最近更新:2024-12-25
更新

2023-cv-00415

Kaws, Inc. v. The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified On Schedule A to the Complaint

日期:02/16/2023

法院:纽约州南区法院

品牌:

律所:

日期 描述
06/04/2024 NOTICE of Satisfaction of Judgment of Defendant No. 171. Document filed by KAWS, INC.
09/19/2023 MEMO ENDORSEMENT granting 92 Motion to Withdraw as Attorney. ENDORSEMENT: Plaintiff's motion to withdraw Shannon Prince as counsel is granted. The Clerk of Court is respectfully directed to terminate Shannon Prince as counsel in this matter and to close Docket Number 92. SO ORDERED. Attorney Shannon Joyce Prince terminated. (Signed by Judge John P. Cronan on 9/19/2023)
09/18/2023 MOTION for Shannon J. Prince to Withdraw as Attorney for KAWS Inc. Document filed by KAWS, INC.
附件:
1:Affidavit In Support of Motion for Withdrawal of Attorney of Record
2:Proposed Order For Withdrawal of Attorney of Record.
09/05/2023 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a CONFERENCE proceeding held on 8/1/2023 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days.
09/05/2023 TRANSCRIPT of Proceedings re: CONFERENCE held on 8/1/2023 before Judge John P. Cronan. Court Reporter/Transcriber: Martha Martin, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 9/26/2023. Redacted Transcript Deadline set for 10/6/2023. Release of Transcript Restriction set for 12/4/2023.
08/17/2023 NOTICE OF APPEARANCE by Christopher Tom on behalf of KAWS, INC.
08/09/2023 CERTIFICATE OF SERVICE of Default Judgment served on Defaulting Defendants as Identified in the 4th Amended Schedule A on August 9, 2023. Service was made by EMAIL. Document filed by KAWS, INC.
08/08/2023 ORDER In accordance with the Court's order granting Plaintiff's motion for default judgment as to the remaining defendants and issuing a permanent injunction, see Dkt. 86, the Clerk of Court is respectfully directed to enter judgment in favor of Plaintiff against the Defendants named in the Fourth Amended Schedule A to the Complaint, see id. at 14-26, in the amount of $150,000 per Defendant, and to close this case. SO ORDERED. (Signed by Judge John P. Cronan on 8/8/2023) (jca) Transmission to Orders and Judgments Clerk for processing.
08/07/2023 DEFAULT JUDGMENT IT IS HEREBY ORDERED that Plaintiff's Motion for Entry of Default and Default Judgment is GRANTED in its entirety, that the Defaulting Defendants are deemed in default and that this Default Judgment is entered against the Defaulting Defendants. Pursuant to 15 U.S.C. � 1117 and 17 U.S.C. � 504, Plaintiff is awarded statutory damages from each of the Defaulting Defendants in the amount of one hundred fifty thousand dollars ($150,000.00). In the event that Plaintiff identifies any additional online marketplace accounts, domain names, or financial accounts owned by Defaulting Defendants, Plaintiff may send notice of any supplemental proceeding to the Defaulting Defendants by email at the email addresses identified by Plaintiff and any email addresses provided for the Defaulting Defendants by third parties. Plaintiff may serve this Order on Third Party Providers, including Amazon, DHgate, Etsy, RedBubble, Walmart, Wish, PayPal, Payoneer, PingPong, Coinbase, LianLian, AIIPay, Union Mobile, Bank of China, Hyperwallet, JD, Joom, Lakala, OFX, Paxful, PayEco, SellersFunding, Shopify, Stripe, Wise/TransferWise, and/or World First, by e-mail delivery to the e-mail addresses Plaintiff used to serve the Temporary Restraining Order on Third Party Providers. (And as further set forth herein.) (Signed by Judge John P. Cronan on 8/7/2023)
08/03/2023 NOTICE OF APPEARANCE by Brittany Celia Zoll on behalf of KAWS, INC.
