2021-cv-04861 - 案件详情 - 61TRO案件查询网站

最近更新:2024-12-25
更新

2021-cv-04861

Christian Dior Couture, S.A. v. The Partnerships and Unincorporated Associations Identified on Schedule "A"

日期 - 61TRO案件查询网站 日期:09/14/2021

法院 - 61TRO案件查询网站 法院:伊利诺伊州北区法院

品牌 - 61TRO案件查询网站 品牌:Dior 迪奥

律所 - 61TRO案件查询网站 律所:GBC

日期 描述
08/10/2023 FULL SATISFACTION of Judgment regarding order[45] in the amount of $100,000 as to certain defendants
12/02/2022 FULL SATISFACTION of Judgment regarding order[45] in the amount of $100,000 as to certain defendant
11/18/2022 FULL SATISFACTION of Judgment regarding order[45] in the amount of $100,000 as to certain defendants
09/30/2022 FULL SATISFACTION of Judgment regarding order[45] in the amount of $100,000 as to certain defendant
02/15/2022 RETURN of U.S. Post Office Receipt, article no. 7019 2280 0000 0963 1859.
02/01/2022 MAILED Original ten-thousand dollar ($10.000) surety bond to Justin R. Gaudio of Greer Burns & Crain Ltd., 300 South Wacker Drive, Suite 2500, Chicago, IL 60606 via certified mail 7019 2280 0000 0963 1859
01/31/2022 MINUTE entry before the Honorable John F. Kness: The ten-thousand-dollar ($10,000) surety bond posted by Christian Dior Couture, S.A. is hereby released to to Christian Dior Couture, S.A. or its counsel, Greer, Burns & Crain, Ltd. The Clerk of the Court is directed to return the surety bond previously deposited with the Clerk of the Court to Justin R. Gaudio of Greer Burns & Crain Ltd., 300 South Wacker Drive, Suite 2500, Chicago, IL 60606 via certified mail. Mailed notice
01/31/2022 FINAL JUDGMENT ORDER signed by the Honorable John F. Kness on 1/31/2022. Mailed notice
01/31/2022 ORDER signed by the Honorable John F. Kness on 1/31/2022. Civil case terminated. Mailed notice
01/10/2022 CERTIFICATE of Service by Plaintiff Christian Dior Couture, S.A. per 42
01/10/2022 MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion 39 for entry of default and default judgment against all Defendants. All remaining defendants have failed either to plead or to otherwise 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 1/18/2022. 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 and must file proof of service within three business of service being effected. Mailed notice
01/05/2022 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 40
附件:
1:Exhibit 1
01/05/2022 MEMORANDUM by Christian Dior Couture, S.A. in support of motion for entry of default, motion for default judgment 39
附件:
1:Exhibit 1
01/05/2022 MOTION by Plaintiff Christian Dior Couture, S.A. for entry of default, MOTION by Plaintiff Christian Dior Couture, S.A. for default judgment as to all Defendants
12/30/2021 NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to certain defendant
12/17/2021 NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to certain defendants
12/15/2021 NEW PARTIES: 100% Authentic Store, 123wowo Store, 1541508847 Store, 1996 LY Store, 20SS Men Wardrobe Store, 2321WQE Store, 270chenhd Store, 5166 Store, 5847shopping Store, 77771222132 Store, 8613799483521 Store, 97 Si Store, Abcoo Store, AC72jj Store, ACRMRAC Official Store, adolescence Store, Aliexpress Gift Store, Amznmarket Store, ANBU Casual Shoe Store, Angels Luo 3 Store, Athosline Store, ATTL Store, Augst Store, AY A Store, azan Store, baichangda 2 Store, Baojiamei Store, Bgfule Store, BIGMOON Store, Binguo Store, Blueocean luggage Store, BO LUEN HUEN XIN 3 Store, Bo Xiang Suit Store, Bo yan.8 Store, bochbags Store, BOJT Store, BOLUNHENG XIN Store, BoozRay Store, Bostonton Store, BOXO Store, Brand-Online Store, Byleelai Bag Store, C&HX Official Store, CAGLGLZ Store, CAUSE JOYACE Official Store, Chacha Mori Store, China costume Factory Store, CLASSDIM Shop1879325 Store, Conella Store, dadou,gg Store, DanPoPo Store, D--FOUR Store, diankuo Store, Different parts Store, DOGNTNR YOGAMAT Store, Dolce-gabbana Store, Don's Bridal Co., Ltd. Store, Dor Dor Chanll Store, du cheng Store, DuoBeiDuo Store, Duomi ornaments Store, Exquisite man shop Store, extraordinary bag Store, Female's Bag Store, FJYHC Headwear Store, FSGZ Official Store, Girls Hair Bow Store, goodshops Store, Gummy Store, GUSSIE Store, Happiness babys Store, High end bags Store, High-end boutique Ruimei Store, High-end men's Store, HJH Trendy Store, HQHY Store, Huanasi Store, iccke Store, insane Store, Jewelry-World Store, JHANFT Store, jieerqi Store, JieYu Jewellry Store, JIO Store, JOY100 Store, JUJIA Jewellery Store, kecheng Store, Keep Doing Store, Kithchicbag Store, Leavis jeans Store, LeTong Store, LeyDun Jewellry Store, Li Cheng New Women Store, liao Store, LINDA VICKY Online Store, linlinf888 Store, llissy Store, Lorahh Store, loveeeeeeee Boutique Store, Luck Seasons Store, LuckyCircle Store, LULU Women Store, LULYONE Store, Lumei Store, Lutheran name bag Store, Lydia corner Store, Maria Show Store, Mayr Store, MengQi