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Cuban Assets Control Regulations License
License No. CU-76577
LICENSE
(Granted under the authority of 50 U.S.C. App. 5(b), 22 U.S.C. 2370(a), 22 U.S.C. 6001 et seq., Proclamation 3447, and 31 CFR Parts 501 and 515) .
To: Rabinowitz, Boudin, Standard, Krinsky & Lieberman, P.C, (the “Licensee™)
111 Broadway, 11th Floor
New York, NY 10006-1901
Attn: David B. Goldstein, Esq.
1. Pursuant to your application dated November 9, 2006 (the “Application”), the following transactions are hereby licensed:
***SEE REVERSE***
2. This license is granted upon the statements and representations made in your application, or otherwise filed with or made to the Treasury Department as a supplement to your application, and is subject to the conditions, among others, that you comply in all respects with all...
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1) See pp. 26-27 of the native PDF file for the license, and compare with License No. CU-78926-a, Case No. CU-78926-b, License No. CU-78926-b (Habanos authorized to "to file and prosecute a cancellation petition"), License No. CU-74550 (Habanos authorized to "to file and prosecute an opposition...to an application to register the trademark") and LICENSE No. CU-2023-1112805-1 (Habanos authorized to "file and prosecute a petition to cancel"). Here, the license only authorizes the professional fees in connection with "Habanos’s assertion of its rights and interests against Superior Cigars USA, Inc...with respect to Superior’s use and application for registration of the mark HABANOS PUROS in connection with cigar products." The implication is that no specific license was required for the filing of the complaint at p. 1 et seq. of the native PDF file, i.e. an action seeking declaratory and injunctive relief...