Академический Документы
Профессиональный Документы
Культура Документы
, an Illinois corporation, and Lou Weisbach, Plaintiffs, v. NIKE, INC. an Oregon corporation, Defendants. ) ) ) ) ) ) ) ) ) ) )
Hon._________________________
COMPLAINT FOR TRADEMARK INFRINGEMENT AND UNFAIR COMPETITION Plaintiffs, Urban Motive Sportswear, Inc., (AUrban Motive@), and Lou Weisbach (AWeisbach@), for their complaint against Defendant Nike, Inc., (ANike@), alleges as follows: I. 1. NATURE OF ACTION
of Urban Motive and Weisbach=s trademark associated with its highly distinctive ALottery Pick@ sportswear clothing line. Defendants manufacture, sell and advertise the AJordan LS Lottery
Pick Jacket@ for men and the jackets are infringements and dilutive of Urban Motive and Weisbach=s trademark. II. PARTIES 2. Plaintiff, Urban Motives Sportswear, Inc., is an Illinois corporation with its
principal place of business in Chicago, Illinois. 3. Lou Weisbach is an individual who resides in Chicago, Illinois and is a co-
founder of Urban Motives Sportswear, Inc. 4. On information and belief, Defendant, Nike, Inc., is an Oregon corporation with
its principal place of business in Beaverton, Oregon. III. JURISDICTION AND VENUE 5. This action arises under the federal Lanham Act, 15 U.S.C. '1051 et seq., 15
U.S.C. ' 1114, 15 U.S.C. 1125, the Illinois Deceptive Trade Practices Act, 815 ILCS 510/1 et seq., Illinois Consumer Fraud and Deceptive Practices Act, 815 ILCS 505 et seq., and the common law of Illinois. 6. 7. The amount in controversy in this action is in excess of $4,000,000.00. This Court has subject matter jurisdiction under 15 U.S.C. ' 1121 and 28
U.S.C.'' 1331, 1332, 1338 and 1367 in that this case arises under the trademark laws if the United States. 8. This Court has personal jurisdiction over Nike because Nike is conducting
business in the State of Illinois and this District, and has committed torts, the effect of which has been felt in the State of Illinois and this District as alleged above, so as to submit itself to the jurisdiction and process of this Court. 9. To the extent not already established on the record in hand, the factual contentions
of paragraph 1 above are likely to have evidentiary support after a reasonable opportunity for further investigation and discovery. IV. FACTUAL BACKGROUND A. 10. Urban Motive And Weisbach And Their Asserted Trademark Rights Urban Motive and Weisbach are the manufacturers of an energy drink, sportswear
apparel and other merchandise using their recognizable registered brand ALottery Pick@. 11. Urban Motive and Weisbach are the owners of the registered mark, ALottery
Pick@, associated with clothing and sports apparel. This registration is incontestable, and its
existence is prima facie evidence of the validity of this mark. Urban Motive and Weisbach are also the owners of common law trademark rights related to ALottery Pick@, including but not limited to its association to clothing and sports apparel. 12. Plaintiffs own the trademark rights to ALottery Pick@, which was registered by
Lou Weisbach, May 2, 2006 with the United States Patent and Trademark Office for clothing, including but not limited to: hats, t-shirts, jerseys, shorts, sweatshirts, warm ups, and footwear, and was originally filed May 10, 2004, serial number 78-415,673. SEE ATTACHED CERTIFICATE AS EXHIBIT A. 13. 14. The Plaintiffs first used the mark May 24, 2004 and in commerce on June 8, 2004. The mark is distinctive, either inherently or through establishment of acquired
distinctiveness in commerce through its association with the goods manufactured and distributed by Plaintiffs. 15. The mark has been extensively and continuously used by Plaintiffs in association
with the sale of their products since June 8, 2004. 16. The ALottery Pick@ mark symbolizes the business goodwill of Urban Motive and
Weisbach, and is an intangible asset of substantial commercial value. 17. For several years, and prior to the acts of the Defendants herein alleged, Urban
Motive and Weisbach have used the ALottery Pick@ mark, alone and in combination, on or in connection with advertising, marketing, and sales of its energy drink and apparel, throughout the world, including the United States and this District. 18. Urban Motive and Weisbach has spent hundreds of thousands of dollars in