Headwear Store, Menswear and Womenswear Store, Merkel Sporting Goods Store, minzhu2021 Store, Moremate Store, Mssbag Store, MStacchi Princess Store, NHHDZSW Store, OG Waves Store, OMGD Store, Pinyifang Store, PROWOW Store, py327455 Store, QK Danny Store, RealBubee Store, Rebecca Sisters store, remai-868 Store, RenYvtil Factory Store, School Backpack Store, Sexy zone Store, shop12345111233 Store, Shop3652049 Store, Shop3756001 Store, Shop431246540Store Store, Shop4429041 Store, Shop4682081 Store, Shop5107065 Store, Shop5376277 Store, Shop5617141 Store, Shop5727223 Store, Shop5783899 Store, Shop900254445 Store, Shop910358076 Store, Shop910359235 Store, Shop910449192 Store, Shop910564103 Store, Shop910748083 Store, Shop911111021 Store, Shop911131308 Store, Shop911260302 Store, Shop911264144 Store, Shop911331163 Store, Shop911601015 Store, Shop911609278 Store, Shop911611454 Store, Shop911613048 Store, Shop911613265 Store, silk-road Store, SM dropshipping Store, Smilee Store, Song bo 2 Store, Spriboom jewellery Store, Sunset World Store, The secret of the bag Store, too - yoo Store, TopBrandBag Store, Trendy Headwear Store, Two cups of milk tea Store, UFOA Store, Unique shoe factory Store, VIISENANTIN Michah's Store, Vikee Store, Voguefavor Store, VogueXP Store, Walk on the road Store, Wasapp +86 18702031028 Store, weddingfavors Store, X0123 Store, xiangbao_ydkj Store, xiangfengqian 2 Store, XIAO XUE FZ Store, XiaoA Store, XIKUOshoes Store, Xingchen girl Store, Xinxing Bag Shop Store, XMGOLONG Store, xmmengxiang Store, XMsongxian Store, Xu Jiang Official Store, Yafoda Store, YANG Footwear Store, Yanhuang name package Store, YANNI Store, YEELOCA FOOTWEAR Store, Yi xing stylish men Store, YILINSA520 Store, ymnz Store, You hottest Store, YQLVFC Store, Z&N hair-accessories Store, Zava Store, ZDARLBO Official Store, ZJR Store, ZXQ Footwear Store, Fenyang Yitongwang Electronic Commerce Co., Ltd, HUANGJINLIANGDS, yiwushi fenzhan dianzishangwu youxiangongsi, aokley, buycheapsy, cdjewelry, factorystoreco, fashionbagsforsale, gucci99sunglasses, lbjames23, letter_jewelry, lookdhgates, mani222, supermarie, watchesfashions, yuansmos, Camburboni, gracebagshop, hlaqw_78, leolee.h, luxurystu.com, gzhluxury.com, mercuriabag.com, luxuryator.com, iconicsnob.com, pinkbeachbabe.com, luxupurse.com and topoppo.com added to case caption.
12/13/2021 PRELIMINARY INJUNCTION ORDER signed by the Honorable John F. Kness on 12/13/2021. Mailed notice
12/13/2021 MINUTE entry before the Honorable John F. Kness: Plaintiff's motion for a preliminary injunction [29] is granted. Plaintiff's filings establish that Plaintiff 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 [31] 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, despite the Court having provided [32] the opportunity to do so, no Defendant has objected to the motion for a preliminary injunction. Plaintiff's counsel is directed to ensure that all defendants listed on Schedule A are added to the docket within five business days. The Clerk is requested to unseal any previously-sealed documents. Mailed notice
12/10/2021 NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to certain defendants
11/19/2021 CERTIFICATE of Service by Plaintiff Christian Dior Couture, S.A. per Order 32
附件:
1:Exhibit 1
11/19/2021 MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion 29 for entry of a preliminary injunction. In connection with that motion, which is entered and continued, Plaintiff must serve all Defendants with the following statement: "The Court has taken the motion for a preliminary injunction under advisement and will consider the motion unopposed if no Defendant appears and objects on or before 11/26/2021." Plaintiff must file proof of service of the Court's statement within two business days of service. For the reasons stated in the Court's orders entering and extending the TRO, as well as in Plaintiff's earlier argument 26 to extend the TRO, the TRO is further extended to and including the date on which the Court adjudicates the motion for a preliminary injunction. See H-D Mich., LLC v. Hellenic Duty Free Shops S.A., 694 F.3d 827, 843-45 (7th Cir. 2012). Because this extension exceeds the maximum duration for a TRO under FRCP 65(b), this extension "becomes in effect a preliminary injunction that is appealable, but the order remains effective." Id. at 844. Mailed notice
11/15/2021 SUMMONS Returned Executed by Christian Dior Couture, S.A. as to The Partnerships and Unincorporated Associations Identified on Schedule "A" on 11/15/2021, answer due 12/6/2021.
附件:
1:Declaration of Abby M. Neu
11/15/2021 MEMORANDUM by Christian Dior Couture, S.A. in support of motion for preliminary injunction 29
附件:
1:Declaration of Justin R. Gaudio
2:Exhibit 1
11/15/2021 MOTION by Plaintiff Christian Dior Couture, S.A. for preliminary injunction
