Dear Mr. Larson,
As we have previously stated, before we can properly evaluate or respond to your claim, you will need to provide additional details regarding the basis for your claim and documentation of your relationship with Moscow Exchange or ownership in the Moscow Exchange mark (for example, trademark registration certificates evidencing your ownership of the alleged marks in question). Until we receive this information, we will not respond further to your correspondence.
Meta Platforms reserves all rights.
Sincerely,
Nichole Davis Chollet
Kilpatrick Townsend & Stockton LLP
Suite 2800 | 1100 Peachtree Street NE | Atlanta, GA 30309-4528
office 404 815 6010 | cell 404 906 6948 | fax 404 541 3387
nchollet@kilpatricktownsend.com | My Profile | VCard
From: Gunnar Larson <g@xny.io>
Sent: Monday, October 10, 2022 6:17 PM
To: Chollet, Nicki <NChollet@kilpatricktownsend.com>
Cc: Meta_Defensive_Disputes <Meta_Defensive_Disputes@kilpatricktownsend.com>; cypherpunks <cypherpunks@lists.cpunks.org>; Harris, Adrienne A (DFS) <Adrienne.Harris@dfs.ny.gov>; Weber, Richard (DFS) <Richard.weber@dfs.ny.gov>; Alexi Anania <a@xny.io>; Reader, Shaun <sreader@curtis.com>
Subject: Re: Meta Platforms, Inc. Board of Directors - USPTO, Digital Assets and Moscow Exchange
Ms. Chollett:
We have not heard back from you.
Should we be concerned?
Gunnar
On Fri, Sep 30, 2022, 11:56 AM Gunnar Larson <g@xny.io> wrote:
Ms. Chollett:
We have not heard back from you concerning Meta's potential marketplace manipulation with Meta's defined mark exactness to the Moscow Exchange.
From our correspondence below, Meta keeps asking us to detail our relationship with the Moscow Exchange.
Ms. Chollett, yet again we point to the Metaverse and Money whitepaper mentioned below and published by Citigroup. The Metaverse and Money research highlights insights both from Mr. Putin and Mr. Zuckerberg.
It would appear that Meta has made classic marketplace manipulation excuses concerning Meta's mark exactness to the Moscow Exchange.
How does Meta plan to resolve harm made to the Digital Asset marketplace through Meta's mark exactness to the Moscow Exchange?
Finally, Mr. Peter Thiel was on Meta's board of directors during the Facebook brand re-boot to Meta. Mr. Thiel also sits on the board of Palantir.
Henceforth, we are very concerned that the self described "PayPal Mafia" may have had questionable intent associated with Facebook's re-boot to Meta with mark exactness to the Moscow Exchange. At potential sacrifice of international peace and security.
We ask for Meta's response no later than October 5, 2022 by Noon EST. Furthermore, we would like Meta to answer if Mr. Zuckerberg considers himself a current or former colleague of the 'PayPal Mafia.'
Sending you warm regards.
Thank you,
Gunnar
Gunnar Larson
xNY.io - Bank.org
646-454-9107
Thu, Sep 8, 2022, 3:03 AM Gunnar Larson <g@xny.io> wrote:
Ms. Chollett:
We have not heard from you.
This whole thing with Meta and the Moscow Exchange seems fishy to us.
- Ms. Collette, xNY.io - Bank.org, PBC recently shared Citigroup's Metaverse and Money whitepaper, with 33 highlights to our grave concern to Meta's potential marketplace delinquency related to Meta's mark exactness to Moscow Exchange.
- Furthermore, Mr. Zuckerberg and Mr. Putin are both highlight quotes to Citigroup's Metaverse and Money research.
- With the date order, footnotes, and highlights xNY.io -Bank.org, PBC kindly petitions Meta's board to understand the opportunity ... The Moscow Exchange is not our problem, and for whatever reason Meta will have no opportunity to make mark exactness our problem.
Thank you,
Gunnar
Gunnar Larson
xNY.io - Bank.org
On Wed, Sep 7, 2022, 1:11 AM Gunnar Larson <g@xny.io> wrote:
Ms. Chollett:
This is easy.
Was Meta trying to copy the Moscow Exchange logo or not?
Please answer immediately.
Thank you,
Gunnar
Gunnar Larson
xNY.io - Bank.org
On Thu, Sep 1, 2022, 3:20 PM Chollet, Nicki <NChollet@kilpatricktownsend.com> wrote:
Dear Mr. Larson,
As we have previously stated, before we can properly evaluate or respond to your claim, you will need to provide additional details regarding the basis for your claim and documentation of your relationship with Moscow Exchange or ownership in the Moscow Exchange mark (for example, trademark registration certificates evidencing your ownership of the alleged marks in question). Until we receive this information, we will not respond further to your correspondence.
Meta Platforms reserves all rights.
Sincerely,
Nichole Davis Chollet
Kilpatrick Townsend & Stockton LLP
Suite 2800 | 1100 Peachtree Street NE | Atlanta, GA 30309-4528
office 404 815 6010 | cell 404 906 6948 | fax 404 541 3387
nchollet@kilpatricktownsend.com | My Profile | VCardFrom: Gunnar Larson <g@xny.io>
Sent: Wednesday, August 31, 2022 4:53 PM
To: Chollet, Nicki <NChollet@kilpatricktownsend.com>
Cc: Meta_Defensive_Disputes <Meta_Defensive_Disputes@kilpatricktownsend.com>; cypherpunks <cypherpunks@lists.cpunks.org>; investor@fb.com
Subject: Re: Meta Platforms, Inc. Board of Directors - USPTO, Digital Assets and Moscow Exchange
Ms. Chollett:
We have not heard from you. Is there some reason why?