advertising and promoting its products bearing the ALottery Pick@ mark in a wide range of media, including television, print, radio, and on-line, and continues to advertise and promotes those
products today. 19. Sales, advertising and promotion of the products of the Plaintiffs have amounted
to hundreds of thousands of dollars. As a result of such continuous and extensive sales, advertising and promotion of its products, throughout the world, Urban Motive and Weisbach were beginning to enjoy worldwide recognition and a world famous reputation, and the ALottery Pick@ mark was becoming recognized by the public as emanating from Urban Motive and Weisbach. 20. The ALottery Pick@ mark is becoming famous and represent property of great
value and goodwill to Urban Motive and Weisbach. 21. In addition, prior to the acts of the Defendants, Urban Motive and Weisbach, did a
great amount of marketing and promotions of their products in the Chicagoland area, their hometown, including, gifting several pieces of their ALottery Pick@ apparel to the two sons of former Chicago Bulls star, Michael Jordan. 22. Upon information and belief, Michael Jordan has a long standing business
relationship with Defendant which includes a clothing line. 23. Urban Motive is a tiny company in comparison to Nike. It does not have the
resources to compete with Nike with regards to manufacturing, sales, advertising, marketing and promotions. 24. Nike=s blatant disregard of Plaintiff=s rights was an unfair attempt to push Plaintiff
out of the market place. B. Defendant Nike=s Unauthorized Use of Urban Motive and Weisbach=s Trademark 25. On information and belief, subsequent to Urban Motive and Weisbach=s use of the
ALottery Pick@ mark as alleged above, and with actual knowledge of Urban Motive and Weisbach=s use of the ALottery Pick@ mark, and with willful intent to misrepresent the source of Defendant=s goods, Defendants manufactured, sold and advertised the AJordan LS Lottery Pick Jacket@ for men, distributed worldwide through its stores, website and various other merchandising websites. REPRESENTATIVE PHOTOGRAPHS OF DEFENDANT=S INFRINGING PRODUCT AND ACTIVITIES ARE ATTACHED HERETO AS EXHIBIT B. 26. Defendant=s product is marketed, promoted and sold via its stores around the
world, its website and various other merchandising websites and features the ALottery Pick@ jacket. 27. Defendant has no consent, license, approval or other authorization to use the
ALottery Pick@ mark in connection with its products. 28. Upon information and belief, Defendant has used the mark, ALottery Pick@ with
actual knowledge of Plaintiff=s rights in the ALottery Pick@ mark, and in conscious disregard of Plaintiff=s rights. VI. COUNT ONE - TRADEMARK INFRINGEMENT 29. Plaintiff repeats and realleges each of the allegations contained in paragraphs 1
through 28 of this Complaint. 30. Defendant=s use of the AJordan LS Lottery Pick Jacket@ mark, which is
confusingly similar to and includes Plaintiff=s energy drink name and apparel clothing line name and mark ALottery Pick@, is likely to cause confusion and mistake. Such use by Defendant of the infringing AJordan LS Lottery Pick Jacket@ mark deceives, and is likely to deceive, others into believing that Defendant=s apparel is sponsored by, approved by, or affiliated with Plaintiff constituting trademark infringement in violation of the Lanham Act ' 32, 15 U.S.C. ' 1114. 31. Plaintiff has been and continues to be damaged in a manner that cannot be fully
measured or compensated in economic terms and for which there is not adequate remedy at law. The actions of Defendant have damaged and will continue to damage Plaintiff=s rights, reputation, and goodwill. Such irreparable harm will continue unless Defendant=s acts are restrained and/or enjoined during the pendency of this action and thereafter. 32. trial. VII. COUNT TWO - FALSE DESIGNATION OF ORIGIN 33. Plaintiff repeats and realleges each of the allegations contained in Plaintiff has been damaged by Defendant=s actions in an amount to be proven at
paragraphs 1 through 28 of this Complaint. 34. Defendant=s use of the infringing AJordan LS Lottery Pick Jacket@ mark
