TM Clearinghouse Comment
On behalf of the Chief Legal Officer of the Association of American Medical Colleges, I am submitting the attached comments regarding the proposed Trademark Clearinghouse model. Sincerely, Amber Sterling Business Development Specialist Association of American Medical Colleges 2450 N Street NW Washington, DC 20037 202.862.6139 (w) 202.828.0659 (f) Attachment:
AAMC_Clearinghouse_Comments_03-31-10.pdf |