Threat visibility
Relevant advertisers, storefronts, sellers, listings and repeat appearances are documented in one case view.
EU BRAND PROTECTION / MONITORING
BOHI monitors the commercial market around a brand or product, preserves evidence and tracks what happens after action is taken. The service can protect an upcoming entry, run beside market development or operate independently for a brand already selling in Europe.
See scope & price ↓01 / THE DECISION
The answer requires more than a trademark watch. BOHI combines advertiser, storefront, marketplace and listing discovery with case classification, evidence preservation, reappearance tracking and executive market-integrity reporting.
02 / WHAT THE WORK CREATES
Relevant advertisers, storefronts, sellers, listings and repeat appearances are documented in one case view.
Findings are preserved and classified so the rights owner and qualified advisers can decide the appropriate response.
Removal, non-removal and reappearance are followed rather than treating an initial alert as resolution.
03 / HOW IT WORKS
Agree the marks, products, channels, markets, risk categories and escalation boundaries.
Discover activity, preserve evidence and distinguish severity, recurrence and commercial relevance.
Prepare action-ready cases, track outcomes and report patterns that matter to market integrity.
04 / SCOPE & TRANSPARENT PRICING
Standalone or attached to any BOHI programme
Brands preparing for EU entry or already selling in Europe that need a consistent operating view of unauthorised, misleading, counterfeit or commercially harmful market activity.
BOHI is not a law firm and does not replace legal advice. Legal representation, rights-owner filings, platform fees, investigators and external counsel remain separate. Exact monitoring coverage is confirmed before activation.
05 / PRACTICAL QUESTIONS
Yes. It is a fully standalone service as well as an add-on to readiness, validation, entry or ongoing market development.
No. A registry watch is narrower. BOHI focuses on observable commercial activity across agreed digital market channels and supports evidence, classification, escalation and outcome tracking.
BOHI can prepare and coordinate evidence and enforcement-support workflows. Legal notices, representation and formal legal opinions must be handled by the rights owner or qualified counsel where required.
Yes. Pre-entry monitoring can reveal existing sellers, misleading listings, copied assets, price distortion or other market conditions that should inform the entry plan.
THE SMALLEST CREDIBLE NEXT STEP
We will identify the relevant entry point, the visible starting price and what evidence is needed before activation.
Start an entry assessment ↗