Litman v. Goldberg, Index No. 524343/2025 (NY Sup. Ct. Kings County · Hon. Brian L. Gotlieb, J.S.C.) Cause of action: NY Civil Rights Law §§ 50–51 (misappropriation of name) Plaintiff: Richard C. Litman, Esq. (Reg. No. 30,868), pro se Defendant: Joshua B. Goldberg, Esq. (Reg. No. 44,126) Compiled: 2026-04-27 — pursuant to Plaintiff's directive of the same date
Plaintiff asked, on 4/27/2026:
The 20 photographs Plaintiff transmitted on 4/27/2026 confirm both. This memo synthesizes the answer with verified primary-source citations, identifies a new evidence category — Goldberg-personally-signed USPTO Patent Assignment Cover Sheets naming Litman as the correspondent attorney for King Faisal University (KFU) — and indexes the supporting photographs as exhibits.
These are not the 16 Powers of Attorney already in the case record. They are a separate USPTO document type — Patent Assignment Cover Sheets — and the "Correspondent Name" field on each is a public record (USPTO Assignment Database, assignmentcenter.uspto.gov). On both of the assignments below, the field reads "RICHARD C. LITMAN NATH, GOLDBERG & MEYER", and Goldberg himself is the named submitter and signatory.
| # | Docket | Application No. | Patent No. | Receiving Party | Correspondent (USPTO public record) | Submitter signature | Date signed | Reel / Frame |
|---|---|---|---|---|---|---|---|---|
| 1 | 33135.22U | 18/383,448 | 11,952,371 | KING FAISAL UNIVERSITY | RICHARD C. LITMAN NATH, GOLDBERG & MEYER | /JOSHUA B. GOLDBERG/ | 10/29/2023 | 065379 / 0084 |
| 2 | 33150.15U | 18/392,663 | 11,980,937 | KING FAISAL UNIVERSITY | RICHARD C. LITMAN NATH, GOLDBERG & MEYER | /JOSHUA B. GOLDBERG/ | 12/21/2023 | 065933 / 0139 |
Both are post-arbitration award (the arbitration decision was 6/14/2023): the first is 137 days after the award; the second is 190 days after.
Why this is independent evidence beyond the 16 POAs:
GOLDBERG_PERSONAL_ACTIONS_CHRONOLOGY and BEST_EVIDENCE_MEMO). This is not a stray clerical filing; it is a deliberate two-document act.Photographic exhibits supporting this category:
| Image | Shows |
|---|---|
| IMG_9B5E9D57-59CD-4579-9588-78D8CCB3B123.jpeg | KFU Assignment 33135.22U — full cover sheet with /JOSHUA B. GOLDBERG/ signature |
| IMG_0902.jpeg | Same assignment — alternate view, full inventor list (Hany Mohamed Abd El-Lateef Ahmed et al., 10/20/2023 execution dates) |
| IMG_0908.jpeg | Same assignment — close-up of the submitter and Reel/Frame field |
| IMG_0909.jpeg | Same assignment — close-up of receiving-party block |
| IMG_0911.PNG | Same assignment — close-up of submitter signature line |
| IMG_0910.PNG | KFU Assignment 33150.15U — full cover sheet, signed 12/21/2023 |
| IMG_0912.PNG | Same assignment — alternate page |
All seven images independently corroborate the same two USPTO public records.
A third image (IMG_0907.jpeg) shows a UAEU assignment on Docket 33090.24U / App. 18,118,551, signed 3/7/2023 by Nahied K. Usman (Reg. 47,148, not Goldberg). This predates the arbitration award (6/14/2023) and is signed by a different individual; it is not part of the Goldberg-signed-post-arbitration set, but it remains relevant as part of the broader pattern (Litman as correspondent on a UAEU assignment) and as background to NGM's standard practice of routing correspondence to Litman.
Carry-forward from the existing trial record (already on litmanintelligence.com):
Goldberg himself, writing to KFU's distribution list, refers to Litman as "our attorney." This is the anchor exhibit for the willfulness component of the § 51 case. It pairs with the assignments above — Goldberg is telling KFU verbally what the assignments are recording publicly.
The photographs include two KSU emails that show the same pattern Goldberg practiced with KFU:
iptl@ksu.edu.sa), with Richard Litman, KSU; Thamer Ali Albahkali; Hany Hassan Aly; Mohamed Elsayed Bassuni all on the CC line. The KSU IPTL Manager (Hany Hassan, KSU IP Office) replies "Dear Martha" — confirming the client treats Martha (and through her, Litman, who is CC'd) as the responsible KSU attorney team.These two photographs are not KFU-specific, but they confirm the same pattern Goldberg's KFU assignments document: clients see Goldberg + Litman as a single attorney team, Goldberg is on the email traffic in real time, and nothing is done to redirect attribution to Goldberg alone.
