{
    "case_number": "CAC-UDRP-100817",
    "time_of_filling": "2014-06-13 09:57:54",
    "domain_names": [
        "protect-hapaglloyd.com"
    ],
    "case_administrator": "Lada Válková (Case admin)",
    "complainant": [
        "Hapag-Lloyd UK Limited"
    ],
    "complainant_representative": "TLT LLP",
    "respondent": [
        "Hapag Protect"
    ],
    "respondent_representative": null,
    "factual_background": "FACTS ASSERTED BY THE COMPLAINANT AND NOT CONTESTED BY THE RESPONDENT:\r\n\r\nThe Complainant\r\n\r\n1\tThe Complainant, Hapag-Lloyd UK Limited (Hapag-Lloyd) is a subsidiary of Hapag-Lloyd AG. Hapag-Lloyd AG is based in Hamburg and has origins dating back to 1847. \r\n\r\n2\tThe ultimate owners of Hapag-Lloyd AG and its subsidiaries are the Albert Ballin consortium (77.96%, consisting of the City of Hamburg, Kühne Maritime, Signal Iduna, HSH Nordbank, M.M.Warburg Bank and HanseMerkur) and the TUI AG (22.04%).\r\n\r\n3\tHapag-Lloyd AG and its subsidiaries are a leading global liner shipping company which operates from 300 locations in 114 different countries, worldwide. \r\n\r\n4\tHapag-Lloyd was incorporated in England and Wales on 15 January 1936 with company number 00309325. \r\n\r\nReputation\r\n\r\n5\tGiven the size and the history surrounding Hapag-Lloyd, it is a thoroughly established company and extremely well known throughout the world as a trusted and reputable business. \r\n\r\n6\tOver the years, Hapag-Lloyd AG and its subsidiaries have received numerous awards, including: \r\n\r\n6.1\t2013 Quest for Quality Award, awarded by Logistics Management Magazine;\r\n\r\n6.2\t2012 Ocean Carrier of the Year, awarded by Alcoa;\r\n\r\n6.3\t2012 Global Carrier of the Year, awarded by Hellmann Worldwide Logistics; and \r\n\r\n6.4\tExcellence Award 2011, awarded by Eastman Chemical Company.\r\n\r\nTrademarks\r\n\r\n7\t\"Hapag-Lloyd\" is an EU registered trademark with registration number EU002590479. It was registered on 08 November 2005 and is registered in, amongst others, classes 35 (which covers transhipment matters and goods distribution) and class 39 (which covers freight forwarding and storage of goods of all kinds).\r\n\r\n8\tAs mentioned above, TUI AG is part owner of Hapag-Lloyd. TUI AG is the registered owner of the \"Hapag-Lloyd\" trademark. The Complainant is a licensee of the \"Hapag-Lloyd\" trademark and is duly authorised to rely upon it for the purposes of this Complaint. \r\n\r\nAbusive Registration \r\n\r\n9\t\"Hapag-Lloyd.Com\" was registered by the owner of the \"Hapag-Lloyd\" trademark on 08 August 1996. \"Protect-HapagLloyd.Com\" (the Infringing Domain) was registered on 06 May 2014 by the Respondent. \r\n\r\n10\tIt is inconceivable that at the time of registration, the Respondent did not know of the similarity between the infringing domain and Hapag-Lloyd's domain as the infringing domain uses the \"Hapag-Lloyd\" trademark. \r\n\r\n11\tIn fact, it is evident that the Respondent purposefully used the \"Hapag-Lloyd\" trademark to create the impression that the infringing domain and the website at the infringing domain is owned by Hapag-Lloyd.\r\n\r\n12\tThe Respondent seeks to trick users into thinking that Hapag-Lloyd owns its site at the infringing domain. This encourages users to purchase products from the site as they believe that a well known, reputable business, will execute the delivery of their products.\r\n\r\n13\tThe Respondent has gone to great lengths to convince users that this is the case by stating, for example:\r\n\"Hapag Lloyd is the safest way to buy and sell online. The Buyer checks the quality of the merchandise before autorizing the payment and allows the Seller to use a safe way of accepting payment\".\r\n\r\n14\tThe Respondent has even listed the names of actual Hapag Lloyd employees and provided details of actual Hapag Lloyd office locations to make its site look even more legitimate. The Respondent has however provided incorrect email addresses and so internet users correspond with the Respondent and not the actual Hapag Lloyd employees (i.e. the \"@protect-hapaglloyd\" email address is not the real email address for Hapag Lloyd or its employees). \r\n\r\n15\tThe details submitted by the Respondent in relation to the registration of the infringing domain are false. The relevant WhoIs shows that the infringing domain is registered to \"Hapag Protect\". This is nothing to do with Hapag Lloyd. The address of the Registrant for the infringing domain is 48A Cambridge Road, Barking, IG11 8HH. This is the actual address of one of Hapag-Lloyd's offices. However, the infringing domain has nothing to do with Hapag Lloyd. In addition the telephone number listed in the WhoIs (02085074047) is the number of an actual Hapag Lloyd employee. All of this information has