The Court of Cassation with order number 3.11.2022 established the important principle – in contrast to the monopolistic and universalistic approach of the owners of renowned brands – that the miniature reproduction of a model of Ferrari, with the affixing of the same trademark of the manufacturer, does not constitute an illegal use of the same, neither constituting a counterfeiting nor causing an economic damage to the well-known car manufacturer in terms of the “dilution” of the distinctive sign.