08/03/2023 NOTICE of filing Proposed Default Judgment Order re: 67 MOTION for Entry of Default as to the Defendants identified on the Third Amended Schedule A MOTION for Entry of Default and Default Judgment. Document filed by KAWS, INC.
附件:
1:(Proposed Order granting Plaintiff's Motion for Entry of Default and Default Judgment)
08/01/2023 Minute Entry for proceedings held before Judge John P. Cronan: Default Judgment Hearing held on August 1, 2023. For the reasons discussed on the record, Plaintiffs motion for default judgment is granted. The Court will enter a separate order of default judgment and preliminary injunction. (Court reporter Martha Martin).
08/01/2023 ORDER Accordingly, at the default judgment hearing scheduled for today at 4:00 p.m., Plaintiff should be prepared to address whether it is moving for default judgment against Defendant JinYongh, who, as of now, is still a party to this action. If not, Plaintiff shall promptly file a notice of voluntary dismissal as to its claims against Defendant JinYongh. SO ORDERED. (Signed by Judge John P. Cronan on 8/1/2023)
07/20/2023 CERTIFICATE OF SERVICE of the Court's Order granting Plaintiff's Motion for Withdrawal of Christopher Tom as an attorney of record ECF 81 served on Defaulting Defendants as identified in the Third Amended Schedule A on July 20, 2023. Service was made by Email. Document filed by KAWS, INC.
07/13/2023 MEMO ENDORSEMENT granting 80 MOTION for Christopher Tom to Withdraw as Attorney. ENDORSEMENT The request for Christopher Tom to withdraw as attorney is granted. Plaintiff will continue to be represented by Shannon Joyce Prince of Boies Schiller Flexner. The Clerk of Court is respectfully directed to terminate Christopher Tom as an attorney in this matter and to close Docket Number 80. Should Plaintiff's new attorney wish to make any supplemental submission in support of the pending motion for default judgment, Dkt. 67, she may do so by July 20, 2023. In the event that Plaintiff submits supplemental motion papers, Defaulting Defendants may file a supplemental opposition by July 27, 2023. The Default Judgment Hearing will proceed as scheduled on August 1, 2023, at 4:00 p.m. in Courtroom 12D of the Daniel Patrick Moynihan United States Courthouse, 500 Pearl Street, New York, New York 10007. Plaintiff's new counsel shall serve Defaulting Defendants with a copy of this Order via the method of service outlined in the Preliminary Injunction and file proof of such service by July 20, 2023. SO ORDERED. Attorney Christopher Tom terminated (Signed by Judge John P. Cronan on 7/13/2023)
07/12/2023 MOTION for Christopher Tom to Withdraw as Attorney. Document filed by KAWS, INC.
附件:
1:Affidavit in support of Motion for Withdrawal of Attorney of Record
2:Text of Proposed Order for Withdrawal of Attorney of Record
07/10/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANT TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendant listed on Schedule A to the Complaint without prejudice: wenchangruanbanchenkejiyou xiangongsi (172) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendant pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendant listed above as parties in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 7/10/2023)
07/10/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANT TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendant listed on Schedule A to the Complaint without prejudice: jogasartsy (143). In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendant pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendant listed above as parties in this matter. SO ORDERED. jogasartsy (143) terminated. (Signed by Judge John P. Cronan on 7/10/2023)
07/10/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [77] Notice of Voluntary Dismissal was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
07/10/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [76] Notice of Voluntary Dismissal was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
07/07/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) jogasartsy (143). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
07/07/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) wenchangruanbanchenkejiyou xiangongsi (172). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
07/03/2023 NOTICE OF APPEARANCE by Shannon Joyce Prince on behalf of KAWS, INC.