Gunnar
Gunnar Larson
xNY.io - Bank.org
On Tue, Aug 30, 2022, 6:05 PM Gunnar Larson <g@xny.io> wrote:
Ms. Chollett:
Are you free to discuss this tomorrow?
Meta seems to be fanning the flames.
Thank you,
Gunnar
Gunnar Larson
xNY.io - Bank.org
On Wed, Apr 13, 2022, 4:44 PM Gunnar Larson <g@xny.io> wrote:
Ms. Chollett:
Thank you, kindly, for continued correspondence related to Meta Board questions specific to xNY.io - Bank.org, PBC's concern to protecting cross-border digital asset innovation.
xNY.io - Bank.org, PBC first became alarmed through Meta's obvious digital asset market problems related to Libra, Diem, Novi and USDP. Through Meta's continued digital identity transitions, xNY.io - Bank.org, PBC has pioneered cross-border digital asset logic(s). Moreover, the Moscow Exchange and Meta introduced market events over March that jeopardize digital asset market purty. Ms, Chollett, xNY.io - Bank.org, PBC will not pay for market effects related to Meta's cross-border disruption of digital asset innovation, related to Meta's obvious mark exactness (by definition) to the Moscow Exchange.
Ms. Chollett, we cannot concern ourselves with Meta's intentions, good or otherwise, given clear problems that exacerbate market risk:
- March 11, 2022: Russia's leader, who is in charge of the Moscow Exchange cites Meta as an 'extremist organization' ...
- March 14, 2022: Frankfurt Kurnit Klein & Selz PC Benjamin G. Murray published SDNY insights to a Russian State-Sponsored TV Network's Attempt to Dismiss Copyright Lawsuit On Fair Use Grounds Denied.
- March 17, 2022: Moscow Exchange is the backend to Russia's largest bank, Sber. The announcement on 03/17/22 confirmed Sber (via the Moscow Exchange technology, at various levels) would issue digital assets.
- March 18, 2022: Meta Platforms Inc. filed USPTO mark applications for a mark EXACTLY DEFINED to that of the Moscow Exchange.
- Ms. Chollette, below my signature you will find Meta's filing numbers and descriptions related to a mark defined as Moscow Exchange, with plans to engage the mark in commerce related to digital assets and virtual reality.
- March 24, 2022: xNY.io - Bank.org, PBC contacted meta, with a memo introducing our direct plan to protect cross-border digital asset innovation. Ms. Chollette, please note that Russia has labeled Meta as an 'extremist organization' ... So who really knows what the Moscow Exchange will thi
xNY.io - Bank.org, PBC is a very reasonable digital asset pioneer, and sitting in Manhattan the jury is in on market contributions from Libra, Diem, Novi and USDP. Ms, Chollette, Meta and the Moscow Exchange matter really suggest only losing marketplace contributions, obviously potentially devastating digital asset marketplace innovation(s). We aim to solve this problem immediately:
- Ms. Collette, xNY.io - Bank.org, PBC recently shared Citigroup's Metaverse and Money whitepaper, with 33 highlights to our grave concern to Meta's potential marketplace delinquency related to Meta's mark exactness to Moscow Exchange.
- Furthermore, Mr. Zuckerberg and Mr. Putin are both highlight quotes to Citigroup's Metaverse and Money research.
- With the date order, footnotes, and highlights xNY.io -Bank.org, PBC kindly petitions Meta's board to understand the opportunity ... The Moscow Exchange is not our problem, and for whatever reason Meta will have no opportunity to make mark exactness our problem.
The United State of America's cross-border approach to digital asset innovation will be cultivated, fostered and protected by xNY.io - Bank.org, PBC.
We aim not to be adversarial with Meta, but we will stop at no cost to invest in claim rewards if necessary. Perhaps, we can organize a time to discuss potential resolutions in the immediate term.
xNY.io - Bank.org, PBC must reserve all rights specific to harm from March 14, 2022
and March 18, 2022 market events.
Please feel free to call or email anytime.
Sending you the very best from New York City,
Gunnar Larson
--
Gunnar Larson - xNY.io | Bank.org
MSc - Digital Currency
97320155: Online social networking and dating services, including a specific branch tailored for networking between cryptocurrency investors.
97320153: Design and development of computer hardware and software relating to Web3, including gaming, e-commerce, blockchain transactions, etc.
97320149: Entertainment and electronic publishing services, partly within virtual reality.
97320147: Telecommunication services for electronic assets held on its platform.
97320146: Financial transaction processing services relating to tokens, blockchain assets, cryptocurrencies and other virtual assets.
97320144: Advertising services via virtual or augmented reality networks and the metaverse.
97320140: Wearable peripherals for video games connected to virtual reality.
97320136: Downloadable software in the nature of a mobile application, such as for user authentication, online charitable fundraising and most notably, for hardware or e-wallets.
Confidentiality Notice:
This communication constitutes an electronic communication within the meaning of the Electronic Communications Privacy Act, 18 U.S.C. Section 2510, and its disclosure is strictly limited to the recipient intended by the sender of this message. This transmission, and any attachments, may contain confidential attorney-client privileged information and attorney work product. If you are not the intended recipient, any disclosure, copying, distribution or use of any of the information contained in or attached to this transmission is STRICTLY PROHIBITED. Please contact us immediately by return e-mail or at 404 815 6500, and destroy the original transmission and its attachments without reading or saving in any manner.
***DISCLAIMER*** Per Treasury Department Circular 230: Any U.S. federal tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.