Complaint
Complaint
Complaint
Plaintiff, The Beachwaver Co. (Plaintiff), by and through the undersigned counsel, files
this Complaint for Patent Infringement against Xtava, LLC, C&A IP Holdings, LLC, and C+A
1. This is a civil action for patent infringement arising under the Patent Laws of the
United States, 35 U.S.C. 1 et seq., seeking damages and injunctive and other relief under 35 U.S.C.
281, et seq. Plaintiffs claims are based on the unauthorized and infringing manufacture,
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importation, use, sale, or offer for sale by Defendants of rotating curling irons.
THE PARTIES
2. Plaintiff is a corporation organized and existing under the laws of the State of Illinois
and having a principal place of business at 408 N. Milwaukee Ave., Suite 202, Libertyville, Illinois
60048.
Street, New York, New York 10003. Xtava is a limited liability corporation organized and existing
under the laws of the State of Delaware. Xtava has a registered agent for service of process at 1013
Centre Road, Suite 403-A, Wilmington, Delaware 19805. Xtava uses 1150 Canyon Trail, Topanga,
California 90290 for correspondence with the United States Patent and Trademark Office.
under the laws of the State of Delaware having a principal place of business at 2 Bergen Turnpike,
Ridgefield Park, New Jersey 07660. C&A has a registered agent for service of process at 1679 S.
Dupont Hwy, Ste. 100, Dover, Delaware 19901. C&A does business as C+A Global (C+A) and
has a principal place of business at 114 Tived Lane East, Edison, New Jersey 08837.
5. This is an action for patent infringement of United States Patent Nos. 9,398,796
(the 796 patent) and 9,504,301 (the 301 patent) arising under the provisions of the Patent
6. Plaintiff owns the 796 and 301 patents and holds rights to sue and recover damages
for infringement thereof, including past infringement. This Court has subject matter jurisdiction
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7. Xtava and C&A (Defendants) make, offer for sale, or sell infringing products
which are the subject of the patent infringement cause of action set forth herein.
9. This Court has personal jurisdiction over Defendants. Defendants do and have done
substantial business in this District by selling products in this District, including those that infringe
the 796 and 301 patents. Defendants have committed and continue to commit acts of patent
10. Venue is proper in this Court pursuant to 28 U.S.C. 1391 and 1400(b) because
Defendants are subject to personal jurisdiction in this District and have committed and continue to
commit acts of patent infringement that give rise to the claims alleged within this District.
FACTUAL BACKGROUND
11. On July 26, 2016, the United States Patent and Trademark Office duly and legally
issued the 796 patent titled Hair Styling Device. A true and correct copy of the 796 patent is
12. A Certificate of Correction accompanies the 796 patent, which is attached to this
Complaint as Exhibit B.
13. On November 29, 2016, the United States Patent and Trademark Office duly and
legally issued the 301 patent titled Hair Styling Device. A true and correct copy of the 301
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14. All maintenance fees for the 796 and 301 patents which have come due have been
paid and the patents have not expired. The 796 and 301 patents have not been found invalid by
15. Plaintiff currently makes, sells, and distributes rotating curling irons covered by the
796 and 301 patents. An example rotating curling iron as covered by the 796 and 301 patents
is shown below.
16. Defendants make, use, sell, and/or offer for sale a rotating curling iron (Accused
Products) that each infringe one or more claims of the 796 and 301 patents under United States
law.
17. Xtava manufactures, imports, and/or sells an Accused Product branded with the
18. C&A manufactures, imports, and/or sells an Accused Product branded with the
19. An example of the Accused Product is shown below. The Accused Products include
but are not limited to the Xtava XA0040 model (shown below) and Ivation RM-64-C25 models.
20. The Xtava Accused Product is available throughout the United States, including this
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District, at least through Xtavas website www.xtava.com. The Xtava Accused Product was
21. The Ivation Accused Product is available throughout the United States, including
this District and was purchased at www.walmart.com and shipped to a South Bend, Indiana address.
22. The Accused Products are available at multiple retailers in this District, including
Walmart. Screen captures of websites showing the Accused Products being offered for sale are
shown in Exhibit D.
23. The Accused Products all carry identical ETL certification numbers and originate
from a common factory: Guangdong Roman Technology Co., LTD in Guangdong, China.
24. The Accused Products include many interchangeable parts and notable common
25. The Accused Products are hair styling devices that have a cylinder that extends from
26. The cylinder rotates with respect to the body and the clamp is fixed to the cylinder
27. The Accused Products have a heating element located within the cylinder. (Ex. E,
p.3)
28. The Accused Products have a rod that is affixed to and rotates with the cylinder; the
rod extends into the body and is supported by a bearing within the body. (Ex. E, p.4)
29. The bearing in the Accused Products restrain lateral movement and facilitate
30. The Accused Products have a first terminal disc fixed to the cylinder and all include
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31. The Accused Products have a second terminal disc that is fixed relative to the body
32. The contacts on one of the terminal discs of the Accused Products are bent upwardly
and contacts on the other terminal disc are flat annular rings. (Ex. E, p.8)
33. The first terminal disc of the Accused Products are held adjacent to the second
terminal disc so that the contacts of the first terminal disc remain in contact with the contacts of the
second terminal disc to provide an electrical circuit across the contacts to the heating element in
34. The rotatable rod in the Accused Products extends through the centers of both
terminal discs and the contacts of both terminal discs circumscribe the rotatable rod. (Ex. E, p.10)
35. The Accused Products have a motor connected to the rotatable rod to rotate the
36. The terminal discs of the Accused Products are located between the bearing and the
37. The Accused Products have a thrust bearing affixed to the rotatable rod to prevent
38. Defendants were made aware of the infringement of the 796 and 301 patents at
39. Defendants have not offered to buy or license the 796 and 301 patents from
Plaintiff.