06/29/2023 MEMO ENDORSEMENT granting 73 MOTION for Nathan Daniel Monroe-Yavneh to Withdraw as Attorney of Record. ENDORSEMENT It is hereby ORDERED that Nathan Daniel Monroe-Yavneh's request to withdraw as counsel is GRANTED. Christopher Tom from Thoits Law will remain as counsel for Plaintiff. The Clerk of Court is respectfully directed to terminate Nathan Daniel Monroe-Yavneh as counsel in this matter. SO ORDERED. Attorney Nathan Daniel Monroe-Yavneh terminated. (Signed by Judge John P. Cronan on 6/29/2023)
06/28/2023 MOTION for Nathan Daniel Monroe-Yavneh to Withdraw as Attorney of Record. Document filed by KAWS, INC.
附件:
1:Affidavit Affidavit in support of Motion for Withdrawal of Attorney of Record (N
2:Text of Proposed Order Proposed Order for Withdrawal of Attorney of Record (Nath
06/21/2023 MEMO ENDORSEMENT granting 71 Motion to Withdraw as Attorney. ENDORSEMENT: It is hereby ORDERED that Anna Iskikian's request to withdraw as counsel is GRANTED. Christopher Tom and Nathan Daniel Monroe-Yavneh from Thoits Law will remain as counsel for Plaintiff. The Clerk of Court is respectfully directed to terminate Anna Iskikian as counsel in this matter. SO ORDERED. Attorney Anna Iskikian terminated. (Signed by Judge John P. Cronan on 6/21/2023)
06/20/2023 MOTION for Anna Iskikian to Withdraw as Attorney. Document filed by KAWS, INC.
附件:
1:Affidavit Affidavit in support of Motion for Withdrawal of Attorney of Record (A
2:Text of Proposed Order Proposed Order for Withdrawal of Attorney of Record (Anna
06/15/2023 AFFIDAVIT OF SERVICE of Plaintiffs Motion for Entry of Default (the Motion) at Dkt No. 67 and copies of Plaintiffs papers in support of a default judgment at Dkt. Nos. 68-69, and including a link to a website where the Order can be downloaded served on Defaulting Defendants as identified in the Third Amended Schedule A on June 15, 2023. Service was made by E-Mail. Document filed by KAWS, INC.
06/13/2023 DECLARATION of Anna Iskikian in Support re: 67 MOTION for Entry of Default as to the Defendants identified on the Third Amended Schedule A MOTION for Entry of Default and Default Judgment. Document filed by KAWS, INC.
附件:
1:Exhibit Third Amended Schedule A
2:Exhibit Complaint
3:Exhibit Temporary Restraining Order
4:Exhibit Order Extending TRO
5:Exhibit Preliminary Injunction Order
6:Exhibit Summons Returned Executed
7:Exhibit Service Emails
8:Exhibit Case Website
9:Exhibit Declaration of H.H. re service in China-Amazon-H.H. Executed
10:(Exhibit Clerk's Certificate of Default)
06/13/2023 MEMORANDUM OF LAW in Support re: 67 MOTION for Entry of Default as to the Defendants identified on the Third Amended Schedule A MOTION for Entry of Default and Default Judgment. Document filed by KAWS, INC.
06/13/2023 MOTION for Entry of Default as to the Defendants identified on the Third Amended Schedule A MOTION for Entry of Default and Default Judgment. Document filed by KAWS, INC.
06/06/2023 CERTIFICATE OF SERVICE of Courts Order Regarding Default Judgment served on Defaulting Defendants as identified in the Second Amended Schedule A on June 6, 2023. Service was made by E-Mail. Document filed by KAWS, INC.
