Arcsoft, Inc. v. Cyberlink Corp.

153 F. Supp. 3d 1057, 2015 U.S. Dist. LEXIS 172275, 2015 WL 9455516
CourtDistrict Court, N.D. California
DecidedDecember 28, 2015
DocketCase No. 15-cv-03707-WHO
StatusPublished
Cited by14 cases

This text of 153 F. Supp. 3d 1057 (Arcsoft, Inc. v. Cyberlink Corp.) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Arcsoft, Inc. v. Cyberlink Corp., 153 F. Supp. 3d 1057, 2015 U.S. Dist. LEXIS 172275, 2015 WL 9455516 (N.D. Cal. 2015).

Opinion

ORDER REGARDING DEFENDANTS’ MOTION TO DISMISS THE THIRD, FOURTH, AND SIXTH CAUSES OF ACTION AND PLAINTIFF’S MOTION FOR PRELIMINARY INJUNCTION

WILLIAM H. ORRICK, United States District Judge

INTRODUCTION

This is a trademark infringement action involving competing self-portrait photo (“selfie”) editing applications (“apps”). Plaintiff ArcSoft, Inc. (“ArcSoft”) is the developer of the “Perfect365” selfie editing app. It accuses defendants Cyberlink Corp. (“CyberLink”), and its two subsidiaries, defendants Perfect Corp., a California corporation (“Perfect California”), and Perfect Corp., a Cayman Islands corporation (“Perfect Cayman Islands”), of infringing and diluting the trademarks and trade dress embodied in the Perfect365 app by, among other things, using and marketing their ‘YouCam Perfect” selfie editing app.

ArcSoft moves for a preliminary injunction. Defendants move to dismiss ArcSoft’s causes of action for federal and state trademark dilution and for federal trade dress infringement. ArcSoft has not stated a claim for trademark dilution (because, among other reasons, it has not plausibly alleged that its marks were “famous” before .defendants entered the market in February 2014) or for trade dress infringement (because it has not articulated its asserted trade dress with sufficient clarity). It has failed to establish a likelihood of irreparable harm based on its remaining causes of action for trademark infringement and unfair competition. Accordingly, defendants’ motion to dismiss is GRANTED, and Arcsoft’s motion for preliminary injunction is DENIED.

BACKGROUND

I. FACTUAL BACKGROUND

ArcSoft describes the Perfect365 app as a “digital makeup, personal styling, beautification, and self-portrait photo (“selfie”) editing application.” Compl. ¶ 17 (Dkt. No. 1). The app is available for iPhones and iPads, Android smartphones and tablets, and Windows phones and personal computers. Id.

[1061]*1061ArcSoft first used the Perfect365 mark “at least as early as November 2, 2011” and has used it continuously since that date. Id. ¶ 19. It filed an intent-to-use application with the United States Patent and Trademark Office (“PTO”) for the standard character Perfect365 mark on August 24, 2011 and registered the mark on July 3, 2012. Id. ¶ 20. On December 7, 2011, Arcsoft also filed an application with the PTO for a design mark consisting of the wording “Perfect365” and the image of a human face. On April 10, 2012, it registered the design mark. Id. ¶ 21. ArcSoft refers to the standard character Perfect 365 mark and the Perfect 365 design mark collectively as the “Perfect 365 Mark.” Id. ¶ 23.

Arcsoft states that over 60 million consumers have downloaded the Perfect365 App globally, and that 20 million have done so nationally. Id. ¶ 24. It alleges that

by virtue of [its] extensive and continuous use, promotion, and registration of the Perfect365 Mark in connection with its goods and services, ArcSoft has established significant acquired distinctiveness and goodwill in the Perfect365 Mark. On information and belief, a significant portion of consumers readily identify the mark and the term “Perfect” with ArcSoft and its high quality selfie editing app and imaging software goods and services.
[•••]
ArcSoft’s extraordinary success has resulted from not only the quality of its goods and services (the Perfect365 app has received user reviews averaging over four out of five stars among the thousands of total reviews posted), but also from the strength of its well-known brand developed in connection with its goods and services as ArcSoft has expended considerable time, effort, and money in advertising and promoting its Perfect365 Mark.
ArcSoft has attained widespread and favorable recognition of its Perfect365 Mark throughout the United States. ArcSoft advertises, markets, promotes, offers, and provides the Perfect365 app to consumers throughout the geographic extent of the United States, and through multiple platforms, including the Apple App Store, Google Play app store, Microsoft Store for Windows phone and desktop apps, Facebook, Twitter, and Instagram...
Additionally, on information and belief, the Perfect365 app counts many of the United States’ and world’s most famous celebrities among its dedicated users. The famous Kardashian family, including Kim Kardashian, Kendall Jenner, and Kylie Jenner (perhaps the world’s foremost authorities on the selfie), reportedly use the Perfect365 app to edit their widely-consumed selfies. On information and belief, this use by such world famous celebrities has dramatically amplified the already high general consumer recognition of the Perfeet365 Mark and app.
On account of the wide extent of use by the general consuming public of the Per-fect365 app, the use by world famous celebrities of the app, and the high quality of the app itself, ArcSoft’s Perfect365 app has also been recognized and featured in many of the most famous and widely-circulated publications in the United States. The Perfect365 app has been featured, and its virtues extolled, in such publications as The New York Times, The Washington Post, The Huff-ington Post, The Daily Mail, Allure magazine, TechCrunch, PCWorld, and Ven-tureBeat. On information and belief, such articles featuring, recognizing, and mentioning the Perfeet365 app are indicative of and have further amplified the [1062]*1062widespread recognition of the Perfect365 Mark by United States consumers generally, Thus, the Perfect365 Mark is famous amongst the general consuming public of the United States.

Id. ¶¶ 24-25 (paragraphing added).

In addition to the Perfect 365 Mark, ArcSoft claims that it “owns distinctive and nonfunctional trade dress in the look and design of its Perfect 365 app.” Id. ¶ 26. It identifies the following elements of its claimed trade dress:

• [A] distinctive purple color scheme, which is featured throughout the app, including without limitation on the app home screen, load screens within the app, and screens within the app for taking and editing selfies.
• This distinctive purple color scheme is also reflected in the unique app icon for the Perfect365 app, which is also a key element of ArcSoft’s trade dress. The app icon is predominantly a deep purple color, with different shades of purple at the edges, and features a prominent flower design and human face design in color white. The wording “Perfect365” appears at the bottom of the app icon when the app is downloaded to a smart device.
■ • ArcSoft’s Perfect365 Mark is also a critical -feature of ArcSoft’s trade dress. The mark is displayed on the app icon, the app load page in color purple, and on screens within the app including without limitation the app home screen.
• One of the key features of the Per-fect365 app itself and trade dress associated therewith is the distinctive (in function and form) photo-taking feature, which utilizes the smart device’s camera within the app to enable the user to easily take and edit selfies all within the confines of the app.

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153 F. Supp. 3d 1057, 2015 U.S. Dist. LEXIS 172275, 2015 WL 9455516, Counsel Stack Legal Research, https://law.counselstack.com/opinion/arcsoft-inc-v-cyberlink-corp-cand-2015.