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Leveraging the talents of its world-class researchers and exceptional support staff, Oak Ridge National Laboratory is helping solve critical scientific and technical challenges and, in so doing, creating economic opportunity for the nation. ORNL provides access to unique facilities, laboratories, and equipment, drawing thousands of visiting researchers each year. A vibrant and welcoming scientific community, ORNL embraces the pursuit of innovative ideas and invests in its people to ensure their success.
None of the statements on this page or website have been evaluated by the FDA. None of the products on this page or website is intended to diagnose, treat, cure, or prevent any disease. The material on this website is provided for informational purposes only and is not medical advice. Always consult your physician.
Premier Research Lab (PRL) manufactures food-derived food supplements that are free from non-natural excipients. Each product is also tested to ensure that they are free of toxins and contaminants. These products are high quality and effective, and are usually used by practitioners.
Please note that products, product info and all other material on this site (including multimedia content & links) are not intended for treating or diagnosing medical conditions. If you are unwell, on medication, pregnant or breastfeeding, please consult a doctor before starting supplements.Do not exceed recommended dosages, and keep all supplements out of the reach & sight of children.
ImmunoDX (formerly known as ImmunoDiagnostics inc) develops, manufactures and markets a wide range of specialty biologicals. All products are manufactured at our own own facility and we assure products will meet high standards of quality: purity, specificity, biological activity,
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Disclaimer: These statements have not been evaluated by the Food and Drug Administration (FDA). These products are not meant to diagnose treat or cure any disease or medical condition. Please consult your doctor before starting any exercise or nutritional supplement program or before using these or any product during pregnancy or if you have a serious medical condition.
Premier Research Labs (PRL) is a manufacturer of premier nutritional products and superfood concentrates founded in 1985 by an esteemed clinical nutritionist and uses pioneering (and industry-first) quantum cellular resonance technology to formulate its products. The goal is to deliver highly effective, 100% non-toxic, and uncompromising quality formulas.
To achieve that, Premier Research Labs products do not contain any excipients, which are to blame for the degradation of the nutritional powder of most supplements. Another reason nutritional supplements usually lose their intended nutritional powder is that the source of nutrients used to be selected based on its (low) price.
All these factors were identified early on by the PRL founder, who decided to make a drastic change to provide patients and healthcare professionals with supreme quality and highly efficacious supplements. So, instead of referring to the cheapest ingredients on the market, PRL chose to source its raw materials from respected suppliers from all across the globe while developing stringent protocols to ensure premier quality at all times.
Another way Premier Research Labs tests its raw materials is via its Quantum Reflex Analysis technique which identifies inferior products or raw materials using a precision kinesiological testing system.
Other reactions may include fatigue, intestinal gas or pain, abdominal bloating and mood changes. Do you react to: Dairy products or eggs Wheat or citrus Environmental substances like grass, perfume, smoke, etc
This ideal, daily nutritional formula for the entire family is a once-living phytonutrient formula. This all-in-one supplement provides broad spectrum, premier nutrition delivering a quantum shift in...
On October 1, 1997, Westchester filed this declaratory judgment action against PRL, seeking a determination of its right to use \"POLO\" as the title for a magazine. In response to Plaintiffs' declaratory judgment action, PRL filed counterclaims alleging trademark infringement and dilution under the Lanham Act, codified as amended at 15 U.S.C. งง 1114(1), 1125(a), and state law claims of unfair competition and injury to business reputation. The court has jurisdiction over the subject matter of these claims pursuant to 15 U.S.C. ง 1121, 28 U.S.C. ง 1338, and 28 U.S.C. ง 636(c) and venue is proper in the Southern District of Texas under 28 U.S.C. ง 1391. This case requires close decisions on questions of fact and law as the parties dispute the right of each to use the word \"polo\" in pursuing business goals. PRL, Counter-Plaintiff here, claims that Westchester Media, Counter-Defendant, has infringed its rights by use of that name and that it has diluted its distinctive mark in the process. Westchester responds that PRL's efforts to control the use of the word, by litigation, is an overreaching attempt to extend its current rights under the law. In July 1998, this court was presented with similar issues on PRL's request for a preliminary injunction, and limited injunctive relief was ordered. Since July 1998, Westchester has been required to distance itself from PRL, and its products, by publishing a disclaimer on the disputed magazine cover and in all of its advertising media. At the trial on the merits, and in the post trial briefs and arguments, the parties have elaborated on, *941 and expanded, the factual underpinnings for the competing claims and defenses.