05/30/2023 ORDER Accordingly, it is hereby ORDERED that no later than June 13, 2023, Plaintiff shall move for default judgment as to the Defaulting Defendant, in accordance with Local Civil Rule 55.2 and 3.D of the Court's Individual Rules and Practices for Civil Cases, or show cause why this case should not be dismissed for failure to prosecute. The Defaulting Defendants shall file any opposition to the motion for default judgment no later than July 3, 2023. Plaintiff shall file any reply no later than July 10, 2023. It is further ORDERED that the Defaulting Defendants appear and show cause at a hearing before this Court on August 1, 2023, at 4:00 p.m. in Courtroom 12D of the Daniel Patrick Moynihan United States Courthouse, 500 Pearl Street, New York, New York 10007, why an order should not be issued granting a default judgment against Defaulting Defendants. It is further ORDERED that Plaintiff serve the Defaulting Defendant via the method of service outlined in the Preliminary Injunction and file proof of such service within one week of this Order. SO ORDERED. (Show Cause Hearing set for 8/1/2023 at 04:00 PM in Courtroom 12D, 500 Pearl Street, New York, NY 10007 before Judge John P. Cronan.), (Motions due by 6/13/2023., Replies due by 7/10/2023., Responses due by 7/3/2023) (Signed by Judge John P. Cronan on 5/30/2023)
05/26/2023 CLERK'S CERTIFICATE OF DEFAULT as to the parties listed on the Second Amended Schedule A hereto.
05/26/2023 DECLARATION of Anna Iskikian in Support re: 62 Proposed Clerk's Certificate of Default. Document filed by KAWS, INC.
附件:
1:Exhibit Ex. 1 - Second Amended Schedule A
2:Exhibit Schedule A to Complaint
3:Exhibit Executed Summons
4:(Exhibit Proposed Certificate of Default)
05/26/2023 PROPOSED CLERK'S CERTIFICATE OF DEFAULT. Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
05/23/2023 MEMO ENDORSEMENT on re: [60] Letter filed by, KAWS, INC. ENDORSEMENT Plaintiff shall seek a Clerk's Certificate of Default as to the remaining Defendants by May 26, 2023. Once the Certificate of Default issues, the Court will set a briefing schedule and a hearing for Plaintiff's anticipated motion for default judgment. SO ORDERED. (Signed by Judge John P. Cronan on 5/23/2023)
05/22/2023 LETTER addressed to Judge John P. Cronan from Anna Iskikian dated May 22, 2023 re: Status. Document filed by KAWS, INC.
05/18/2023 ***NOTICE TO ATTORNEY REGARDING DEFICIENT VOLUNTARY DISMISSAL. Notice to Attorney Anna Iskikian. RE-FILE Document No. 58 Notice of Voluntary Dismissal. The filing is deficient for the following reason(s): Defendants CaiYiTuoWuJinShangXing US and qianyunfeikeji need to be added to the case as a party. Once they are added, refile the dismissal. Re-file the document using the event type Notice of Voluntary Dismissal found under the event list Notices - select the correct filer/filers - select the correct party/parties the voluntary dismissal is against - and attach the correct signed PDF.
05/18/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: CaiYiTuoWuJinShangXing US (120), qianyunfeikeji (161), RuiChangLinRongEnWenJu US (165) and suzhouzunxiangxinxikejiyouxiangongsi (169) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 5/16/2023)
05/18/2023 ***NOTICE TO ATTORNEY REGARDING DEFICIENT VOLUNTARY DISMISSAL. Notice to Attorney Anna Iskikian. RE-FILE Document No. [58] Notice of Voluntary Dismissal. The filing is deficient for the following reason(s): Defendants CaiYiTuoWuJinShangXing US and qianyunfeikeji need to be added to the case as a party. Once they are added, refile the dismissal. Re-file the document using the event type Notice of Voluntary Dismissal found under the event list Notices - select the correct filer/filers - select the correct party/parties the voluntary dismissal is against - and attach the correct signed PDF.
05/17/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) suzhouzunxiangxinxikejiyouxiangongsi (169), CaiYiTuoWuJinShangXing US (120), qianyunfeikeji (161), RuiChangLinRongEnWenJu US (165). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
05/17/2023 ***NOTICE TO ATTORNEY REGARDING DEFICIENT VOLUNTARY DISMISSAL. Notice to Attorney Anna Iskikian. RE-FILE Document No. [57] Notice of Voluntary Dismissal. The filing is deficient for the following reason(s): The parties that are being dismissed need to be added to the docket. Once you have added the parties to the docket, refile the dismissal. Re-file the document using the event type Notice of Voluntary Dismissal found under the event list Notices - select the correct filer/filers - select the correct party/parties the voluntary dismissal is against - and attach the correct signed PDF.