constitutes false designation of origin, false or misleading description, and/or false or misleading representation. Such unauthorized use causes, and is likely to cause, confusion, mistake, or deception of others, as to the affiliation, connection, or association of Defendant with Plaintiffs, and also causes, and is likely to cause confusion, mistake, or deception as to the origin, sponsorship, or approval of the goods and services of Defendant with those of the Plaintiff. 35. Such false designation, description, and/or representation constitutes unfair
competition and is an infringement of Plaintiff=s rights in its ALottery Pick@ mark in violation of the Lanham Act '43(a), 15 U.S.C. ' 1125(a). 36. Defendant knew or should have known, of Plaintiff=s rights, and Defendant=s false
description, false representation, and false designation of origin were knowing, willful, and deliberate, making this an exceptional case within the meaning of 15 U.S.C. ' 1117. 37. Plaintiff has been, and will continue to be, damaged by such false description,
false representation, and false designation of origin in a manner and amount that cannot be fully
measured or compensated in economic terms. Defendant=s actions have damaged, and will continue to damage, Plaintiff=s rights, reputation, and goodwill, and may discourage current and potential customers from dealing with Plaintiff. Such irreparable harm will continue unless Defendant=s acts are restrained and/or enjoined during the pendency of this action and thereafter. 38. trial. VIII. COUNT THREE - FEDERAL TRADEMARK DILUTION 39. Plaintiff repeats and realleges each of the allegations contained in paragraphs 1 Plaintiff has been damaged by Defendant=s actions in an amount to be proven at
through 28 of this Complaint. 40. As a result of Plaintiff=s almost eight years of use and promotion of the ALottery
Pick@ name and mark for its energy drink and apparel, the Defendant=s mark for its Jordan jacket has had the advantage of Plaintiff=s sales and promotions of its products under the ALottery Pick@ mark, which have been substantial and extensive. 41. Defendant=s unauthorized use of the name and mark ALottery Pick@ constitutes a
commercial use in commerce and dilutes the distinctive quality of Plaintiff=s famous mark. Upon information and belief, Defendant willfully intended to trade on Plaintiff=s reputation and to cause the dilution of the aforementioned trademark in violation of the Lanham Act '43(c), 15 U.S.C. ' 1125 (c). 42. Plaintiff has been and will continue to be damaged by Defendant=s dilution of the
ALottery Pick@ mark that cannot be fully measured or compensated in economic terms. Defendant=s actions have damaged, and will continue to damage Plaintiff=s business, market, reputation, and goodwill, and may discourage current and potential customers from dealing with Plaintiff. Such irreparable harm will continue unless Defendant=s acts are restrained and/or enjoined during the pendency of this action and thereafter.
43. trial.
IX. COUNT FOUR - UNFAIR COMPETITION UNDER ILLINOIS LAW 44. Plaintiffs repeats and realleges each of the allegations contained in paragraphs 1
through 28 of this Complaint. 45. Defendant=s conduct complained of herein above constitutes unfair competition
under the common law of Illinois. 46. By reason of and as a direct result of the above identified acts of unfair
competition, Defendant has caused Plaintiffs substantial and irreparable harm, the full extent of which is currently unknown. 47. The acts complained of herein above have caused irreparable harm, damage
and injury to Plaintiffs, and Plaintiffs has no adequate remedy at law. 48. Defendant=s acts were in bad faith, in conscious and deliberate disregard of
Plaintiffs= rights, and were performed with the intention of depriving Plaintiffs of their rights. Accordingly, Defendant=s conduct merits, and Plaintiff seeks, an award of punitive damages in an amount sufficient to punish Defendant and deter such conduct in the future. 49. trial. X. COUNT FIVE - VIOLATION OF THE ILLINOIS CONSUMER FRAUD AND DECEPTIVE PRACTICES ACT 50. Plaintiffs repeats and realleges each of the allegations contained in paragraphs 1 Plaintiffs has been damaged by Defendant=s actions in an amount to be proven at
through 28 of this Complaint. 51. The use by the Defendant of the infringing name and mark AJordan LS Lottery
Pick Jacket@ infringes Plaintiffs= ALottery Pick@name and mark and constitutes an unfair method of