probably been obtained via a Google search and then inserted into the registration of the infringing domain, to try and make it look as though it is legitimately connected with Hapag Lloyd. This is therefore further evidence of the intended deception created by the Respondent. \r\n\r\n16\tTo reiterate, Hapag-Lloyd has nothing to do with the Site, the infringing domain, or the Respondent. The Respondent has no legitimate interest in the Site or the infringing domain as they are being used to defraud users into purchasing products that are never delivered. \r\n\r\n17\tHapag-Lloyd has received numerous calls from users chasing delivery of their products. They have therefore had to inform the users that the delivery of the products \/ the site the user ordered the products from is not in any way associated with Hapag-Lloyd.  \r\n\r\n18\t\tThe infringing domain was registered in bad faith as the sole purpose for its registration was and is to trick users into believing that they have arrived at a site which is owned by a reputable company i.e. Hapag-Lloyd.\r\n\r\n19\tThe same (or virtually similar) site was also located at, amongst others, the following domains:\r\n\r\n19.1\tescrow-hapaglloyd.com\r\n19.2\texpress-hapaglloyd.com\r\n19.3\tsafedeal-hapaglloyd.com\r\n19.4\tsafe-heapaglloyd.com\r\n19.5\tsafetrading-hapaglloyd.com.\r\n\r\n20\tThe Complainant has previously issued a domain dispute against the above domains and subsequently had the domains transferred to Hapag Lloyd. The Complainant believes that the domains are run by the same individuals and once one domain has been transferred, the individuals set up another similar domain (in this case <protect-hapaglloyd.com>), hosting the same fraudulent site.\r\n\r\n21              In accordance with Paragraph 4 (b) of the Rules, the Complainant understands that the complaint must be filed in the language of the Respondent’s registration agreement for the disputed domain name (Rules for UDRP, Par. 11. (a)). In this case, that language is Russian. However,  the Complainant would like to request a change of the language to English. The reasons as to why the Complainant believes the complaint should continue in English are:\r\n\r\n21.1 - The Respondent's address registered to the infringing domain, as shown on the attached WhoIs, is an address in Essex, England. Although, as  the Complainant  has mentioned above, this address is actually the address of the Complainant and has been used by the Respondent to trick internet users into believing the infringing domain is somehow connected to the Complainant, the Respondent is clearly wishing to represent that it has a strong tie with England. \r\n\r\n21.2 - The Respondent's telephone number, as given on the attached WhoIs, is an English phone number. Again, as  the Complainant has mentioned above, this telephone number actually belongs to the Complainant and has been used by the Respondent to trick internet users into believing the infringing domain is somehow connected to the Complainant. By doing this, the Respondent is clearly wishing to represent that they do have an association \/ a base in England. \r\n\r\n21.3 - The entire website at the infringing domain is written in English. The Respondent therefore clearly wishes to interact with internet users in English and has the ability to read, write and communicate in English.\r\n\r\n22               The Complainant therefore believes that the language of the complaint should be changed to English as other than the registration agreement, the Respondent has no association with Russia and not only has the ability to communicate in English, but wants users to have the impression that the entire site at the infringing domain is run from England. \r\n\r\n23             No injustice will be caused to the Respondent by the dispute continuing in English, because the Respondent is clearly able to conduct itself in English. On the other hand, a major injustice will be caused to the Complainant if the language of the dispute is not changed to English, because further fees will be incurred by having to commence the dispute elsewhere against what is so clearly a fraudulent Respondent. The Respondent should not be protected against the consequences of its fraudulent activities merely by its having registered the Infringing Domain with a Russian registrar. \r\n\r\n24\tIn order to protect Hapag-Lloyd, the use of the \"Hapag-Lloyd\" trademark and internet users,  the Complainant request that the infringing domain be transferred to the Complainant.\r\n",
    "other_legal_proceedings": "The Panel is not aware of other pending or decided proceedings between the same parties and related to the disputed domain name.",
    "no_response_filed": "NO ADMINISTRATIVELY COMPLIANT RESPONSE HAS BEEN FILED.\r\n\r\n",
