BBK tobacco & Foods llp v. Ebay seller jillycut

CourtDistrict Court, N.D. Georgia
DecidedFebruary 16, 2021
Docket1:21-cv-00666
StatusUnknown

This text of BBK tobacco & Foods llp v. Ebay seller jillycut (BBK tobacco & Foods llp v. Ebay seller jillycut) is published on Counsel Stack Legal Research, covering District Court, N.D. Georgia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
BBK tobacco & Foods llp v. Ebay seller jillycut, (N.D. Ga. 2021).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

BBK TOBACCO & FOODS, LLP, doing business as HBI INTERNATIONAL,

Plaintiff,

v. Civil Case No. 20-12193 Honorable Linda V. Parker MARK GIANGIULI, EBAY SELLER JILLYCUT also known as JILLYCUT’S JUNK; and DAWN GIANGIULI,

Defendants. _________________________________/

OPINION AND ORDER GRANTING IN PART AND DENYING IN PART DEFENDANTS’ MOTION TO DISMISS FOR IMPROPER VENUE OR, IN THE ALTERNATIVE, TO TRANSFER VENUE

On August 14, 2020, Plaintiff BBK Tobacco & Foods, LLP, doing business as HBI International (“HBI”), filed this trademark infringement and unfair competition action against Defendants Mark Giangiuli, Dawn Giangiuli, and eBay seller Jillycut, also known as Jillycut’s Junk (“Jillycut”). The matter is presently before the Court on Defendants’ Motion to Dismiss for Improper Venue or, in the Alternative, to Transfer Venue, filed October 13, 2020. (ECF No. 24.) The motion has been fully briefed. (ECF Nos. 25, 27.) Finding the facts and the parties’ arguments sufficiently presented in their briefs, the Court is dispensing with oral argument with respect to Defendants’ motion pursuant to Eastern District of Michigan Local Rule 7.1(f).

I. Factual Background HBI is an Arizona limited liability partnership based in Phoenix, Arizona. (Compl. ¶ 11, ECF No. 1. at Pg ID 3.) HBI owns and is the exclusive United

States distributor of RAW® Rolling Papers. (Id. ¶ 2, 12, Pg ID 1-3.) It owns copyrights, trademarks, and trade dress that appear on all authentic RAW® Rolling Papers authorized for sale in the United States. (Id.) Jillycut is a Georgia company, with its principal place of business in

McDonough, Georgia. (Id. ¶ 13, Pg ID 4.) HBI alleges that Jillycut sells counterfeit RAW® Rolling Papers bearing counterfeit RAW® trademarks, copyrights, and trade dress. (Id. ¶ 4, Pg ID 2.) HBI claims that these alleged

counterfeit products are cheaper in price and poor-quality imitations. (Id. ¶ 5, Pg ID 2.) Jillycut’s products are sold through an e-commerce eBay storefront. (Id. ¶ 73, Pg ID 20.) HBI hired LSS Consulting, Inc. (“LSS”) to investigate the distribution of

counterfeit RAW® products. (Hood Decl. ¶ 6, ECF No. 8 at Pg ID 223-24.) On four occasions between April 11, 2019 and April 2, 2020, LSS purchased Jillycut’s alleged counterfeit products through its eBay storefront. (Compl. ¶¶ 75-82, ECF

No. 1 at Pg ID 20-21; Hood Decl. ¶¶ 29, 34, 39, 44, ECF No. 8 at Pg ID 227-30.) LSS received the products at an alias address in Stamford, Connecticut. (Hood Decl. ¶¶ 30, 35, 40, 45, ECF No. 8 at Pg ID 229-30.) The return address on the

shipping labels listed Mark A. Giangiuli at 146 Brookhaven Lane, McDonough, Georgia. (Id.) LSS then shipped the products from Stamford, Connecticut to its headquarters in Commerce Township, Michigan. (Id. ¶¶ 31, 36, 41, 46, Pg ID 227-

30.) Mark Giangiuli, a Georgia resident, owns and operates Jillycut. (Id. ¶ 15-16, Pg ID 4.) Dawn Giangiuli, Mark’s wife, also is a Georgia resident. (Id. ¶ 19, Pg ID 4.) HBI alleges that Dawn owns and operates Jillycut (id. ¶ 19, Pg ID 4);

however, Dawn states that she neither owns, operates, nor is employed by Jillycut (D. Giangiuli Decl. ¶ 2, ECF No. 24 at Pg ID 553.) According to Dawn, she has never sold rolling papers and was neither involved in nor participated in the events