compensation in business and an unfair trade practice in business, as well as fraudulent representation, which are damaging to the public interest in violation of the Illinois Consumer Fraud and Deceptive Practices Act, 815 ILCS 505, et seq. 52. The use by Defendant of a mark that infringes Plaintiffs= name and mark in
connection with the sale of Plaintiffs= energy drink and clothing has been knowing, willful and deliberate. 53. Plaintiff has been and will continue to be irreparably injured by reason of
Defendant=s unfair methods of competition and unfair trade practices in violation of the Illinois Consumer Fraud and Deceptive Practices Act. Such irreparable injury will continue unless the acts of Defendant are enjoined during the pendency of this action and thereafter. 54. trial. XI. COUNT FOUR - COMMON LAW TRADEMARK INFRINGEMENT 55. Plaintiffs repeats and realleges each of the allegations contained in paragraphs 1 Plaintiff has been damaged by Defendant=s actions in an amount to be proven at
through 28 of this Complaint 56. Urban Motive and Weisbach were the first to use the ALottery Pick@ mark in
association with the sale of its energy drink and clothing. As a result of the continued activity the ALottery Pick@ mark has become identified in the public mind as the manufacturer and/or licensor of the products to which the name and/or mark ALottery Pick@ are applied. 57. As a result of the experience, care, and service of Plaintiff, their ALottery Pick@
brand is becoming widely known and have acquired a reputation for quality and aesthetic styling. The ALottery Pick@ mark have become distinctive. 58. Defendant, with knowledge of and with intentional disregard of Plaintiffs= rights,
advertised, promoted and sold products using Plaintiffs= mark. The products are still being sold
on the internet, such acts by the Defendant is likely to cause, has caused, and will continue to cause confusion as to the source and/or sponsorship of Defendant=s products and services. 59. Defendant=s acts constitute willful infringement of Plaintiffs= exclusive rights in
the ALottery Pick@ mark, in violation of the common law. Be reason of Defendant=s actions, Urban Motive and Weisbach has suffered irreparable harm to the valuable ALottery Pick@ mark. Unless Defendant is restrained from further infringement on the ALottery Pick mark, Urban Motive and Weisbach will continue to suffer irreparable harm. 60. Urban Motive and Weisbach has no remedy at law that will adequately
compensate it for the irreparable harm that it will suffer if Defendant=s conduct is allowed to continue. 61. As a direct and proximate result of Defendant=s conduct, Urban Motive and
Weisbach has suffered damages to the valuable ALottery Pick@ mark, and other damages in an amount to be proved at trial. XII - PRAYER FOR RELIEF WHEREFORE, Urban Motive and Weisbach demand entry of a judgment granting relief against the Defendant as follows: A. That Defendant and all officers, agents, servants, employees, attorneys and all
other persons in active concert or participation with any of them, be enjoined and restrained during the pendency of this action and permanently thereafter from using the ALottery Pick@ mark, or any confusingly similar name or mark in connection with identifying Defendant=s products; B. That Defendant and all officers, agents, servants, employees, attorneys and all
other persons in active concert or participation with any of them, be enjoined and restrained during the pendency of this action and permanently thereafter from all acts of false description and representation and false designation of origin, all acts of unfair competition and unfair business
practices, including the marketing, promotion and sale of online products that is likely to cause mistake, or deceive, including the use of AJordan LS Lottery Pick Jacket@ and any other mark that is confusingly similar to Plaintiffs= mark: C. That Defendant be directed to file with this Court and serve on Plaintiffs= counsel
within thirty (30) days after the service of an injunction, a report in writing, under oath, setting forth in detail the manner and form in which the Defendant has compiled with the injunction; D. That Defendant be required to pay Plaintiff such damages as Plaintiff has
