Tracfone Wireless, Inc. v. Anadisk LLC

685 F. Supp. 2d 1304, 94 U.S.P.Q. 2d (BNA) 1777, 2010 U.S. Dist. LEXIS 21082, 2010 WL 565392
CourtDistrict Court, S.D. Florida
DecidedFebruary 18, 2010
DocketCase 09-23670-CIV
StatusPublished
Cited by9 cases

This text of 685 F. Supp. 2d 1304 (Tracfone Wireless, Inc. v. Anadisk LLC) is published on Counsel Stack Legal Research, covering District Court, S.D. Florida primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Tracfone Wireless, Inc. v. Anadisk LLC, 685 F. Supp. 2d 1304, 94 U.S.P.Q. 2d (BNA) 1777, 2010 U.S. Dist. LEXIS 21082, 2010 WL 565392 (S.D. Fla. 2010).

Opinion

FINAL JUDGMENT AND PERMANENT INJUNCTION AGAINST DEFENDANTS, ANADISK LLC, DNMA66, LLC AND DAVUT KILINC a/k/a DAVID KILINC

JAMES LAWRENCE KING, District Judge.

THIS CAUSE is before the Court upon Plaintiff, TRACFONE WIRELESS, INC.’s (“TracFone”), motion for entry of default final judgment and a permanent injunction (the “Motion”) brought in the above-captioned lawsuit against Defendants, ANADISK LLC, a Pennsylvania limited liability company (“Anadisk”), DNMA66, LLC. a Florida limited liability company (“DNMA66”), and DAVUT KILINC a/k/a DAVID KILINC, individually (“Kilinc”) (collectively, “Defendants”).

Upon review of the Motion, the record, and being otherwise duly advised in the premises, the undersigned makes the following findings.

FACTUAL BACKGROUND

I. Plaintiff, TracFone Wireless, Inc.’s Business

TracFone is the largest provider of prepaid wireless telephone service in the United States, and markets its service under the TracFone, NetlO, SafeLink and Straight Talk brands (hereinafter referred to as “TracFone Prepaid Phones” or “Phones”). (Amended Complaint ¶ 34) TracFone customers prepay for wireless service by purchasing TracFone airtime cards and wireless phones specially manufactured for TracFone by leading mobile phone manufacturers, such as Motorola and Nokia. Id. Under this business model TracFone delivers affordable Phones to consumers who often cannot afford the fees for traditional monthly service. Id. at ¶ 36

TracFone subsidizes its customers’ acquisition of its Phones by selling the Phones to retailers for much less than the phones cost TracFone from the manufacturers. Id. TracFone recoups this subsidy by selling prepaid airtime to customers who buy subsidized Phones. Id. TracFone takes several steps to protect its investment in the subsidized Phones, which are designed to make sure that the Phones can only be used on TracFone’s wireless network. Id. at ¶ 37 Specifically,

• the Phone manufacturers install TracFone’s proprietary software on the Phones that prevents them from being used on other wireless systems; and,
• the Phones are sold subject to terms and conditions — which are printed on the outside of the retail packaging of the Phones 1 and are set forth in printed inserts included in the packaging of *1308 the Phones — that restrict and limit the sale and use of the Phones.

Id. at ¶¶ 37, 43-53

In connection with advertising and selling its Phones, TracFone has used, and continues to use, several trademarks (the “Marks”) in commerce including the marks TracFone, NET10, SafeLink and Straight Talk. 2 Id. at ¶¶ 38, 40 The Marks constitute the lawful, valued, subsisting and exclusive property of TracFone. Id. at ¶¶39, 41 Only TracFone and its authorized, affiliated agents are permitted to use the Marks. Id. at ¶ 82

TracFone’s Marks are well known and established to customers and the trade as symbols identifying and distinguishing TracFone’s products and services. Id. at ¶¶ 39, 41 The Marks also signify distinctive products and services of high quality and provide actual notice that TracFone’s Phones are intended for use solely within TracFone’s network. Id. Accordingly, the Marks have become an intrinsic and essential part of the valuable goodwill and property of TracFone. Id.

TracFone has learned that although large quantities of its TracFone Prepaid Phones are being purchased at retailers throughout the United States, a significant number of these TracFone Prepaid Phones are not being activated for use on the TracFone network. Id. at ¶54 Instead, entities and individuals are purchasing and selling TracFone Prepaid Phones in bulk quantities for use outside of the TracFone Prepaid Wireless Service and Coverage Area. Id. at ¶ 55. The Phones are removed from their original packaging, shipped overseas, and “unlocked” or “re-flashed.” Id. at ¶ 55 3 As a result of these actions, TracFone loses both: (1) the subsidy that it provided when selling the phone to the retailer; and (2) the revenue from selling airtime on that handset. Id. at ¶ 57

II. Defendants ’ Business

Defendants are engaged in business practices involving the bulk purchase and resale of TracFone Prepaid Phones, computer unlocking or reflashing of TracFone Prepaid Phones, alteration of TracFone’s copyrighted and proprietary software installed in the Phones, and trafficking of the Phones for profit. Id. at ¶ 58

For example, in January 2009, TracFone was made aware that Defendants Anadisk, DNMA66, and Kiline were selling TracFone W175g Phones. TracFone retained a private investigation company, Stumar Investigations (“Stumar”), to investigate the situation and determine the extent of their unlawful activities. (Garcia *1309 Decl. ¶ 18). On Wednesday, March 18, 2009, Stumar received a COD shipment of 40 TracFone W175 Phones from Defendant Kilinc. (Talatham Decl. ¶ 8). The shipment consisted of 40 handsets, 40 battery covers, 40 batteries and 40 charges. Id. TracFone’s logo was clearly evident on the back of the Phones. Id. However, the Phones were not in the original packaging and the warranty information, instruction manuals and Subscriber Identity Module’s (SIM) cards 4 were missing. Id. TracFone has also submitted evidence that Defendants solicited to sell an additional 4,950 TracFone Prepaid Phones.

A genuine TracFone W175 is sold with a SIM card, warranty information and instruction manuals. (Garcia Decl. ¶ 20). If a user removes the SIM card, the TracFone Prepaid Phone will be inoperable. Id. For example, without a SIM card, the TracFone Prepaid Phone will turn on and the user will see a splash banner identifying the Phone as a TracFone Prepaid Phone. Id. The splash banner appears for approximately ten (10) seconds and is then replaced with a screen the instructs the user to insert the SIM card. Id. Unless the Phone is “unlocked” or “re-flashed”, the Phone will not operate without inserting a TracFone SIM card. Id.

III. The Present Litigation

As a result of Defendants’ business activities, TracFone asserted claims against the Defendants for Breach of Contract; Federal Trademark Infringement in violation of 15 U.S.C. § 1114.; Federal Unfair Competition in violation of 15 U.S.C. § 1125

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Bluebook (online)
685 F. Supp. 2d 1304, 94 U.S.P.Q. 2d (BNA) 1777, 2010 U.S. Dist. LEXIS 21082, 2010 WL 565392, Counsel Stack Legal Research, https://law.counselstack.com/opinion/tracfone-wireless-inc-v-anadisk-llc-flsd-2010.