| Source | Count / scope | Notes |
|---|---|---|
| Master direct-email index (Plaintiff-side custodian) | 4,014 distinct Litman ↔ Goldberg emails | Spans 12/2018 – 9/2025 |
| PROD001 (Defendant's first rolling production, 4/23/2026 ingest) | 30+ emails in the June 2025 cluster alone | Bates GOLDBERG0007058 – GOLDBERG0011328, dates 6/2 – 6/25/2025 — the entire pre-litigation accounting-demand window |
| Plaintiff's outbox / iCloud / Apple Mail copies | 38 Litman-initiated; ~22 NOT in PROD001 | Defendant should have produced these and didn't — discovery-gap target |
| Post-7/18/2025 emails (after the alleged "elimination") | Yes — 7/21, 7/23, 7/31, 8/1, 9/9/2025 | Contradicts Defendant's "eliminated" framing |
| Litman ↔ Goldberg text-message thread | 5/2020 – 7/2025 complete | 283 screenshots in Plaintiff's iCloud Photos |
| Image | Captures |
|---|---|
| IMG_0732.PNG | Goldberg → Litman, 3/6/2023, 4:34 PM, "FW: wire transfer with amount ($1,437,568.00)": "Rich, Thank you again for the time and discussion on Friday. I felt like we had a good talk. It will be important to keep the momentum going. I looked into where I thought I remembered seeing that KSU was going to pay us some additional monies based on old outstanding invoices…" Signed Joshua B. Goldberg, Co-Managing Partner, "Green Patent Guy", Brooklyn, NY. Direct evidence Goldberg ran the KSU receivables relationship in Litman's name. |
| IMG_1728 (HEIC) | KSU IPTL #VERY URGENT# invoice request to Martha Long with Joshua Goldberg AND Richard Litman BOTH on CC. |
| IMG_0755.PNG | Martha Long → KSU IPTL with Litman CC'd; KSU's reply addresses Martha by name — direct cascade evidence. |
| IMG_0741.PNG | Jerry Meyer → Litman, 3/9/2021, "Re: CASE Act" — discusses KSU relationship and the "5-year tail of the agreement." Highlighted text indicates Litman pre-marked these for case use. |
| IMG_1788.png | Aaron Gould (Connell Foley, Defendant's outside counsel) → Litman, "RE: Litman — quarterly reconciliations": "You received the attached reconciliation report and all payments listed therein. You also received at the time of payment like you did for 3rd Quarter 2025, monthly Payment Allocation by Client reports, monthly Receivables by Client reports…" — confirms quarterly true-up reporting cadence and identifies the production-source PARs. |
| IMG_0858.PNG + IMG_0859.PNG + IMG_DA6153AD-...JPG | Litman → Aaron Gould, 11/13/2025, 4:58 PM, "Litman v NGM (EDNY) — phase 1 limited discovery proposal" — proposing focused discovery on (a) use of Plaintiff's patent-attorney identity and image, (b) Plaintiff's patent-attorney e-signature, (c) identifying Plaintiff as Attorney of Record, (d) post-6/14/2023 USPTO patents for KFU and KSU, (e) post-6/14/2023 USPTO patent documents for KFU and KSU, (f) website representations of Plaintiff as Patent Attorney, (g) website representations of Plaintiff as Patent Attorney – Retired, (h) use of email identifiers resolving as Richard Litman. Gould's full reply (Friday, November 14): "Richard: No." This is now the ground-truth refusal of phase-1 limited discovery, on the record. |
| IMG_1824.PNG | Official USPTO trademark notification, 10/30/2025, addressed to Howard Kline, Richard Litman, Docketing, Efile for U.S. Trademark Application SN 88,205,019 / Docket 6217.50. Three months post-litigation filing, Plaintiff's name still on USPTO's correspondent list for an NGM trademark. Goes directly to Question 1 above and to the trademark Track 2 § IV.2 of the Counsel Directions. |
| IMG_1705.JPG | Email from Howard W. Kline, Partner (NGM), to outside client jfus@wi.rr.com, with Richard Litman on CC, 7/25/2025 at 10:32, Subject "TM Renewal due in July 2026; QUICK BIB; NGM Ref: 23752.02". Body: "Dear James, Please find attached our letter reporting that to keep the above-referenced US trademark registration in force it will be necessary to file a trademark renewal with the USPTO by July 25, 2026." Sent on NGM letterhead, signed Howard W. Kline, Partner. NEW LATEST-CONFIRMED NAME-USE ANCHOR: 7/25/2025 — one day after the 7/24/2025 Hashtag Sports cease-and-desist and SEVEN DAYS AFTER Plaintiff's email accounts were allegedly "eliminated" on 7/18/2025. This pushes the latest confirmed Litman-name-use act in the entire case from 7/24/2025 to 7/25/2025 and proves NGM continued sending NGM-letterhead client correspondence CC'ing Plaintiff after access was supposedly cut. |
| IMG_1822.PNG | Litman's Pro Se signature block — current contact info: 172 Sterling Place, Apt. 8, Brooklyn, NY 11217; (703) 409-8850; rclitman@gmail.com (formal-recital-ready). |
| IMG_1765.PNG | EDNY pro se filing portal — context for filing track, not § 51 substance. |
| IMG_1915.PNG | "Why USPTO Authority Is Personal" — commentary on MPEP § 402 and 37 C.F.R. § 1.34 confirming individual-not-firm registration authority. Theoretical background, not § 51 evidence. |
The June 2025 PROD001 cluster (30+ emails, GOLDBERG0007058 – GOLDBERG0011328) does not exhaust the Goldberg ↔ Litman channel. The Plaintiff-side master index reaches 4,014 distinct emails over 7+ years. Of the 38 Litman-initiated messages in our index, approximately 22 are not in PROD001. These should be cross-checked against the next rolling production (PROD002) demand list (Counsel Directions § VI.4, items 1–3).
Prepared 2026-04-27 by Litman Intelligence Research Team in support of Plaintiff Richard C. Litman, pro se. Attorney work product — privileged and confidential.