sustained, or will sustain, in consequence of Defendant=s trademark infringement, false designation of origin, unfair competition, unfair business practices, and trademark dilution, and to account for all gains, profits, and advantages derived by Defendant that are attributable to such unlawful acts; and that such damages be trebled as provided by 15 U.S.C. ' 1117 and 815 ILCS 505 and 510; E. That the Court adjudge this to be an exceptional case and require the Defendant to
pay over to Plaintiffs the cost of this action, including reasonable attorneys fees and interest as provided by 15 U.S.C. ' 1116 and 815 ILCS 505 and 510: F. The Defendant be ordered to pay Plaintiffs prejudgment and post judgment
interest on all sums allowed by law; G. For an Order permitting Urban Motive and Weisbach, and/or auditors for Urban
Motive and Weisbach, to audit and inspect the books, records, and premises of the Defendant and related corporations for a period of three (3) months after entry of final relief in this matter, to determine the scope of the Defendant=s past use of Plaintiffs= intellectual property, including all manufacturing, distribution, and sales of products bearing the ALottery Pick@ mark, as well as Defendant=s compliance with the orders of the Court; H. For an award of Urban Motive and Weisbach= damages arising out Defendant=s
acts; I. For an Order requiring Defendant to file with the Court and provide to Plaintiffs
an accounting of all sales and profits realized by Defendant=s through the use of Plaintiffs= mark. J. That Plaintiffs have such other and further relief as the Court may deem equitable. XIII - DEMAND FOR JURY Plaintiffs, Urban Motive and Weisbach, demands a trial by jury for all issues so triable. DATED this 20th day of April, 2012 s/ Randy Crumpton Randy Cumpton (6227291) 70 West Madison, Suite 1400 Chicago, Illinois 60602 312-214-3327 Email: rancrump@aol.com Attorney for Plaintiffs
EXHIIIIT A
Page1 of I
ld, Cl"r l$ klnr [1.$. *l*"r !] nd ,]F tlsitrd St*trx P*tsut l*Hd Yr*d*rns*
{}lfitt
F{CK LOTT'FNY
NdMELY.TF0R. HAI's.t'1"{JTlllN(;. $e$g'tcFl" L{}u {u}ilTu$ $tr\fh5 lh;s t t tR T s . , f ; R s ! ' Y $ .S l l ( } R T s . s w E A T ' xlt\rt{tuALl $t'llltT$ wARt{ Uf$[. ANO F{JOTWEAR lso rl$0n sttc'r-ql,tFr ct-A:is 13 {u.$.(:LS. !! AND *,v[Nril. tsts w. filIcnfi$ 3{}. fl$ei$s. rL fil$: Tftg t{A*li t'oH$IsT$ {)F $TANtN ilesr tlSE S't4"]{XHr LlOMltE&(* $i\F^e fi{AsrA{Tf.f,$ lrylTl{t}Ut *lrtlN &f;";t00f A}Tf FANTffULAN F$}3T, SI'YLT". TS FIL$I) l.lS:0$,+ *nn lirl ?8'413.6;3. sfnG.0R c$ftift.
tn wtfua.;l n{rercqf I Asrr l:ersunta .ler rrly fiard and tul.c*d t** rsr,t of The Polorr add Tradcmarl. Ollicx n be' al$xed orr ffct. 2'0. 2AQ7.
rtd).[*,
t '
http://mail.aol.com/35 919-2lllaol-6len-us/maillget-attaLchment.aspx?uid:34025(169&rolde... 4ll-/lZ012
T]XHIIBITB
Page I of2
Hi,Guest
SrgnIn
HelP
Marl
Yahoo'
Search
WEB
,i.liilii!:
'
i;: :.
j:l
-j
i,l-t',
Pick Jacket bv Jordan Aprrarei_EliS0 AlfJojCg_!_Lggglf Shoes Apparel and Athletic NBA,NCFA,MLB : Jordan,Nascr NFLJerseys,
ir,
;i;l(itij',;ri,:iiifir':t,;
,.
j:
,.''i:fri.i Best Value for Mesh Fishing Vest Find NexTao Selers' Lowest pncet
Very MENS NIKE AIR JORD,AN; MENS NIKE SHOX: ME.NS NIKE AIR MAX 90-95' Cool and Stylish NtKE JOFIDAN LOTTERY PICK BI-ACK LEATHER JACKET (SIZE M) Material: Leather.
... , : -rrt;i:iri! ri J o r d a n N u m b e r s T e e . . . J a c k e t sJ e a n s , p o l o s . . . H o m e N r k e A i r J o r d a n R e t r o Jordan Tees Jordan Numlrers Tee (black) Jordan Numbers Tee (black)
saveonMeshFishingvestFree2DayShippingw/AmazonPrime
.;irii!.iii Prices,
High
Franchise flashbulbs. slhowsomemajorswagg(.'r makean unforgettable entrance and and everytime in the Jordan L,otery Pick Men'sLeathr Jacket.madewith premium
^,i
.j1rira,ii1.j,;.i," i
,,i,ti,: . . , : . r l : . : , , I . . . . : i. i , : Eastbay customers questions and answers for Jordan Jordan LS Lottery Pick Jacket Men's. Read questions and answers real customers have contributed for the Jordan LS ..
:
. ; , 1 ri . 1 . i -jirrii,1!i i Liii'',r lrii'H Save on Jordan Lottery Pick Men's Leather Jackeli. Read product revrews,find drscounts,free shipping an,Cspecial offers on Jordan Lottery Pick Men's Leather Jacket. CheappricesandHugeSelection Mesh Fishing Vesf on Sale!
. . , i . i . :
. , j .