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41. The Accused Products meet all of the claimed limitations and therefore infringe the
796 patent.
42. Defendants, without authorization by Plaintiff, have directly infringed and continue
to infringe at least one claim of the 796 patent in violation of 35 U.S.C. 271(a), literally or by
doctrine of equivalents by making, using, offering for sale, and/or selling the Accused Products in
43. Defendants, unless enjoined by this Court, will knowingly and intentionally
continue to engage in infringing behavior and have made, offered for sale, and/or sold the infringing
45. The 301 patent has two independent claims, Claim 1 and Claim 9, with a total of
10 claims.
46. For reference, Claim 1 of the 301 patent generally covers a hair styling device
having a body; a cylinder extending from the body, the cylinder is rotatable relative to the body
and includes a clamp adapted for holding hair, the clamp is fixed to the cylinder for rotation with
the cylinder, a heating element is located within the cylinder; a rotatable rod is affixed to and rotates
with the cylinder relative to the body, the rotatable rod extends into the body and is supported by a
bearing within the body that restrains lateral movement of the rotatable rod and facilitates rotation
of the rotatable rod; a first terminal disc is rotatably fixed relative to the cylinder, the first terminal
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disc includes concentric annular electrical contacts; a second terminal disc is fixed relative to the
body, the second terminal disc includes concentric continuous annular electrical contacts; one of
the annular electrical contacts on one of the terminal discs is bent upwardly and another of the
annular electrical contacts on other the terminal disc is a flat annular ring, the first terminal disc is
held adjacent to the second terminal disc so that the contacts of the first terminal disc remain in
contact with the contacts of the second terminal disc to provide an electrical circuit across the
contacts, the rotatable rod extends through centers of both the terminal discs, and the contacts of
both the terminal discs circumscribe the rotatable rod; and a motor is connected to the rotatable rod
47. For reference, Claim 9 of the 301 patent generally covers a hair styling device
comprising: a body; a cylinder extends from and rotates relative to the body, the cylinder includes
a clamp adapted for holding hair, the clamp fixed to the cylinder for rotation with the cylinder, a
heating element is located within the cylinder, the cylinder is supported by a bearing within the
body that restrains lateral movement of the cylinder and facilitates rotation of the cylinder; a
rotatable shaft is rotatable with the cylinder relative to the body; a first terminal disc is rotatably
fixed relative to the cylinder, the first terminal disc includes concentric annular electrical contacts;
a second terminal disc is fixed relative to the body, the second terminal disc includes concentric
continuous annular electrical contacts; one of the annular electrical contacts on one of the terminal
discs is bent away from the one terminal disc and toward another of the terminal discs, one of the
electrical contacts on the other terminal disc is a flat annular ring, the first terminal disc is held
adjacent to the second terminal disc so that the contacts of the first terminal disc remain in contact
with the contacts of the second terminal disc to provide an electrical circuit across the contacts to
the cylinder, the shaft extends through the first terminal disc; and a motor is connected through the
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48. The Accused Products meet all of the claimed limitations and therefore directly
49. Defendants, without authorization by Plaintiff, have directly infringed and continue
to infringe at least one claim of the 301 patent in violation of 35 U.S.C. 271(a), literally or by
doctrine of equivalents by making, using, offering for sale, and/or selling the Accused Products in
50. Defendants, unless enjoined by this Court, will knowingly and intentionally
continue to engage in infringing behavior and have made, offered for sale, and/or sold the infringing
Pursuant to Federal Rules of Civil Procedure 38(b), Plaintiff demands a trial by jury.
WHEREFORE, Plaintiff respectfully prays that this Court enter judgment in its favor and grant
b) declaring Defendants infringement of the 796 and 301 patents has been willful;
c) an order permanently enjoining Defendants and all persons and entities acting in concert
with Defendants, from manufacturing, using, selling, and offering to sell the infringing
products in the United States prior to the expiration of the 796 and 301 patents;
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and 301 patents including lost profits, but in an amount no less than a reasonable royalty,
f) awarding all costs and expenses of this action, including reasonable attorneys fees; and
g) awarding Plaintiff such further relief as the Court may deem just, necessary, and proper.
S/Michael D. Marston___
Michael D. Marston
mmarston@bhlawyers.net
Garrick T. Lankford
glankford@bhlawyers.net
Botkin & Hall, LLP
Suite 400, Jefferson Centre
105 East Jefferson Blvd.
South Bend, IN 46601-1913
Phone: (574) 234-3900
Facsimile: (574) 236-2839
Attorneys for Plaintiff
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