2020-cv-07543
日期 | 描述 |
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09/07/2022 | CERTIFIED COPY OF OPINION from the USCA for the 7th Circuit; Argued 4/7/22; Decided 8/16/22 in USCA case no. 21-2909; AFFIRMED. |
09/07/2022 | CERTIFIED COPY OF USCA FINAL JUDGMENT dated 9/7/22 regarding notice of appeal[72] ; USCA No. 21-2909. |
09/07/2022 | MANDATE of USCA dated 9/7/22 regarding notice of appeal[72] ;USCA No.21-2909 ; No record to be returned. |
11/09/2021 | MANDATE of USCA dated 11/9/2021 regarding notice of appeal 60 ; USCA No. 21-2378; No record to be returned. |
11/09/2021 | CERTIFIED copy of order dated 11/9/2021 from the 7th Circuit regarding notice of appeal 60 ; Appellate case no.: 21-2378; The following are before the court: 1. APPELLANT HANWJH'S RESPONSE TO THE COURT'S OCTOBER 19, 2021 AND NOVEMBER 2, 2021 ORDER, filed on November 8, 2021, by counsel for the appellant. 2. APPELLANT HANWJH'S MOTION FOR VOLUNTARY DISMISSAL, filed on November 8, 2021, by counsel for the appellant. IT IS ORDERED that the rule to show cause dated November 2, 2021, is VACATED. IT IS FURTHER ORDERED that this appeal is DISMISSED in accordance with Federal Rule of Appellate Procedure 42(b). Modified on 11/17/2021. |
10/19/2021 | ACKNOWLEDGMENT of receipt of short record on appeal regarding notice of appeal 72 ; USCA Case No. 21-2909. |
10/19/2021 | TRANSMITTED to the 7th Circuit the short record on notice of appeal 72. Notified counsel |
10/19/2021 | NOTICE of Appeal Due letter sent to counsel of record regarding notice of appeal 72. |
10/18/2021 | NOTICE of appeal by HANWJH regarding orders [58], [70], [57] Filing fee $ 505, receipt number 0752-18780836. Receipt number: n |
09/22/2021 | MAILED Trademark report to Patent Trademark Office, Alexandria VA. 附件: 1:Closing Order dated 9/20/2021 |
09/20/2021 | FINAL JUDGMENT ORDER signed by the Honorable John F. Kness on 9/20/2021. Mailed notice |
09/20/2021 | ORDER signed by the Honorable John F. Kness on 9/20/2021. Civil case terminated. Mailed notice |
09/14/2021 | MINUTE entry before the Honorable John F. Kness: Before the Court is Defendant HANWJH's motion 61 to stay all proceedings pending appeal. In reviewing the motion, the Court considers the factors listed in Nken v. Holder, 556 U.S. 418 (2009). To begin, a stay is not a matter of right. But in determining whether to grant a stay, a court considers the moving party's likelihood of success on appeal, any irreparable harm that will result to either side if a stay is granted or denied in error, and whether the public interest favors one side or the other. Id. at 433. Taking the Nken factors into account, the motion is unpersuasive. Any likelihood of success on appeal is not apparent to this Court, if the Court is even equipped to assess Defendant's likelihood of success before a reviewing court. But assuming the inquiry is permissible, Defendant's likelihood of succeeding in its interlocutory appeal does not appear significant. Moreover, there is no apparent threat of irreparable harm to Defendant. If Defendant succeeds on appeal, the injunction will be lifted and Defendant will be restored to the status quo ante. As for the public interest, the public is entitled to the prompt resolution of civil cases before its courts. There is nothing left to do in this Court other than to adjudicate the pending motion 52 for default judgment; there is no reason to delay that process further. If anything, entry of a final judgment might ease Defendant's path to review of this Court's ruling by the Court of Appeals. For these reasons, Defendant HANWJH's motion for a stay of all proceedings pending appeal is denied. Mailed notice |
07/30/2021 | REPLY by HANWJH to response in opposition to motion, 65 |
07/29/2021 | A proposed briefing schedule STATEMENT by HANWJH |
07/29/2021 | RESPONSE by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of Californiain Opposition to MOTION by Defendant HANWJH to stay All Proceedings Pending Appeal[61] |
07/28/2021 | ACKNOWLEDGMENT of receipt of short record on appeal regarding notice of appeal [60]; USCA Case No. 21-2378. |
07/27/2021 | TRANSMITTED to the 7th Circuit the short record on notice of appeal [60]. Notified counsel |
07/27/2021 | NOTICE of Appeal Due letter sent to counsel of record regarding notice of appeal [60]. |
07/27/2021 | MOTION by Defendant HANWJH to stay All Proceedings Pending Appeal |
07/26/2021 | NOTICE of appeal by HANWJH regarding orders [58], [57] Filing fee $ 505, receipt number 0752-18499595. Receipt number: n |
07/15/2021 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion 52 for entry of default and default judgment against all Defendants. All remaining defendants, including Defendant HANWJH (whose motion to dismiss, which was filed after the time to answer had passed, was denied today by separate order), have failed either to plead or to otherwise timely appear to defend against this action. Accordingly, default is entered under Rule 55(a) of the Federal Rules of Civil Procedure. Any objections to the motion for entry of default judgment must be filed on or before 07/26/2021. If no objections are filed by that date, the court will consider the motion unopposed. Plaintiff must serve this minute order upon all remaining Defendants within two business days of its entry on the docket. Mailed notice |
07/15/2021 | MEMORANDUM Opinion and Order signed by the Honorable John F. Kness on 7/15/2021. Mailed notice |