Eastbay producl revews; and customer ratings for Jordan LS Lottery Pick Jacket - Men's. Read and mmpare exp{}riencescustomers have ha(Jwtth Jordan products
I :" i
i , r . .. . . , Jordan 201 1 Jacket - Men's $89.99. Jordan LrfestyleClassic Tracky - Men's $79 99 Now $29.99 ... Nike Air Max, Nike Hyperfuse, UGG Boots;;Under Armour; Nike Elite Socks,
i+,, .;,tr:i;ii, They're a lottery team ... No more hot Air as Michael Jordan faces . . . Wiat's taking the Bulls so long to say that they're going to pick up the ...
.a\,, '1,700+
htlp://search.yahoo.com/search:_ylt:AOoGTmvXQhdl,3zEApbl XNyoA?ei:UTF-8dtfi:fp...
I llgl20l2
$uout u,
"Yaricol
was Apparel Sideline in established 1989. We beganas a retail locationlocated of in:;ide a shopping of mall.Afteryears gr,:rwth success and to rvedecided expand onto ounbusiness the In internet. November of 2003we wentlive with our siteand receiving began Our orders. customer vallue-driven ph'ilosophy to is provide best the experience shopping our thrrough online storeandextendit to by customer ear:h ofltring the lowest prices and pc,ssible thc bestpossible of selection quality lf anywhere. products yc,ulraveany' our questions about emailus orrline store, at SidelineApparel.com. Shopandbuy with tldencel cc,n
! ,
Fay',,
ra
1 Jl estlnlonrals:
tv
Quick t-inkNavigation:
in complete confidence. You are protected by the world class security of Yahoo Shopwww.SidelineApparel.conr
g; ?n,
,:;;ii;,,
O Copyright SidelineApparel.com Sicleline and Corporation,2009. rishtsreserved. All Images used herein protected are b1, copyright Sideline Apparel 1300E. Pinecrest Drive Suite 100 Marshall,T.r(75670 lf thereis anyway we canimprove yourshopping please experience. *ORDIIRS SHIP IN 2-3 BUSINESS DAYS* anrllet us knor.l
http://wr.r"w.sidelineapparel.con/airjo'rclan-lotterypickjacket-356023010.htm1
1t18t2012
reviews - productreviews - rea... Pag,:I of I Eastbay- JordanLS Lottery Pick Jacket- Men's custorner
Thc Arhlerk
$stSour<c
Eastbay
BEST
AKARAY THIS IS AND COAT VERY GOOD QAULITY W\RM,I LOVE I-IOW LOO<S ME.ANDI HEPRICE IT IS ON
GOOD. Pros: cornlortable. durable,sMish, wam
[J
http://reviews.eastbay.com/80031133ti63/jordan-jorrlan-ls-lottery-pick-jacket-nlerns-review... l llgl2012
(*
$499.se
ltems li,imilar
, J
r
I
lffil'tt
,rf E;iLn rt!/-
r
ta
''
, l.
''
ff
$499.99
1''l ,t
il
ii t\{E
\*trI
I
II r -r r E -
N .:
'
,,,,,,.
$499.99
,rrr.r,
' Pe :.lrirpI)q
$200.00
l i
. r ) . f i
il
$ 15.00 $10.99
A4' L
s15.00
/+
\\,r
$r9,99
I l I
,.']:
$l/12.50
- I T
$24.99
! r a r rs i , O ! . e
,ffi
,s
$202.50
ht1.p://recommendations.ebay.com/NIKE-.IORDAN-LOTTERY-PICK-BLACK-LEATHE. .. 1llg12012
I NI]W NIKE AIR JORDAN LOTTEI{Y PICK BLACT: LEATHT]RJACKET SiI L MSPR... PAgC Of 2
Go
i.
E E5it
TE
d-
- {D-
4
t!
$s8.99
$73.88
$200.00
$499.99
! i p o n s o r e dl i n k s f r o m S h o p p i n g . c o m
.d'
llest vrlue at Bst Value al
at
*/
I
Eest Value rt Best Value: al
Best Value:
hIE'W NIKE JORD,AN AIR PICK LOTTERY BLACK LEI\THER JACKET L MSPR DMP Si1 S55O.OO CDP
Seller info
. r . i l r , r : r ' ! , r, 1 i ( -*l 9 9 5 D , "P o s r t r v e f e e d b : r c k
uss199.,t9
S g S 2 5 . 0 0E x t e d r t e d h r p p r r r 1 7 E s t r m a t eu ' r t h r n - 6 b u s r n e s d a y s d s d a y sr r o n , s v e c t b u y e rp a y sr e t u r n b " s hi p pn g i
I.c I |
tt.
l!
s3 n
Description
]-, rl-fl
"
i.
