and uses the
#biltmorebride hashtag with many of its posts. An example of one of Nus Twitter
posts is shown below:

65.

In late 2015 or early 2016, Nu moved to a retail space in a strip mall

at 800 Fairview Road #1, Asheville, North Carolina. Nu operates its retail store
under the marks BILTMORE BRIDE and BILTMORE BRIDE PROM & TUX.
Nu offers its services out of the retail store. Defendants store, from an image on
Nus Facebook page, is shown below:

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66.

In late 2014, Nu, through one of its members, purchased the domains

www.biltmorebride.com and www.biltmorebridal.com. In late 2015, Nu began


using these domains to host its new website. A copy of Nus new website is shown
below:

67.

Nu uses BILTMORE BRIDE to brand its retail services.

For

example, Nu uses BILTMORE BRIDE to brand retail services for jewelry. Nu


sells jewelry in its BILTMORE BRIDE store. Nus BILTMORE BRIDE website
also advertises Nus jewelry, stating, Our jewelry collection features heirloom
quality necklaces, earrings and bracelets in designs ranging from modern sleek to
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vintage chic. Find jewelry that accents your wedding dress.


68.

Nu uses BILTMORE BRIDE for retail sales of skin care products, to

include lotions and soaps. Nu sells Merle Norman skin care products, to include
lotions and soaps, in its BILTMORE BRIDE store.
69.

Nus store is not located in a geographic area designated Biltmore.

For example, Nus store is not located on Biltmore Avenue, Asheville, in Biltmore
Village, Biltmore Forest, Biltmore Park or on Biltmore Lake.
70.

Biltmore has not licensed or otherwise granted Nu rights to make use

of the BILTMORE mark.


71.

To the contrary, in fall 2015, Biltmore asked Nu to stop using

BILTMORE in Nus marks. Because Biltmore is well known both generally and
in the wedding industry, Biltmore was concerned that Nus use of BILTMORE
BRIDE was likely to cause confusion, mistake, or deceive as to the affiliation,
connection, or association of Biltmore and Nu, or that consumers might wrongly
believe that Biltmore endorses, sponsors, or approves of Nus use of the
BILTMORE name. Therefore, Biltmore wrote to Nu and asked Nu to stop using
Biltmores name. Nu refused to stop using BILTMORE BRIDE and BILTMORE
BRIDE PROM & TUX. Instead, Nu continues to market and use these marks in
conjunction with its wedding and retail sales, goods and services.
72.

Upon information and belief, customers seeing Nus signage,


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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 36 of 48

advertisements, website, Facebook pages, Instagram posts, and other advertising


using BILTMORE BRIDE incorrectly assume that the Nus services are associated
with Biltmore, Biltmore Estate, and/or the Biltmore family of marks.

Upon

information and belief, consumers seeing Nus use of BILTMORE believe Nu has
been endorsed by or is somehow affiliated with Biltmore.
Count I: Trademark Infringement of the BILTMORE family of marks
15 U.S.C. 1114 & 1125(a)
73.

Biltmore realleges the preceding paragraphs.

74.

Plaintiffs BILTMORE mark includes and benefits from Plaintiffs

aforementioned family of marks that include the fanciful term BILTMORE.


75.

Plaintiffs BILTMORE mark is famous, to include in Defendant Nus

area of trade.
76.

The BILTMORE mark is well known to consumers as indicating

Biltmore.
77.

Nu adopted use of the marks BILTMORE BRIDE and BILTMORE

BRIDE PROM & TUX with full knowledge of Plaintiffs use of the BILTMORE
mark.
78.

Defendant Nu first commenced use in commerce of the marks

BILTMORE BRIDE and BILTMORE BRIDE PROM & TUX in late 2015 or early
2016.
79.

Upon information and belief, the husband and wife team of David and
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 37 of 48

Denise Knapp own Defendant Nu, and Mrs. Denise Knapp is responsible for the
daily operations of Defendant.
80.

Upon information and belief, David and Denise Knapp are

sophisticated business people who have been customers of Plaintiffs BILTMORE


branded goods and services for many years prior to their commencing use of the
BILTMORE BRIDE and BILTMORE BRIDE PROM & TUX marks.
81.

