In its recent precedential ruling in SARL Corexco v. Webid Consulting Ltd., the TTAB offered insight into the Board’s position on granting summary judgment based solely on admissions obtained by default under FRCP 36(a)(3).
In its recent precedential ruling in SARL Corexco v. Webid Consulting Ltd., the TTAB offered insight into the Board’s position on granting summary judgment based solely on admissions obtained by default under FRCP 36(a)(3).