.4I
. irE
-r
http://www..ebay.com/itm/NEW-NIKE-AIR-JORD,A.N-Lol"fERY-ptcK-BLACK-LEAT.. . 111g12012
2 NIKE AIR JORDAN LOTTEIT)' PICK BLACFI LEATF{ER JACKET Si1L MSPR"' PAgE Of 2 NX1W
for tseller assumesall responsibility this listing Item specifics Condition: unused,and unworn New withouttags:A brand-new, handmadeitems)that is not in original item (including p a c K a g l no r . . g Motorcycle Blacks Leather isizeType: Regular
lsize(Men's): 3rand.
L NIKE
+ p t _ t r A stEo o K A t ' M y O T H E R f r M SI w i l . l -A t . t -u L s E I . t - t N 4 0 0 T H F . RO R D A N E M S S Os ' f A Yo N l ' H t iw A l ' C ' t+ ' f t l t : \ l lT J G o lT . t E f n II W N: + P A I . S O l . l - . A S tO I ' E W t l F . N O NP A Y N d E NSI ) t l EW I T } l 6 l l O l l R S l : ] ' F . Rl l [ r l l ' t ] . M N D S
Questionsand answersabout this item posted t'lls have about ltem or Noquestronsanswers been
B.lci i
f,Pv,r'trSirad'
EBAYCOMPANII:S
ABOUTEAAY
COMMUNITY
GIFTCENTER
EBAYSITES
STAYCONNECTED
htt.p://www.ebay.com/irnvNEW-NIKE-AIR-JORD.AN-LOTTIIR\'-ptcK-BI_ACK-LEAT.. . 1t1812012
Page1 of2
POLYVORE
Picx Lottery NikeJordan Jacket Men's Leather a,/'
Sold out [.arch,se anir i ashbulbs Sl-rcw some ilralcr swagqe. aid tldle LjntorEeltablee?tlrance eveiv s trne n tne Jofdan Lonefy Prck N,1en Lealher J3.rLel made will pr,flrurir leatne. 3'i
tt
r; fir':rt
:
-r
3/'
rg
,
rlq{
1 Page of2
Search Web
SubmitQuery
All departmenls
lia
i,.::
( - ' B i 1P h o r e !
Overview I
'l';Y-: r' a); -r ' 'ra''arjqc' )clrr<:
P r i c i r r gN o t A v a i l a b l e
p,I
ts)
FANATICS! HEY.FOOTBALL
Check in ro oams rc unlo<h cantent oolh aod rcrt -ith
INTO-NOW''*
Do{vnload App
\-^lr()<>l
*
Product O6scription:
. , i i , r r i . L - r . . 5
1t1
\nr{t rcrl oenls
efl
Product Specification:
iirlr;\ Cldrtrtil
Related Articles
'lire tl tillartt" Eiack l ftda! Silif ]
.l t.ti.q:-p_U_Lqt!v!ar LUlg_rygil
, r , ,
1 , . .: i "
:i
1.,i : '
, , , 1 . ' i r ,
. .i , \,,'. r , . i . : ' . : : .
! iflrd
iiel).ri1
; ' ! , - , ' r i ) l | t l r r : : . . r ; l i l I j r : f t | r rr - .- R e d K a p W o r k S h r t s $ 1 0 . 7 5W o r k P a n l s $ 1 5 . 3 5- F r e e S h r p p i n g ,.)f.r:ir ' i)4S,.-lrrei :jwd,rlei: Saving! - Keep Warm VMthOesigner Sweaters. Join ideeli Today & Start
:\rtr'Jli
rilr'. ia
What'sHot in Men'sJackets
itf,ririit l :
htqp://shopping.yahoo.com/75 7993-lottery-pick-outerweari 0I 7
U1812012
8884{6.1788
M YA C C O U N T
HELP
Sqnrn
'
-\11i1)f)in,:i
i)eY' R.trrr:i'i:irJr!