Nu currently conducts its business under the marks BILTMORE

BRIDE and/or BILTMORE BRIDE PROM & TUX.


82.

Nu offers the same and closely related goods and services to those

offered by Plaintiff.
83.

Plaintiff and Defendant offer their services to the same class of

consumers in overlapping geographic areas of trade.


84.

Plaintiff and Defendant both offer online and retail store services for

apparel, cosmetics, and jewelry.


85.

Nu offers its BILTMORE BRIDE and/or BILTMORE BRIDE PROM

& TUX goods and services in the same areas where Biltmore offers its goods and
services, namely Asheville and Western North Carolina.
86.

Nu offers their BILTMORE BRIDE and/or BILTMORE BRIDE

PROM & TUX goods and services through at least some of the same channels of
trade as those used by Biltmore to offer BILTMORE branded goods and services,
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 38 of 48

to include retail stores.


87.

Nu advertises its BILTMORE BRIDE and/or BILTMORE BRIDE

PROM & TUX goods and services through at least some of the same channels of
trade as those used by Biltmore to advertise its BILTMORE goods and services, to
include Internet webpages and social media.
88.

Nus use of BILTMORE in its marks, on the store, on the Internet, in

social media, and in advertising is likely to cause confusion, or to cause mistake, or


to deceive consumers into believing that Nu is associated with, affiliated with, or
endorsed by Biltmore.
89.

Nu infringes Biltmores family of BILTMORE marks.

Count II: False Designation of Origin for Wedding Related Services


15 U.S.C. 1125(a)
90.

Biltmore realleges the preceding paragraphs.

91.

Biltmore uses the BILTMORE mark to offer wedding services.

92.

Biltmores BILTMORE mark is advertised extensively through print

and online media.


93.

Biltmores BILTMORE branded wedding services are covered by

independent national news organizations.


94.

Biltmore generates millions of dollars in revenues associated with its

BILTMORE wedding services.


95.

Biltmores BILTMORE wedding services are well known in North


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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 39 of 48

Carolina.
96.

Bridal customers in North Carolina associate the BILTMORE mark

with plaintiffs wedding services and venues.


97.

Biltmore has common law trademark rights in BILTMORE for

wedding services.
98.

Nu offers wedding related services in the form of retail services for

wedding dresses, tuxedos, and accessories.


99.

Nu offers its wedding related retail services under the name

BILTMORE BRIDE and/or BILTMORE BRIDE PROM & TUX.


100. Nu offers its wedding related retail services under BILTMORE
BRIDE and/or BILTMORE BRIDE PROM & TUX to at least some of the same
consumers Biltmore targets for Biltmores BILTMORE wedding services, to
include consumers planning weddings in Asheville and Western North Carolina.
101.

Nu advertises its wedding related retail services under BILTMORE

BRIDE and/or BILTMORE BRIDE PROM & TUX through at least some of the
same channels as those used by Biltmore to advertise Biltmores BILTMORE
wedding services, to include through the Internet and social media.
102.

Nu uses the same social media hashtag, #biltmorebride, to offer its

BILTMORE BRIDE and/or BILTMORE BRIDE PROM & TUX wedding related
retail services that Biltmore uses to offer its BILTMORE wedding services.
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 40 of 48

103.

Upon information and belief, Nu generates initial interest confusion

through their use of biltmorebride and biltmorebridal on the Internet and social
media.

Consumers looking for Biltmores BILTMORE wedding services are

likely to be misdirected to Nus websites and social media pages due to Nus use of
the BILTMORE name in conjunction with weddings and brides.
104.

Nus use of BILTMORE BRIDE and/or BILTMORE BRIDE PROM

& TUX is likely to cause confusion or to cause mistake or to deceive as to the


affiliation, connection, or association of Nu with Biltmore, or as to the origin,
sponsorship or approval of Nus services by Biltmore.
105.

Nu is committing common law trademark infringement of Biltmores

BILTMORE mark for wedding services.