05/16/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) CaiYiTuoWuJinShangXing US (120), qianyunfeikeji (161), RuiChangLinRongEnWenJu US (165), suzhouzunxiangxinxikejiyouxiangongsi (169). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
05/16/2023 ***NOTICE TO ATTORNEY REGARDING DEFICIENT VOLUNTARY DISMISSAL. Notice to Attorney Anna Iskikian. RE-FILE Document No. [56] Notice of Voluntary Dismissal. The filing is deficient for the following reason(s): The defendants that are being dismissed need to be added to the docket first. Re-file the document using the event type Notice of Voluntary Dismissal found under the event list Notices - select the correct filer/filers - select the correct party/parties the voluntary dismissal is against - and attach the correct signed PDF.
05/15/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, without prejudice against the defendant(s) CaiYiTuoWuJinShangXing US (120), qianyunfeikeji (161), RuiChangLinRongEnWenJu US (165), suzhouzunxiangxinxikejiyouxiangongsi (169). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
04/20/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. 54 Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
04/20/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: aixiaowei (111), Fly with seconds T-12-22day (131) and Miaofei-xx-toy (154) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 4/20/2023)
04/20/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [54] Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
04/19/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) aixiaowei (111), Fly with seconds T-12-22day (131), Miaofei-xx-toy (154). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
03/28/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. 52 Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
03/28/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: As further set forth by this Order. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED. therainbowalley (298), QJ Ecology (162) and baiqijing (115) terminated. (Signed by Judge John P. Cronan on 3/28/2023)
03/28/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [52] Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
03/27/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) baiqijing (115), QJ Ecology (162), therainbowalley (298). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
03/13/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. 49 Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
03/13/2023 SUMMONS RETURNED EXECUTED. The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified on Schedule A to the Complaint served on 3/7/2023, answer due 3/28/2023. Document filed by KAWS, INC.
03/13/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendant listed on Schedule A to the Complaint without prejudice: fanshancong (129) terminated. In light of Plaintiffs notice of dismissal, this action is dismissed as to Defendant fanshancong pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate tfanshancong as a party in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 3/13/2023)
03/13/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [49] Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
03/10/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) fanshancong (129). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
03/07/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: BAXXYO (117), Byulisa (303), DigitalXclusive (304), Ermintrudew (305), Mbiizo (306), OKKKK Store (60), Once again met Store (61), Pikachu funny toy Store (62), SHELL FISH Official Store (64), Sex Toys Surprise Store (63), Shenzhen Electronics Manufacturers Direct Sales Store (65), Shop1100014103 Store (66), Shop1100038036 Store (67), Shop1100144106 Store (68), Shop1100176324 Store (69), Shop1100369347 Store (70), Shop1100385416 Store (71), Shop1100385427 Store (72), Shop1102127298 Store (73), Shop1102209835 Store (74), Shop1102211824 Store (75), Shop1102212829 Store (76), Shop1102213786 Store (77), Shop1102215757 Store (78), Shop1102245718 Store (79), Shop1102245720 Store (80), Shop1102245861 Store (81), Shop1102247529 Store (82), Shop1102248707 Store (83), Shop1102248958 Store (84), Shop1102251668 Store (85), Shop1102252959 Store (86), Shop1102253693 Store (87), Shop1102253695 Store (88), Shop1102306606 Store (89), Shop1102375237 Store (90), Shop1102377548 Store (91), Shop1102408433 Store (92), Shop1102484137 Store (93), Shop111888168 Store (94), Shop2834085 Store (95), Shop910722004 Store (96), Shop911262098 Store (97), Space Management Store (98), Steven 's shop Store (99), Toy Toy Store (100), Trendy Anime Figure Store (101), Two Two Four Store (103), U-like pro Store (104), WO CAO BU AI 438 Store (106), Whimsical shop Store (105), Woods' Daily Necessities Store (107), Xiao Ba Toys Store (108), Yuanyuan life Museum Store (109), allforcases (110), caojintaodebeimeidianpu (121), ouzounisdemgcs (307), trendy toy store Store (102), zhangyanhaide (180), ARTLANDTOKYO (183) and ARTYTOKYO (184) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 3/7/2023)
03/07/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: B2C 3C Digital Store (22), BONJOUR FRIEND Store (25), Bear Brick Store (23), Beautiful Art Gallery Store (24), C-Three-PhoneCase Store (27), CUITU01 Store (28), CuteHotFashion Store (29), DQ Energy Saving Technology (Shenzhen) Co., Ltd. (1), Deecici School bags Store (30), Defendant No. 37, Disney Genuine Grocery Store (31), Enping Charming Sign Processing Factory (2), Erdong5 Store (32), Fairykaari Store (33), Gansu Coolmanda Trading Company Ltd. (3), Guangzhou Qianna Trading Co., Ltd. (4), HHY Oil Painting Studio Store (38), Homie's Toy Store (39), JRLHXJ Store (40), Jieyang Jiedong District Yunlu Town Nake Electronic Products Firm (5), Jyhan Store (41), KAYOU CARD FUN Store (42), KG-Electronics Store (44), KG-Electronics999 Store (45), KSK Phone Cases Store (46), Keep Goving Store (43), LK00117 Store (47), LLM Resin Accessories Store (48), LQVLE Flagship Store (51), LXH toy 2 Store (52), Leshan Impression Advertising Co., Ltd. (6), Licheng District Lizhong Zhang Mingcheng Shoe And Clothing Business Department (7), Los los Store (49), Love Fashion Store (50), MJJ boutique Store (54), MMTIETIE Store (55), Miniatures Store (53), Mobile phone accessories store Store (56), Ningxia Runyuankun Health Management Co., Ltd. (8), OK ba Store (59), OilPaintingInChina Store (58), Quanzhou Baishe Trading Co., Ltd. (9), Quanzhou Guanghe Mingliang Trading Co., Ltd. (10), Quanzhou Longkun Arts And Crafts Co., Ltd. (11), Quanzhou Zhongtuo Water Ball Crafts Co., Ltd. (12), Shenzhen Ashton Trading Co., Ltd. (13), Shenzhen Shenman Technology Co., Ltd. (14), Shenzhen Tianlang Advertising Media Co., Ltd. (15), Shenzhen Zhongshiqi Technology Co., Ltd. (16), Xiamen Xiehe Electronic Commerce Co., Ltd. (17), Yiwu Licheng Trading Co., Ltd. (18), Zhongshan Casa Electronics Co., Ltd. (19), briskaari briskaari Store (26), guanchi 4 Store (34), guanchi interior decoration Store (35), guanchi3 Store (36), mouse mouse pad Store (57), 69CD Store (20) and Anime character model shop Store (21) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED (Signed by Judge John P. Cronan on 3/7/2023)
03/06/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) OKKKK Store (60), Once again met Store (61), Pikachu funny toy Store (62), Sex Toys Surprise Store (63), SHELL FISH Official Store (64), Shenzhen Electronics Manufacturers Direct Sales Store (65), Shop1100014103 Store (66), Shop1100038036 Store (67), Shop1100144106 Store (68), Shop1100176324 Store (69), Shop1100369347 Store (70), Shop1100385416 Store (71), Shop1100385427 Store (72), Shop1102127298 Store (73), Shop1102209835 Store (74), Shop1102211824 Store (75), Shop1102212829 Store (76), Shop1102213786 Store (77), Shop1102215757 Store (78), Shop1102245718 Store (79), Shop1102245720 Store (80), Shop1102245861 Store (81), Shop1102247529 Store (82), Shop1102248707 Store (83), Shop1102248958 Store (84), Shop1102251668 Store (85), Shop1102252959 Store (86), Shop1102253693 Store (87), Shop1102253695 Store (88), Shop1102306606 Store (89), Shop1102375237 Store (90), Shop1102377548 Store (91), Shop1102408433 Store (92), Shop1102484137 Store (93), Shop111888168 Store (94), Shop2834085 Store (95), Shop910722004 Store (96), Shop911262098 Store (97), Space Management Store (98), Steven 's shop Store (99), Toy Toy Store (100), Trendy Anime Figure Store (101), trendy toy store Store (102), Two Two Four Store (103), U-like pro Store (104), Whimsical shop Store (105), WO CAO BU AI 438 Store (106), Woods' Daily Necessities Store (107), Xiao Ba Toys Store (108), Yuanyuan life Museum Store (109), allforcases (110), BAXXYO (117), caojintaodebeimeidianpu (121), zhangyanhaide (180), ARTLANDTOKYO (183), ARTYTOKYO (184), Byulisa (303), DigitalXclusive (304), Ermintrudew (305), Mbiizo (306), ouzounisdemgcs (307). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
03/06/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) DQ Energy Saving Technology (Shenzhen) Co., Ltd. (1), Enping Charming Sign Processing Factory (2), Gansu Coolmanda Trading Company Ltd. (3), Guangzhou Qianna Trading Co., Ltd. (4), Jieyang Jiedong District Yunlu Town Nake Electronic Products Firm (5), Leshan Impression Advertising Co., Ltd. (6), Licheng District Lizhong Zhang Mingcheng Shoe And Clothing Business Department (7), Ningxia Runyuankun Health Management Co., Ltd. (8), Quanzhou Baishe Trading Co., Ltd. (9), Quanzhou Guanghe Mingliang Trading Co., Ltd. (10), Quanzhou Longkun Arts And Crafts Co., Ltd. (11), Quanzhou Zhongtuo Water Ball Crafts Co., Ltd. (12), Shenzhen Ashton Trading Co., Ltd. (13), Shenzhen Shenman Technology Co., Ltd. (14), Shenzhen Tianlang Advertising Media Co., Ltd. (15), Shenzhen Zhongshiqi Technology Co., Ltd. (16), Xiamen Xiehe Electronic Commerce Co., Ltd. (17), Yiwu Licheng Trading Co., Ltd. (18), Zhongshan Casa Electronics Co., Ltd. (19), 69CD Store (20), Anime character model shop Store (21), B2C 3C Digital Store (22), Bear Brick Store (23), Beautiful Art Gallery Store (24), BONJOUR FRIEND Store (25), briskaari briskaari Store (26), C-Three-PhoneCase Store (27), CUITU01 Store (28), CuteHotFashion Store (29), Deecici School bags Store (30), Disney Genuine Grocery Store (31), Erdong5 Store (32), Fairykaari Store (33), guanchi 4 Store (34), guanchi interior decoration Store (35), guanchi3 Store (36), Defendant No. 37, HHY Oil Painting Studio Store (38), Homie's Toy Store (39), JRLHXJ Store (40), Jyhan Store (41), KAYOU CARD FUN Store (42), Keep Goving Store (43), KG-Electronics Store (44), KG-Electronics999 Store (45), KSK Phone Cases Store (46), LK00117 Store (47), LLM Resin Accessories Store (48), Los los Store (49), Love Fashion Store (50), LQVLE Flagship Store (51), LXH toy 2 Store (52), Miniatures Store (53), MJJ boutique Store (54), MMTIETIE Store (55), Mobile phone accessories store Store (56), mouse mouse pad Store (57), OilPaintingInChina Store (58), OK ba Store (59). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
02/23/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. 43 Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
02/23/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES: PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendant listed on Schedule A to the Complaint without prejudice: CANVASARTCOOL (261) terminated. In light of Plaintiffs notice of dismissal, this action is dismissed as to Defendant CANVASARTCOOL pursuant to Federal Rule of Civil Procedure 41 (a)(2). The Clerk of Court is respectfully directed to terminate CANVASARTCOOL as a party in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 2/23/2023)
02/23/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [43] Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
02/22/2023 NOTICE OF VOLUNTARY DISMISSAL pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, against the defendant(s) CANVASARTCOOL (261). Document filed by KAWS, INC. Proposed document to be reviewed and processed by Clerk's Office staff (No action required by chambers).