Pr,it' i!4'li.i\{lLr;tii')tf
l,:lrtir!:!nvs
[ r r i l r i'
I rvi i,i'l:
iiale
$386.99 $4ss.gg
in Stocx
Overall Rating
NIA N/A NIA
Product Details
I
Brand lnformation
e C r . r s t o mr 5 A l s o V i e w e d
C a r l oC r u b e r $29.99
fi Itt flt d
Basso $19.99 Big tl36s
(r? aq qQQ oc
C u s t o m e r sA l s o B o u g h t .{.,<f ea"
, \ai,
ArrMax 90 s76 00 .
Fre Run t 2 580 99
** "7'J o r d a rC M F T . s121 99
:l
"
:--- i
1n8t2012
PageI of3
We Only Authentic
Keyword/s Search
*'If,Fr'
Shop by l'snrn' PleaseChroose Choose Shop by PlaYer: Pleaser tt Air Jordan Lottery Pick Jacket by Jordan Apparel I
lsports Apparel
(Black)l
l*."0 in Touch
SidelineApparel.com.
:fiF*I l;r ,
""j-i:l*
*-d;riri*rlr
stze: Out^Of-Slock
muttl
http://w'i'vw.sidelineapparel.com/airjordan-lotterypickjercket-356023010.htm1
u18t2012
1 Page of2
WEg 9AR(H
HOME> Nike clothing > LoTTERY PICKJACKET 356023010 LI]TTERYPICK JACXET 356023OIO
Product dtails ilarrle: llenr lD: Our Price Srrc: . :: i j: ,:
,A
185.o0 XL
ounotrty
I
f
We Also Rsomrend
7a
M l V u l C t ) , c t u r e n O t , i r ,r I ; e " . 3 r J r a
Adrdas Adr Ea* Adrdas Honey Adrdas Stan Smrlh ArrJordan 11 Retro Jor,lan Flight Cornme Des Garcons Lar:oste N r h eA C G Nrfig Other Purna Undeteated Clothrng tteacripiion Adidas Adr@lor Adrdas JS Vvings Adidas Superstar A Bathing Ape Jordan Melo Converse All Star Leus Arr For@ 1 Nrke Runnrng Ransom Vans Adidas AdiPure Adidas Nrzza Adrdas T-MI\C Arr Jordan | 2 Retro Jordan Ol school Deal Clothrng LOXK| Arr For@ 25 Nrke SB Reebok Vans Clothrng Adrdas Carnpus Adrdas Pro Adrdas Ts Arr Jordan 13 Relro Jordan Sprzrke Earth Zone Lynque Court FoG) Nrke Woven UGG SHEI\RER|; Vtsvlm Adrdas Forum Adrdas Rod LaverVrn Adrdas Ulirastar Arr Jordan 2 Retrc Clae Genenc Man Nerghborhood Clothrng Nrke Arr Max NakeClothrng Stussy C.lotnrng Visvim Clothrng
t
Adrdas Gazelle Adrdas Samba Adidaszj Arr Jordan 5 Retro Clarks Onginals Goumet NFN New Balan@ Nike Baskelball Ongrnalfake TLD Clorhrng X,Large Clolhrng Adrdas Hatfshells Adidas SS Arr Jordan 1 arr prdans AJI: Clot Clothrng Kappa C 19 Nike 6 0 Nrke Dunks Other Ciothrng UBIQ
Find hot deals, @upon codes vouchers Ouronljne sbre offer Oreat pn@s LOTTERY PICK JACKET 355023 010
LI]TTERY PICK JACKET 356023 O'10 Compare pne IOIfERY PICK JACKET 356A23 010 Fo( btg dts@unt ofil Ycu @n find othe. Mke Clothing herel Other Nike Clothing You May Like More: Nlumber(N)rne Chades Peterson Photo TShrrt M18044 Numbr Air lu he CM Phoro Ishirt n18U1 U)ire Chades Pet6m !,rr Max 03 Classc whumrdnrghtnavy-dk zen grey 31 31 04 14 1 03 Chsrc LN wht/mktnuht navy4l zq grey 3131U 111 lce Cream Low lrghtgy/s uoleuwht 1G117088 li{rht grcy/s vk eaMfi 1O11708E A,rr Max 1 black/black-olive grey 314199 001 grcy 311199 (n1 A,ir,lu 1 N&klilack-olive Superstar 2 W whUDrnMemon G42583
http://rwvw.shoesulove.com/sale/LOT fERY-PICK-JA.CKET'-356023-010-6797.htm1u t 8 t 2 0 1 )