and/or omissions giving rise to HBI’s claims in this lawsuit. (Id.¶¶ 5-6, Pg ID 554.) HBI disputes this assertion, however, pointing to two voicemail messages Dawn left for HBI’s counsel after HBI submitted a takedown complaint through eBay’s Verified Rights Owner (“VeRO”) program concerning some of Jillycut’s

eBay.com listings. As HBI’s counsel explains, the VeRO program allows intellectual property owners to report listings or products to eBay that infringe upon their intellectual

property rights. (Ruisi Decl. ¶ 11, ECF No. 9 at Pg ID 283.) If eBay finds a listing or product to be infringing, it can remove the product listing, among other actions. (Id.) HBI’s counsel submitted several reports through the VeRO program

concerning Jillycut’s RAW product listings. (Id. ¶¶ 14, 19, 32 Pg ID 284-85, 287.) eBay removed Defendants’ listings in response. (Id. ¶ 16, 21, 34 at Pg ID 284-85.) HBI’s counsel thereafter received numerous emails, phone calls, and a text

message from “Defendants” complaining about HBI and counsel. (Id. ¶¶ 17-18, 22-23, 25-31, 35-42, 44-52, 54-71, Pg ID 284-296.) The emails were all sent from Mark Giangiuli’s email address and included his name in closing. (See Ruisi Decl. Exs. 1-6, 8-14, 16-20, ECF No. 9-5 at Pg ID

301-313; 317-32, 336-348.) In his communications, Mark threatened one of HBI’s attorneys and called her obscenities. (Id.) All but two of the telephone calls came from Mark.1 (Ruisi Decl. Ex. 7, ECF No. 9-8; see also Ruisi Decl. ¶¶ 35-36, 45-

48, 54, 56-57, 64, 66, ECF No. 9 at Pg ID 288-93, 295.) Dawn called HBI’s counsel on two occasions on July 14, 2020. (Ruisi Decl. Ex. 7, ECF No. 9-8; see also Ruisi Decl. ¶¶ 51-52, 55, ECF No. 9 at Pg ID 291-92.) At 1:29 p.m. on July 14, Dawn left the following voicemail message for

HBI’s counsel: Kristen, my name is Dawn Giangiuli. I am from Jillycut’s Junk. Apparently you’ve had a bunch of my RAW listings pulled off and my husband sent you invoices and receipts and I

1 The text message also came from Mark. (Ruisi Decl. ¶ 60, ECF No. 9 at Pg ID 294 wanna know when you are going to get the problem corrected or do I need to call an attorney to get it corrected. If you could kindly call me back at 678-697-2947. Thank you.

(Ruisi Decl. Ex. 7, ECF No. 9-8; see also Resp. Br. at 7, See ECF No. 25 at Pg ID 567.) In a second voicemail message left at 1:43 p.m., Dawn stated: Kristen this is Dawn Giangiuli from Jillycut’s Junk on eBay. Apparently you have had a bunch of my listings pulled due to counterfeit and my husband sent you receipts for everything from the wholesaler so I would like our merchandise, for you to call eBay and have our listings reposted, and if you are not going to do that, I guess I’ll be calling an attorney but you need to get back to me so I know what to do. Thank you. Bye.

(Id.) In a second declaration submitted in this matter, Dawn indicates that she left the voicemails to assist Mark and his business, and because she was concerned about Mark who had become extremely frustrated by the refusal of HBI and its counsel to respond to his communications. (Dawn Giangiuli Decl. ¶¶ 8-10, ECF No. 27-2 at Pg ID 663-64.) Dawn explains that Mark suffers from bipolar disorder and when he gets angry or upset, says regrettable things. (Id. ¶ 10, Pg ID 663.) Dawn again states that she neither owns, operates, nor is employed by Jillycut. (Id. ¶ 3, Pg ID 662.) She states that she has worked for Delta Airlines, full-time, for over 27 years. (Id.) II. Standard of Review Defendants bring their motion to dismiss for improper venue under Federal

Rule of Civil Procedure 12(b)(3) or, alternatively, for transfer of venue pursuant to 28 U.S.C. § 1404(a). On a motion to dismiss for improper venue under Rule 12(b)(3), the plaintiff

bears the burden of establishing that venue is proper. Audi AG & Volkswagen of Am., Inc. v. Izumi, 204 F. Supp. 2d 1014, 1017 (E.D. Mich. 2002); Meng Huang v. Ohio State Univ., No. 18-12727, 2019 WL 2120968, at *2 (E.D. Mich. May 14, 2019) (noting that the Sixth Circuit has not spoken on who bears the burden of

proof and relying on Anonymous v. Kaye, No. 95-9295, 1996 WL 734074, at *2 (2d Cir. 1996)); see also 14D Arthur R. Miller, Fed. Practice & Proc. § 3826 (4th ed. 2020).

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