{
    "case_number": "CAC-UDRP-104633",
    "time_of_filling": "2022-06-06 10:30:41",
    "domain_names": [
        "NovartisPlc.com"
    ],
    "case_administrator": "Denisa Bilík (CAC) (Case admin)",
    "complainant": [
        "Novartis AG"
    ],
    "complainant_representative": "BRANDIT GmbH",
    "respondent": [
        "ca domains"
    ],
    "respondent_representative": null,
    "factual_background": "The following facts have been asserted by the Complainant and have not been contested by the Respondent:\r\n\r\nThe Novartis Group is one of the biggest global pharmaceutical and healthcare groups. It provides solutions to address the evolving needs of patients worldwide by developing and delivering innovative medical treatments and drugs.\r\n\r\nThe Complainant has a strong presence in Canada, where the Respondent is located. The roots of the Novartis Group in Canada date back to the 1920s when both Ciba and Sandoz were established in Montreal and to the 1940s when J.R. Geigy opened in Toronto. Novartis AG (the \"Complainant\"), created in 1996 through the merger of Ciba-Geigy and Sandoz, is the holding company of the Novartis Group.\r\n\r\nIn Canada, among the five distinct companies that Novartis owns, Novartis Pharmaceuticals Canada Inc. is a leading research-based company with a wide-ranging program for developing and marketing innovative prescription medications. The Company's national head office building, completed in 2003, is located in Dorval, Quebec.\r\n\r\nThe Complainant owns the well-known trademark “NOVARTIS,\" registered as both a word and device mark in several classes worldwide, including Canada. The vast majority of the Complainant's trademark registrations significantly predate the disputed domain name's registration.\r\n\r\nThe disputed domain name was registered on April 6, 2022.",
    "other_legal_proceedings": "The Panel is unaware of any other pending or decided legal proceedings relating to the disputed domain name.",
    "no_response_filed": "COMPLAINANT:\r\n\r\nA. THE DOMAIN NAME IS IDENTICAL OR CONFUSINGLY SIMILAR\r\n\r\nThe disputed domain name, which was registered on April 6, 2022, incorporates the Complainant's well-known, distinctive trademark NOVARTIS in its entirety in combination with the term \"PLC\", which could be easily interpreted by the public as the company form \"public limited company\", therefore is closely related to the Complainant and its business activities. \r\n\r\nThe addition of the gTLD “.com” does not add any distinctiveness to the disputed domain name. \r\n\r\nThe disputed domain name should be considered confusingly similar to the trademark NOVARTIS.\r\n\r\nB. RESPONDENT HAS NO RIGHTS OR LEGITIMATE INTEREST IN RESPECT OF THE DOMAIN NAME\r\n\r\nThe Complainant and the Respondent have never had any previous relationships, nor has the Complainant ever granted the Respondent any rights to use the NOVARTIS trademark in any form, including the disputed domain name.\r\n\r\nThe Complainant has not found that the Respondent is commonly known by the disputed domain name or that it has legitimate interest over the disputed domain name. When searched for “Novartisplc” in the Google search engine, the search results all pointed to the Complainant and its business activities.\r\n\r\nThe Respondent should have already performed a similar search before registering the disputed domain name and should have quickly learned that the Complainant owns the trademarks and that the Complainant has been using its trademarks in Canada, where the Respondent resides and in many other countries worldwide. However, the Respondent still chose to register the disputed domain name as such.\r\n\r\nIn addition, according to the Registrar Verification, the Respondent is named \"ca domains \/ Mark Miller\", which is in no way related to the Complainant nor the term \"Novartis\".\r\n\r\nBy the time the Complainant prepared Complaint on June 2, 2022, the disputed domain name resolved to a web page under construction. Accordingly, the Respondent has not used the disputed domain name for any bona fide offering of goods or services.\r\n\r\nIn addition, when Internet users, who search for information about the Complainant and\/or about the brand \"Novartis\", see the unfinished page, they would very likely be confused and be led to believe that the disputed domain name is somehow related to the Complainant and be disappointed as they would not find the information as expected – which will lead to trademark tarnishment for the Complainant.\r\n\r\nFrom the Complainant’s perspective, the Respondent deliberately chose to incorporate a sign that is confusingly similar to the well-known, distinctive trademark NOVARTIS in the disputed domain name, clearly intending to collect commercial gain by benefiting from the Complainant's worldwide renown.\r\n\r\nFor the preceding reasons, it shall be concluded that the Respondent has no right or legitimate interest in the disputed domain name and has not been using it for any bona fide offering of goods or services.