07/15/2021 | MINUTE entry before the Honorable John F. Kness: For the reasons stated in the accompanying Memorandum Opinion and Order, Defendant's motion to dismiss and to lift the preliminary injunction 55 is denied. Mailed notice |
03/18/2021 | MEMORANDUM by HANWJH in support of motion to dismiss/lack of jurisdiction 55, improper service and to vacate preliminary injunction 附件: 1:Affidavit of Wu 2:Exhibit 1 |
03/18/2021 | MOTION by Defendant HANWJH to dismiss for lack of jurisdiction, improper service and to lift preliminary injunction |
03/17/2021 | NOTICE by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California re MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for entry of default |
03/17/2021 | MEMORANDUM by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California in support of motion for entry of default, motion for default judgment, [52] 附件: 1:Declaration of Justin R. Gaudio 2:Exhibit 1 |
03/17/2021 | MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for entry of default as to all Defendants, MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for default judgment as to all Defendants |
03/17/2021 | NOTICE of Voluntary Dismissal by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California as to certain Defendants |
03/02/2021 | ATTORNEY Appearance for Defendant HANWJH by Tianyu Ju |
03/02/2021 | ATTORNEY Appearance for Defendant HANWJH by Tao Liu |
02/26/2021 | NOTICE of Voluntary Dismissal by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California as to certain defendant |
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02/17/2021 | PRELIMINARY INJUNCTION ORDER signed by the Honorable John F. Kness on 2/17/2021. Mailed notice |
02/17/2021 | MINUTE entry before the Honorable John F. Kness: Plaintiff's motion for a preliminary injunction 42 is granted. Plaintiff's filings establish that it has acted expeditiously to protect its interests and that there remains a significant risk Defendants will transfer relevant assets beyond the Court's reach. For these reasons, as well as the reasons provided in the whole of Plaintiff's filings and as stated by the Court in connection with entry of the TRO, the Court is persuaded that Plaintiff has satisfied the requirements for a preliminary injunction. In addition, the Court finds that the balance of harms favors Plaintiff and that a preliminary injunction serves the public interest by, among other things, protecting consumers from the marketing of counterfeit goods. Plaintiff has also certified and established 45 that it provided electronic notice to defendants of the pendency of this case and provided a link to a website containing relevant case documents, but no objection to the motion for a preliminary injunction has been filed on behalf of any defendant. Enter preliminary injunction order. Plaintiff's counsel is directed to ensure that all defendants listed on Schedule A are added to the court's docket within five business days. The Clerk is requested to unseal any previously-sealed documents. Mailed notice |
02/05/2021 | SUMMONS Returned Executed by Collegiate Licensing Company, LLC, Major League Baseball Properties, Inc., The Regents of the University of California, MLB Advanced Media, L.P., NBA Properties, Inc., NHL Enterprises, L.P., NFL Properties LLC as to The Partnerships and Unincorporated Associations Identified on Schedule "A" on 2/5/2021, answer due 2/26/2021. 附件: 1:Declaration of Jake M. Christensen |
02/05/2021 | NOTICE by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California re MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for preliminary injun 42 |
02/05/2021 | MEMORANDUM by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California in support of motion for preliminary injunction, 42 附件: 1:Declaration of Justin R. Gaudio 2:Exhibit 1 |
02/05/2021 | MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for preliminary injunction |
02/04/2021 | NOTICE of Voluntary Dismissal by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California as to certain defendant |
02/01/2021 | NOTICE of Voluntary Dismissal by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California as to certain defendant |
01/26/2021 | SUMMONS Issued as to Defendant The Partnerships and Unincorporated Associations Identified on Schedule "A" |
01/26/2021 | EXTENSION OF TEMPORARY RESTRAINING ORDER signed by the Honorable John F. Kness on 1/26/2021. Mailed notice |
01/26/2021 | MINUTE entry before the Honorable John F. Kness: Plaintiff's Motion to extend the temporary restraining order 35 is granted. Enter order. Mailed notice |
01/22/2021 | BOND in the amount of $ 10,000 posted by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California |
01/22/2021 | BOND in the amount of $ 10,000 posted by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California, receipt #4624251671 |
01/22/2021 | NOTICE by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California re MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for extension of time 35 |
01/22/2021 | MEMORANDUM by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California in support of extension of time, 35 附件: 1:Declaration of Justin R. Gaudio |
01/22/2021 | MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for extension of time of Temporary Restraining Order |
01/13/2021 | SEALED TEMPORARY RESTRAINING ORDER Signed by the Honorable John F. Kness on 1/13/2021. |