11/04/2021 SUMMONS Issued as to Defendant The Partnerships and Unincorporated Associations Identified on Schedule "A"
11/03/2021 ORDER EXTENSION OF TEMPORARY RESTRAINING ORDER signed by the Honorable John F. Kness on 11/3/2021. Mailed notice
11/03/2021 MINUTE entry before the Honorable John F. Kness: Plaintiff's Motion for extension of time of temporary restraining order [25] is granted. Enter separate order. Mailed notice
11/01/2021 MEMORANDUM by Christian Dior Couture, S.A. in support of extension of time[25]
附件:
1:Declaration of Justin R. Gaudio
11/01/2021 MOTION by Plaintiff Christian Dior Couture, S.A. for extension of time of Temporary Restraining Order
10/27/2021 SURETY BOND in the amount of $ 10,000.00 posted by Christian Dior Couture, S.A.(Document not scanned).
10/21/2021 SEALED TEMPORARY RESTRAINING ORDER: Signed by the Honorable John F. Kness on 10/21/2021.
10/21/2021 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 and other relief 9, and motion for electronic service of process 16 are granted in part. Plaintiff's submissions (including the Declarations of Nicolas Lambert 12 and Justin R. Gaudio 11) 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, 13, and 14. 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 under FRCP 65(b)(1). 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 equitable accounting. In addition, the Court finds, at least for now on this limited and one-sided record and without prejudice to revisiting the issue, that it has personal jurisdiction over the Defendants because they directly target their business activities toward consumers in the United States, including Illinois. Specifically, Defendants have targeted sales to Illinois residents by setting up and operating e-commerce stores that target United States consumers using one or more Seller Aliases, offer shipping to the United States, including Illinois, accept payment in U.S. dollars, and have sold products using infringing and counterfeit versions of Plaintiff's trademarks to residents of Illinois. The evidence presented to the Court also shows that Plaintiff has demonstrated 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 this Court and others 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 reconsider the asset freeze and joinder. Enter Sealed Temporary Restraining Order. Mailed notice
09/15/2021 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Christian Dior Couture, S.A.
09/15/2021 Notice of Claims Involving Trademarks by Christian Dior Couture, S.A.
09/15/2021 MAILED to plaintiff(s) counsel Lanham Mediation Program materials.
09/15/2021 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 17
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
09/15/2021 MEMORANDUM by Christian Dior Couture, S.A. in support of motion for miscellaneous relief 16
09/15/2021 MOTION by Plaintiff Christian Dior Couture, S.A.for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
09/15/2021 MAILED Trademark report to Patent Trademark Office, Alexandria VA.
09/15/2021 SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Exhibit 6 regarding declaration 12
09/15/2021 SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Exhibit 5 - Parts 1 - 7 regarding declaration 12
附件:
1:Exhibit 5-1
2:Exhibit 5-2
3:Exhibit 5-3
4:Exhibit 5-4
5:Exhibit 5-5
6:Exhibit 5-6
7:Exhibit 5-7
09/15/2021 DECLARATION of Nicolas Lambert regarding memorandum in support of motion 10
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
09/15/2021 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 10
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
09/15/2021 MEMORANDUM by Christian Dior Couture, S.A. in support of motion for temporary restraining order 9
09/15/2021 MOTION by Plaintiff Christian Dior Couture, S.A. for temporary restraining order including a Temporary Injunction, a Temporary Transfer of the Defendant Domain Names, a Temporary Asset Restraint, and Expedited Discovery
09/14/2021 CASE ASSIGNED to the Honorable John F. Kness. Designated as Magistrate Judge the Honorable Sheila M. Finnegan. Case assignment: Random assignment.
09/14/2021 ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Abby Marie Neu
09/14/2021 ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Allyson M. Martin
09/14/2021 ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Amy Crout Ziegler
09/14/2021 ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Justin R. Gaudio
09/14/2021 CIVIL Cover Sheet
09/14/2021 MOTION by Plaintiff Christian Dior Couture, S.A. for leave to file under seal
09/14/2021 SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Schedule A regarding complaint[1]
09/14/2021 COMPLAINT filed by Christian Dior Couture, S.A.; Filing fee $ 402, receipt number 0752-18664774.
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
5:Exhibit 5

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