Hangzhou Chic Intelligent v. Razor - Complaint
Hangzhou Chic Intelligent v. Razor - Complaint
Hangzhou Chic Intelligent v. Razor - Complaint
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
16-CV-03496
Case No. _________________
22
23
24
25
26
27
28
OHSUSA:764881950.6
1
2
3
4
INTRODUCTION
1.
This is an action for patent infringement arising under the Patent Laws
of the United States, 35 U.S.C. 101 et seq. Chic owns exclusive rights in the
(Exhibit 1, the 723 patent), issued on September 1, 2015. The patent covers a
2.
Razor has used and continues to use the claimed designs of the 723
10
11
makes, uses, offers for sale, sells, and/or imports into the United States.
12
3.
13
14
15
16
PARTIES
4.
17
the Peoples Republic of China with a principal place of business located at 2/F,
18
No. 2 Building, Liangzhu University, Science and Technology Park, No. 1 Jingyi
19
20
5.
21
22
23
Service Robot. Chic manufactures several products including the Chic Smart S1
24
hoverboard. Chic has been assigned 70 authorized patents for its hoverboard in
25
different regions such as China, United States, European Union, and Canada.
26
27
6.
liability company organized and existing under the laws of Delaware with its
28
OHSUSA:764881950.6
JURISDICTION
7.
Jurisdiction in this Court arises under the patent laws of the United
States, Title 35, of United States Code. This Court has subject matter jurisdiction
8.
This Court has personal jurisdiction over Razor at least because Razor
has committed one or more of the infringing acts complained herein in California
and in this district, Razors principal place of business is located in this district, and
10
9.
11
1400(b), as Razor has committed acts of patent infringement in this district. Venue
12
is further proper under 28 U.S.C. 1391 (b) and (c) because a substantial part of
13
14
FACTUAL ALLEGATIONS
15
16
10.
17
11.
The United States Patent and Trademark Office has acknowledged the
18
19
issuing U.S. Patent Nos. D737,723 (Exhibit 1, the 723 patent) on September 1,
20
2015.
21
22
23
12.
24
designs. In particular, Chic owns various United States design patents related to its
25
hoverboards and has also filed utility patent applications for them. Relevant to this
26
dispute, Chic owns all right, title, and interest in, and has the right to sue and
27
recover for past, present, and future infringement of each of the Chic patents from
28
-3OHSUSA:764881950.6
14.
15.
sell, and/or imported into the United States hoverboards having designs that
infringe the 723 patent. The infringing hoverboards include at least the Razor
products identified by the model names Hovertrax and Hovertrax DLX, and related
16.
The overall appearance of the designs of Chics 723 patent and the
10
An ordinary observer, familiar with the prior art in the hoverboard marketplace
11
would perceive the overall appearance of the designs of Chics 723 patent and the
12
13
14
15
17.
16
hoverboard design. These ornamental aspects include the fanned line design on the
17
18
rounded rectangular-shaped LED covers, and the semi-enclosed round wheel fender
19
design. These ornamental features are illustrated in Fig. 6 of the 723 patent,
20
reproduced below:
21
22
23
24
25
26
27
28
-4OHSUSA:764881950.6
18.
distribute products that copy the ornamental designed claimed in the 723 patent.
19.
designs of the 723 patent. For example, Razors Infringing Hoverboards include
the same fanned lines design on the footpad sections of the Infringing Hoverboards,
the same markings on the midsection of the Infringing Hoverboards, and the same
semi-enclosed round wheel fender design of the 723 patent. Table 1 illustrates
Razors infringement by comparing figures from Chics 723 patent with exemplary
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
-5OHSUSA:764881950.6
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
-6OHSUSA:764881950.6
1
2
4
5
6
7
8
9
10
11
12
13
14
20.
On information and belief, Razor sells and offers to sell its Infringing
15
16
17
Board/) (last accessed May 19, 2016) as well as to third-party resellers, such as box
18
chain and specialty stores, and through its wholesale distribution channels.
19
22.
20
21
belief, third-party resellers also sell and offer to sell the Infringing Hoverboards in
22
23
23.
24
within the meaning of 35 U.S.C. 271 at least by making, using, selling, offering to
25
sell, and/or importing the Infringing Hoverboards into the United States without
26
Chics authorization.
27
28
-7OHSUSA:764881950.6
3
4
5
24.
issued United States Patent, Patent No. US D737,723 S (the 723 patent) to Chic.
At all times since the date of issue of the 723 patent, Chic has been, and currently
is, the exclusive owner of the entire right, title and interest in and to the 723 patent.
Chics ownership of the 723 patent includes, without limitation, the exclusive right
10
to enforce the 723 patent, the exclusive right to file actions based on infringement
11
of the 723 patent, the exclusive right to recover damages or other monetary
12
amounts for infringement of the 723 patent and the exclusive right to be awarded
13
injunctive relief pertaining to the 723 patent. Chic has owned the 723 patent at all
14
15
26.
Razor has been and presently is infringing the 723 patent within this
16
judicial district and elsewhere by making and selling hoverboards that embody the
17
18
include, at least, the models identified by Razor as the Hovertrax and the Hovertrax
19
DLX. On information and belief, Razor will continue to manufacture and sell its
20
21
27.
On information and belief, Razor has had notice of Chics patent and
22
23
24
Further, Razor has had notice of the 723 patent since at least the filing of this
25
26
27
28.
including the foot tread design, enclosed wheel fender design, midsection markings,
28
-8OHSUSA:764881950.6
and LED cover design so closely resembles the designs claimed by the 723 patent
that an ordinary observer, informed of the relevant prior art, would be deceived into
belief that they were products authorized to bear the design claimed by the 723
patent. Razors Hovertrax and Hovertrax DLX hoverboards infringe the 723
29.
suffering, and will continue to suffer irreparable injury for which Chic has no
10
11
12
30.
Razor has profited and is profiting from its infringement of the 723
13
patent and Chic has been and is being damaged and losing profit by such
14
infringement. Chic is therefore entitled to recover damages from Razor and the
15
total profit derived from such infringement, all in an amount to be proven at trial.
16
17
18
1.
A judgment that Razor has infringed and is infringing the 723 patent;
19
2.
20
21
22
23
and entities acting in concert with Razor, from infringing the 723 patent;
4.
A judgement and order requiring Razor to pay Chic the total profit
24
made by Razor from its infringement of the 723 patent pursuant to 35 U.S.C. 289,
25
or all damages caused by Razors infringement of the 723 patent (but in no event
26
27
5.
28
-9OHSUSA:764881950.6
3
4
5
6
6.
8.
U.S.C. 285;
9.
10
11
12
13
action;
10.
Such further and additional relief as this Court deems just and proper.
14
15
16
17
Dated:
18
19
20
21
MARK P. WINE
MICHAEL C. CHOW
WILL MELEHANI
JAMES MAUNE
ORRICK, HERRINGTON &
SUTCLIFFE LLP
By:
22
23
24
25
26
27
28
- 10 OHSUSA:764881950.6