106.

Nu is engaging in false designation of origin under the Lanham Act.

Count III: False Designation of Origin for Retail Sales and Retail Sales
of Branded Merchandise
15 U.S.C. 1125(a)
107.

Biltmore realleges the preceding paragraphs.

108.

Biltmore offers a BILTMORE branded retail experience through its

numerous BILTMORE retail stores located on Biltmore Estate and through its
online store.
109.

Biltmores retail sales under the BILTMORE brand for the past ten

years through its numerous BILTMORE retail stores and online are in excess of
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 41 of 48

two hundred fifty million dollars.


110.

Biltmores BILTMORE retail sales are heavily marketed and widely

known.
111.

Biltmores BILTMORE retail sales include retail sales of womens

apparel, accessories, jewelry, cosmetics, lotions, perfumes, and soaps.


112.

Biltmores BILTMORE retail sales include retail sales of

BILTMORE branded womens apparel, accessories, jewelry, cosmetics, lotions,


perfumes, and soaps.
113.

Biltmore has common law trademark rights in BILTMORE for retail

services of womens apparel, accessories, jewelry, cosmetics, lotions, perfumes,


and soaps.
114.

Nu offers retail services for womens apparel, accessories, jewelry,

cosmetics, lotions, perfumes, and soaps.


115.

Nu offers its retail services under the name BILTMORE BRIDE

and/or BILTMORE BRIDE PROM & TUX.


116.

Nu offers its retail services under BILTMORE BRIDE and/or

BILTMORE BRIDE PROM & TUX to at least some of the same consumers
Biltmore targets for Biltmores BILTMORE retail services, to include consumers
in Asheville and Western North Carolina.
117.

Nu advertises its retail services under BILTMORE BRIDE and/or


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BILTMORE BRIDE PROM & TUX through at least some of the same channels as
those used by Biltmore to advertise Biltmores BILTMORE retail services, namely
the Internet and social media.
118.

Nus use of BILTMORE BRIDE and/or BILTMORE BRIDE PROM

& TUX is likely to cause confusion or to cause mistake or to deceive as to the


affiliation, connection, or association of Nu with Biltmore, or as to the origin,
sponsorship or approval of Nus retail services by Biltmore.
119.

Nu is committing common law trademark infringement of Biltmores

BILTMORE mark for retail services


Count IV: Infringement of registered marks
15 U.S.C. 1114
120.

Biltmore realleges the preceding paragraphs.

121.

Biltmore owns incontestable U.S. Trademark Registration 3,855,102

for BILTMORE for jewelry.


122.

Biltmore

owns

U.S.

Trademark

Registration

4,029,560

for

BILTMORE for soaps, perfumes, cosmetics, and lotions.


123.

Biltmore owns U.S. Trademark Registration 3,210,613 for watches.

124.

Nu sells jewelry in its BILTMORE BRIDE store.

125.

Nu sells soaps, perfumes, cosmetics, and/or lotions in its

BILTMORE BRIDE store.


126.

Upon information and belief, Nu sells watches in its BILTMORE


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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 43 of 48

BRIDE store.
127.

Biltmore and Nu offer their respective jewelry, watches, soaps,

perfumes, cosmetics, and lotions through retail stores in the greater Asheville area.
128.

Biltmore and Nu advertise their respective goods and services

through the same channels, such as on the Internet.


129.

Nu is offering the highly related services under BILTMORE BRIDE

and/or BILTMORE BRIDE PROM & TUX as compared with the goods offered by
Biltmore under Biltmores federally registered BILTMORE trademarks.
130.

Nu is offering its BILTMORE BRIDE and/or BILTMORE BRIDE

PROM & TUX services through the same or highly similar channels of trade as
those used by Biltmore to sell its goods under its trademarks.
131.

Nu advertises its BILTMORE BRIDE and/or BILTMORE BRIDE

PROM & TUX services through the same channels as those Biltmore uses to
advertise its goods under its BILTMORE trademarks.
132.

Nu does not have permission from Biltmore to use the BILTMORE

name in conjunction with retail sales of jewelry, watches, soaps, perfumes,


cosmetics, or lotions.
133.

