n the AMBIEN and ALLEGRA trademarks, which precede the Respondent???s registration of the domain names. 5A.15 Moreover, the Complainant???s trademarks are present in over 50 countries and are well-known throughout the world. 5A.16 Furthermore, there is no license, consent or other right by which the Respondent would have been entitled to register or use the domain names incorporating the Complaina