\r\n\r\nC. THE DOMAIN NAME WAS REGISTERED AND IS BEING USED IN BAD FAITH\r\n\r\ni. THE DOMAIN NAME WAS REGISTERED IN BAD FAITH\r\n\r\nIt should be highlighted that most of the Complainant's trademark registrations predate the disputed domain name's registration. The Complainant has never authorized the Respondent to register the disputed domain name. Considering the renown of the Complainant and its trademark NOVARTIS, and the overall composition of the disputed domain name, i.e., using the Complainant's well-known, distinctive trademark NOVARTIS in its entirety in combination with the term \"plc\", which is closely related to the Complainant and its business activities, it follows that incorporating the well-known trademark NOVARTIS in the disputed domain name is a deliberate and calculated attempt to improperly benefit from the Complainant’s rights and reputation.\r\n\r\nConsidering the facts that:\r\n• The Respondent very likely knew about the Complainant and its trademark;\r\n• The Complainant's trademark NOVARTIS is a distinctive, well-known trademark worldwide and in Canada, where the Respondent resides;\r\n• The Respondent has failed in presenting a credible evidence-backed rationale for registering the disputed domain name,\r\n\r\nThe disputed domain name shall be deemed as registered in bad faith.\r\n\r\n\r\nii. THE DOMAIN NAME IS BEING USED IN BAD FAITH\r\n\r\nTaking into account the fact that the Complainant is well-known worldwide, the Complainant considers that by using the disputed domain name, the Respondent has intentionally attempted to attract, for commercial gain, Internet users to its website or location by creating a likelihood of confusion with the Complainant’s mark as to the source, sponsorship, affiliation, or endorsement of the Respondent’s website or location or of a product or service on the Respondent’s website or location.\r\n\r\nAs noted in the previous paragraphs, the disputed domain name resolved to an unfinished page, which constitutes passive holding. Additionally, the Complainant tried to reach the Respondent with the notice of cease-and-desist letter sent on April 20, 2022, to the Respondent's email as provided in the WHOIS. However, until the Complainant prepared this Complaint, it has not received a response from the Respondent.\r\n\r\nFurthermore, the Respondent has been using a privacy shield to conceal its identity, adding to the finding of bad faith.\r\n\r\nSUMMARY\r\n\r\n• NOVARTIS is a well-known, distinctive trademark worldwide.\r\n• Complainant's trademark registration predates the registration of the disputed domain name.\r\n• Respondent has no rights in the mark NOVARTIS, bears no relationship to the Complainant, and is not commonly known by the disputed domain name - accordingly, it has no legitimate interest in the disputed domain name.\r\n• It is improbable that Respondent was unaware of Complainant's prior rights in the trademark NOVARTIS when registering the disputed domain name, given the Complainant’s worldwide renown.\r\n• Respondent has been using the disputed domain name to resolve an unfinished page.\r\n• Respondent has not responded to Complainant’s cease-and-desist communication.\r\n• Respondent has been using a privacy shield to conceal its identity.\r\n\r\nConsequently, the Respondent should be considered to have registered the disputed domain name confusingly similar to the Complainant's well-known, distinctive trademark NOVARTIS. Accordingly, the Complainant has not found that the Respondent is of any legitimate right or interest in using the disputed domain name but registered and has been using the disputed domain name in bad faith.\r\n\r\n\r\nRESPONDENT\r\n\r\nNo administratively compliant Response was filed.",
    "rights": "To the satisfaction of the Panel, the Complainant has shown that the disputed domain name is identical or confusingly similar to the trademark in which the Complainant has rights (within the meaning of paragraph 4(a)(i) of the Policy).",
    "no_rights_or_legitimate_interests": "To the satisfaction of the Panel, the Complainant has shown the Respondent to have no rights or legitimate interests in respect of the disputed domain name (within the meaning of paragraph 4(a)(ii) of the Policy).",
    "bad_faith": "To the satisfaction of the Panel, the Complainant has shown the disputed 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 have been met, and there is no other reason why it would be unsuitable for providing the Decision.",
    "decision": "Accepted",
    "panelists": [
        "Rodolfo Carlos Rivas Rea"
    ],
    "date_of_panel_decision": "2022-07-05 00:00:00",
    "informal_english_translation": "The Complainant’s trademark registrations in Canada include:\r\n\r\nTrademark: NOVARTIS\r\nReg. no: TMA523129\r\nRegistration date: February 15, 2000\r\n",
    "decision_domains": {
        "NOVARTISPLC.COM": "TRANSFERRED"
    },
    "panelist": null,
    "panellists_text": null
}