From the undisputed evidence, it is clear that since 1967, PRL, under its founder, Ralph Lauren, has built an image known to both national and international consumers, and it is one which encompasses diverse merchandise including fashions, accessories, home furnishings, fragrances, and other products. PRL contends that these diverse offerings are known immediately by the \"Polo\" name which has become famous and distinctive. (See Memorandum Order, Findings of Fact and Conclusions of Law on Defendants' Motion for a Preliminary Injunction (\"July 1998 Memorandum Order\"), p. 4). *942 Over the years, PRL has registered a number of trademarks with the United States Patent and Trademark Office (\"PTO\"). These registrations have been referred to as the \"Polo Trademarks\", and each is detailed in the record. (Defendants' Exhibit # 43, # 44, July 1998 Memorandum Order, p. 4). These trademark registrations are in full force and effect and a great number of them have become incontestable under the Lanham Act, codified as amended at 15 U.S.C. ง 1065. PRL protects these marks through legal action when necessary. (July 1998 Memorandum Order, p. 4).
After an exhaustive review of the law and careful examination of the evidence submitted in this matter, the conclusion is inescapable that a likelihood of confusion exists between PRL's products and the Westchester magazine which has been published since October 1997. In short, the court is convinced that, if the periodical which is now published by Westchester under the name \"Polo Players Edition\", was instead published under the name \"Polo\", this suit would not have arisen. The court finds that the editorial content, distributorship, advertising, layout, and reportage in Polo Players Edition is, in essence, the continuation of Ami Shinitzky's Polo Magazine. Based on that determination, the court finds that the \"relaunch\", under Westchester, with the new, glossy format and altered editorial and advertising direction, evidences an intent to trade on the reputation and goodwill established by PRL over the last 30 years. There can be no better proof of this intent than the fact that Westchester has retained the old thematic content and readership of the original Shinitzky publication, but has now retitled it, Polo Players Edition. Surely there is no need for two different magazines if, as claimed by Westchester, the current Polo is a mere continuation of the Fleet Street periodical with an updated look and a cash infusion.
Without detailing each contested fact, the court concludes that PRL has spent millions of dollars cultivating its Polo image and in advertising its products and services. Products bearing the PRL marks have resulted in worldwide sales of approximately seven billion dollars. These products range from a wide array of men's and women's apparel to home furnishings, accessories, linens, paints, and fragrances. These sales are generated from retail stores located throughout the world. (11-16-98 A.M. Tr. at 49-51; Defendants' Exhibit # 142). Articles about PRL's products, and Ralph Lauren himself, have been written in magazines as diverse as Time, Financial World, Town & Country, and Vanity Fair. (Defendants' Exhibit # 37 A-I; 11-16-98 A.M. Tr. at 63). PRL advertises worldwide, and it is visible in all manner of media, including newspapers, trade publications and magazines. (July 1998 Memorandum Order, p. 7). It is undisputed that, in 1997 alone, PRL ran 952 pages of advertising in such widely-circulated magazines as Elle, Vogue, Town and Country, GQ, and Cosmopolitan. (July 1998 Memorandum Order, p. 7). It is likewise undisputed that in the same year, Fleet Street/Westchester publications, including the Old and New POLO Magazines, together, produced only 778 pages of copy. (July 1998 Memorandum Order, p. 7). From 1995 through August of 1997, Fleet Street/Westchester printed approximately 2,700 articles. Of that number, 97.8% concerned the sport of polo and \"equestrian matters\". Only 2.2% of those articles concerned travel, or other non-equestrian subjects. (July 1998 Memorandum Order, p. 7). The Old POLO Magazine was directed to fewer than 7,000 subscribers, most of whom were members of the USPA. Indeed, those belonging to the USPA received the magazine as a benefit of membership. (July 1998 Memorandum *945 Order, p. 7). Core advertisers in the Old POLO Magazine offered products primarily connected to the sale, care and maintenance of horses, and other equipment integral to the sport of polo. PRL asserts that in the twenty-year history of the magazine, only 407 fashion advertisements appeared. (July 1998 Memorandum Order, p. 7). 59ce067264
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