    "rights": "The Complainant has, to the satisfaction of the Panel, shown the Domain Name is identical or confusingly similar to a trademark or service mark in which the complainant has rights (within the meaning of paragraph 4(a)(i)of the Policy).",
    "no_rights_or_legitimate_interests": "The Complainant has, to the satisfaction of the Panel, shown the Respondent to have no rights or legitimate interests in respect of the Domain Name (within the meaning of paragraph 4(a)(ii)of the Policy).",
    "bad_faith": "The Complainant has, to the satisfaction of the Panel, shown the Domain Name has been registered and is being used in bad faith (within the meaning of paragraph 4(a)(iii)of the Policy).",
    "procedural_factors": "The Panel is satisfied that all procedural requirements under UDRP were met and there is no other reason why it would be inappropriate to provide a decision.\r\n\r\nThe only procedural issue that the Panel has been faced with is the language of the proceedings. The Complaint was filed in English but the language of the registration agreement is Russian. \r\n\r\nPursuant to Paragraph 11(a) of the Rules, \"[u]nless otherwise agreed by the Parties, or specified otherwise in the Registration Agreement, the language of the administrative proceeding shall be the language of the Registration Agreement, subject to the authority of the Panel to determine otherwise, having regard to the circumstances of the administrative proceeding\".\r\n\r\nThe Complainant requests the Panel to authorise the change of the language of this administrative proceeding to English. In this respect, the Complainant asserts that  \"no injustice will be caused to the Respondent by the dispute continuing in English, because the Respondent is clearly able to conduct itself in English. On the other hand, a major injustice will be caused to the Complainant if the language of the dispute is not changed to English, because further fees will be incurred by having to commence the dispute elsewhere against what is so clearly a fraudulent Respondent. The Respondent should not be protected against the consequences of its fraudulent activities merely by its having registered the Infringing Domain with a Russian registrar (...). [T]he Respondent has no association with Russia and not only has the ability to communicate in English, but wants users to have the impression that the entire site at the infringing domain is run from England. \r\n\r\nMore specifically, the Complainant notes that:\r\n\r\nThe Respondent's address as it appears on the relevant Whois, is an address in Essex, England. Although this address is actually the address of the Complainant and has been used by the Respondent to trick internet users into believing the disputed domain name is somehow connected to the Complainant, the Respondent is clearly wishing to represent that it has a strong tie with England. \r\n\r\nMoreover, the Respondent's telephone number, as given on the relevant Whois, is an English phone number. This telephone number actually belongs to the Complainant and has been used by the Respondent to trick internet users into believing that the disputed domain name is somehow connected to the Complainant. By doing this, the Respondent is clearly wishing to represent that it does have an association \/ a base in England. \r\n\r\nFinally, the Complainant notes that the entire website at the infringing domain is written in English. The Respondent therefore clearly wishes to interact with internet users in English and has the ability to read, write and communicate in English.\r\n\r\nDue to all the aforesaid circumstances, the Panel agrees with the Complainant's view that it is not foreseeable that the Respondent will be prejudiced, should English be adopted as the language of the proceedings. \r\n\r\nThe Panel therefore determines, under paragraph 11(a) of the Rules, that English shall be the language of the proceedings (for a similar decision see WIPO Cases Nos. D2009-1572-1573-1584-1586-1620-1623-1624 -1635-1639-1640-1658 -Farouk Systems, Inc. vs. several respondents).\r\n",
    "decision": "Accepted",
    "panelists": [
        "Angelica Lodigiani"
    ],
    "date_of_panel_decision": "2014-07-28 00:00:00",
    "informal_english_translation": "\"Hapag-Lloyd\" is a Community Trademark, registration number 2590479 granted on 8 November 2005 for, amongst others, transhipment matters and goods distribution services in class 35 and freight forwarding and storage of goods of all kinds services in class 39. The registered owner is the TUI AG. The Complainant is an authorised  licensee of the  \"Hapag-Lloyd\" trademark.\r\n\r\n",
    "decision_domains": {
        "PROTECT-HAPAGLLOYD.COM": "TRANSFERRED"
    },
    "panelist": null,
    "panellists_text": null
}