Nus use of BILTMORE BRIDE and/or BILTMORE BRIDE PROM

& TUX is likely to cause confusion or to cause mistake or to deceive as to the


affiliation, connection, or association of Nu with Biltmore, or as to the origin,
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 44 of 48

sponsorship or approval of Nus retail services by Biltmore


134.

Nu is infringing Biltmores federally registered trademarks.


Count V: Cybersquatting
15 U.S.C. 1125(d)

135.

Biltmore realleges the preceding paragraphs.

136.

Biltmore has registered and owns the BILTMORE mark under the

Lanham Act.
137.

Nu has demonstrated a bad faith intent to profit from the distinctive

BILTMORE

mark

by

registering

and

using

the

domain

names

www.biltmorebridal.com and www.biltmorebride.com, which contain and are


confusingly similar to the BILTMORE mark.
138.

Nu offers goods and services in direct competition with Biltmore

through the www.biltmorebridal.com and www.biltmorebride.com websites. For


example, Nu advertises jewelry, soaps, lotions, perfume, and apparel and Nus
retail services for the same through these websites.
139.

Nus use of these URLs amounts to cybersquatting under then

Lanham Act.
PRAYER FOR RELIEF
WHEREFORE Biltmore respectfully prays the Court that:
A.

the Court find against Nu and enter judgment against Nu on all

counts;
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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 45 of 48

B.

the Court permanently enjoin Nu and all those acting in concert with

Nu from making any use of the marks BILTMORE, BILTMORE BRIDE,


BILTMORE BRIDE PROM & TUX and of any other marks confusingly similar
thereto;
C.

the Court order Nu to transfer www.biltmorebride.com and

www.biltmorebridal.com, as well as any other URL that includes the letter string
biltmore to Biltmore;
D.

the Court award Biltmore its reasonable attorneys fees pursuant to 15

U.S.C. 1117(a);
E.

the costs of this action be taxed against Nu; and

F.

the Court grant Biltmore such other and further relief as the Court

may deem just and proper.


DEMAND FOR JURY TRIAL
Plaintiff demands a trial by jury be held on all issues so triable.

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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 46 of 48

Respectfully submitted this the 5th day of April, 2016.


Coats & Bennett, PLLC

Roberts & Stevens, P.A.

By: /s/ Anthony J. Biller


By: /s/ Wyatt S. Stevens
Anthony J. Biller
Wyatt S. Stevens
NC State Bar No. 24,117
NC Bar No. 21,056
1400 Crescent Green, Suite 300
John David Noor
Cary, North Carolina 27518
NC Bar No. 43,102
Telephone: (919) 854-1844
P.O. Box 7647
Facsimile: (919) 854-2084
Asheville, NC 28802
Email: abiller@coatsandbennett.com
Telephone: (828) 258-6992
Facsimile: (828) 253-7200
Email: wstevens@roberts-stevens.com
jnoor@roberts-stevens.com
OF COUNSEL:
J. Bennett Mullinax
J. Bennett Mullinax, LLC
PO Box 26029
Greenville, SC 29616-1029
Attorneys for The Biltmore Company

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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 47 of 48

CERTIFICATE OF SERVICE
I hereby certify that on this the 5th day of April, 2016 a copy of the
foregoing AMENDED COMPLAINT was filed with the Clerk of Court using the
CM/ECF system which will send notification to opposing counsel at the following
address:
Joseph Pinckney McGuire
Rebecca E. Crandall
McGuire, Wood & Bissette, P.A.
P. O. Box 3180
Asheville, NC 28802-3180
jmcguire@mwbavl.com
rcrandall@mwblawyers.com
Russell M. Racine
Cranfill Sumner & Harzog, LLP
2907 Providence Road
Suite 200
Charlotte, NC 28211
rracine@cshlaw.com

/s/ Anthony J. Biller


Anthony J. Biller
Attorney for The Biltmore Company

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Case 1:15-cv-00288-MR Document 29 Filed 04/05/16 Page 48 of 48

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