02/21/2023 PRELIMINARY INJUNCTION ORDER NOW THEREFORE, on this 21st day of February, 2023, this Court ORDERS that: I. The PI Defendants, their affiliates, officers, agents, servants, employees, attorneys, confederates, and all persons acting for, with, by, t hrough, under or in active concert with them be temporarily enjoined and restrained from: Using the KAWS Copyrights and/or KAWS Trademarks or any reproductions, counterfeit copies, or colorable imitations thereof in any manner in connection with th e distribution, marketing, advertising, offering for sale, or sale of any Counterfeit Products. The five thousand dollars ($5,000.00) bond posted by Plaintiff shall remain with the Court until a final disposition of this case or until this Preliminary Injunction is terminated. (And as further set forth herein.) (Signed by Judge John P. Cronan on 2/21/2023) (jca) Transmission to Finance Unit (Cashiers) for processing.
02/21/2023 Minute Entry for proceedings held before Judge John P. Cronan: Conference held on February 21, 2023 to address Plaintiffs motion for preliminary injunction. For the reasons stated on the record, the Court grants Plaintiffs motion for preliminary injunction. The Court will enter a separate order granting the motion and unsealing Schedule A to the Complaint. Plaintiff shall file a status letter by May 22, 2023. (Court reporter Andrew Walker).
02/21/2023 PLAINTIFFS' NOTICE OF VOLUNTARY DISMISSAL OF CERTAIN DEFENDANTS TO THE COURT AND ALL INTERESTED PARTIES:PLEASE TAKE NOTICE that, pursuant to Fed. R. Civ. Pro. 41(a)(1)(A)(i), Plaintiff KAWS, Inc., voluntarily dismisses the following Defendants listed on Schedule A to the Complaint without prejudice: KR-TEC. LLC (308), YEZIRGALLERY (302), lihrygbv (246), Cemina Stickers (122) and Dogukan Ozdemir DOGUKAN (126) terminated. In light of Plaintiff's notice of dismissal, this action is dismissed as to the above-named Defendants pursuant to Federal Rule of Civil Procedure 41(a)(2). The Clerk of Court is respectfully directed to terminate the Defendants listed above as parties in this matter. SO ORDERED. (Signed by Judge John P. Cronan on 2/19/2023)
02/17/2023 MEMO ENDORSEMENT: on re: [39] Letter filed by KAWS, INC. ENDORSEMENT: Plaintiff's request for further extension of the TRO is denied. See U.S. D.I.D. Corp. v. Windstreem Comm'cns, 775 F.3d 128, 132 n.2 (2d Cir. 2014) ("[A] TRO lasting longer than twenty-eight days requires that the adverse party nconsent[.] (citing Fed. R. Civ. P. 65(b)(2))). However, at the preliminary injunction hearing, Plaintiff may still move for alternative service of the preliminary injunction as to all Defendants, even if Plaintiff has not yet completed its investigation into their physical addresses. At the preliminary injunction hearing, Plaintiff should be prepared to address the investigative efforts made thus far as to those Defendants. SO ORDERED. (Signed by Judge John P. Cronan on 2/17/2023)
02/17/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. [38] Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.
02/16/2023 LETTER addressed to Judge John P. Cronan from Anna Iskikian dated February 16, 2023 re: Reasonable Diligence. Document filed by KAWS, INC.
附件:
1:Affidavit of Anna Iskikian
2:Affidavit of Hong Hu
3:(Exhibit First Amended Schedule A)
02/16/2023 ***NOTICE TO COURT REGARDING NOTICE OF VOLUNTARY DISMISSAL Document No. 36 Notice of Voluntary Dismissal, was reviewed and referred to Judge John P. Cronan for approval for the following reason(s): the plaintiff(s) filed their voluntary dismissal and it did not dismiss all of the parties or the action in its entirety.

下载文件请联系电话或者加微信

18523047090