01/13/2021 | MINUTE entry before the Honorable John F. Kness: Plaintiff's motion for leave to file under seal 3, ex parte motion for a temporary restraining order 9, and motion for electronic service of process 22 are granted. Plaintiff's submissions establish that, were Defendants to learn of these proceedings before the execution of Plaintiff's requested preliminary injunctive relief, there is a significant risk that Defendants could destroy relevant documentary evidence and hide or transfer assets beyond the reach of the Court. Accordingly, subject to unsealing at an appropriate time, Plaintiff may for now file under seal the documents identified in the motion to seal and appearing at docket entries 2 and [13-15]. The Temporary Restraining Order being entered along with this minute order shall also be placed under seal. In addition, for the purpose of the motions cited above, Plaintiff's filings support proceeding (for the time being) on an ex parte basis. Specifically, and as noted above, were defendants to be informed of this proceeding before a TRO could issue, it is likely assets and websites would be redirected, thus defeating Plaintiff's interests in identifying defendants, stopping Defendants' infringing conduct, and obtaining an accounting. In addition, the evidence submitted by Plaintiff shows a likelihood of success on the merits (including evidence of active infringement and sales into Illinois), that the harm to plaintiff is irreparable, and that an injunction is in the public interest. An injunction serves the public interest because of the consumer confusion caused by counterfeit goods, and there is no countervailing harm to defendants from an order directing them to stop infringement. Electronic service of process does not violate any treaty and is consistent with due process because it effectively communicates the pendency of this action to Defendants. As other judges in this District have noted, there may be reason to question both the propriety of the joinder of all Defendants in this one action and whether plaintiff will pursue an accounting (which Plaintiff asserts as justification for an asset freeze), but at this preliminary stage, the court is persuaded that Plaintiff has provided sufficient evidence of coordinated activity and the prospect of an accounting to justify the requested relief as to all Defendants. A transfer of domain names is appropriate to prevent infringing conduct. Expedited discovery is warranted to identify defendants and to implement the asset freeze. If any defendant appears and objects, the court will revisit the asset freeze and joinder. Enter Sealed Temporary Restraining Order. Mailed notice |
12/22/2020 | MAILED to plaintiff(s) counsel Lanham Mediation Program materials. |
12/22/2020 | MAILED Trademark report to Patent Trademark Office, Alexandria VA. |
12/21/2020 | Notice of Claims Involving Trademarks by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California |
12/21/2020 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by NHL Enterprises, L.P. |
12/21/2020 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by NFL Properties LLC |
12/21/2020 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by NBA Properties, Inc. |
12/21/2020 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by MLB Advanced Media, L.P. |
12/21/2020 | NOTICE by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California re MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of Californiafor Electronic Service[22], MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for leave to file u[3], MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California for temporary restrai[9] |
12/21/2020 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion, [23] 附件: 1:Exhibit 1 2:Exhibit 2 3:Exhibit 3 |
12/21/2020 | MEMORANDUM by Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California in support of motion for miscellaneous relief, [22] |
12/21/2020 | MOTION by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of Californiafor Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
12/21/2020 | DECLARATION of Cynthia Joyce Holmes regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 2:Exhibit 2 |
12/21/2020 | DECLARATION of Thomas H. Prochnow regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 2:Exhibit 2 |
12/21/2020 | DECLARATION of Dolores F. DiBella regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 2:Exhibit 2 |
12/21/2020 | DECLARATION of Ayala Deutsch regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 2:Exhibit 2 |
12/21/2020 | DECLARATION of Tanya Fickenscher Leonard regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 2:Exhibit 2 |
12/21/2020 | DECLARATION of Lindsay Victor regarding memorandum in support of motion, [10] 附件: 1:Exhibit 1 |
12/21/2020 | SEALED EXHIBIT by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California Exhibit 2 regarding declaration[12] |
12/21/2020 | SEALED EXHIBIT by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California Exhibit 1 - Parts 11-17 regarding declaration[12] |
12/21/2020 | SEALED EXHIBIT by Plaintiffs Collegiate Licensing Company, LLC, MLB Advanced Media, L.P., Major League Baseball Properties, Inc., NBA Properties, Inc., NFL Properties LLC, NHL Enterprises, L.P., The Regents of the University of California Exhibit 1 - Parts 1-10 regarding declaration[12] |
12/21/2020 | DECLARATION of Lindsay Conn regarding memorandum in support of motion, [10] |
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