最近更新:2025-01-14
更新

2024-cv-09720

Fca Us LLC v. The Partnerships and Unincorporated Associations Identified On Schedule A

日期:10/08/2024

法院:伊利诺伊州北区法院

品牌:CHRYSLER 克莱斯勒汽车

律所:GBC

日期 描述
01/13/2025 MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motion for entry of default and for default judgment [53]. The Court enters default and default judgment in favor of Plaintiff and against Defendant judiciousautopart and the Individuals and Entities Operating judiciousautopart. Civil case terminated. Emailed notice
01/13/2025 ATTORNEY Appearance for Plaintiff FCA US LLC by Lucas Allen Peterson
01/07/2025 STATUS Report per [51] by FCA US LLC
附件:
1:Exhibit A
01/07/2025 NOTICE of Motion by Berel Yonathan Lakovitsky for presentment of motion for entry of default, motion for default judgment[53] before Honorable Sara L. Ellis on 1/14/2025 at 09:30 AM.
附件:
1:Exhibit A
01/07/2025 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[54]
附件:
1:Exhibit 1
01/07/2025 MEMORANDUM by FCA US LLC in support of motion for entry of default, motion for default judgment[53]
01/07/2025 MOTION by Plaintiff FCA US LLC for entry of default, MOTION by Plaintiff FCA US LLC for default judgment as to all Defendants
附件:
1:Exhibit A
12/27/2024 ANNUAL REMINDER: Pursuant to Local Rule 3.2 (Notification of Affiliates), any nongovernmental party, other than an individual or sole proprietorship, must file a statement identifying all its affiliates known to the party after diligent review or, if the party has identified no affiliates, then a statement reflecting that fact must be filed. An affiliate is defined as follows: any entity or individual owning, directly or indirectly (through ownership of one or more other entities), 5% or more of a party. The statement is to be electronically filed as a PDF in conjunction with entering the affiliates in CM/ECF as prompted. As a reminder to counsel, parties must supplement their statements of affiliates within thirty (30) days of any change in the information previously reported. This minute order is being issued to all counsel of record to remind counsel of their obligation to provide updated information as to additional affiliates if such updating is necessary. If counsel has any questions regarding this process, this LINK will provide additional information. Signed by the Honorable Virginia M. Kendall on 12/27/2024: Mailed notice.
12/13/2024 MINUTE entry before the Honorable Sara L. Ellis: The Court strikes the status date set for 12/19/2024 and resets it to 1/14/2025 at 9:30 AM. Plaintiff should file a revised status report by 1/7/2025 and if Defendants have not answered or otherwise appeared, Plaintiff should file a motion for default and default judgment and notice it for presentment at the next status date. If the parties file a stipulation of dismissal prior to the next status date, no appearance is required. Mailed notice.
12/12/2024 ATTORNEY Appearance for Plaintiff FCA US LLC by Yu Hin Jeffrey Tsai (Tsai, Yu Hin)
12/12/2024 STATUS Report pursuant to [38] by FCA US LLC
附件:
1:Exhibit A
12/03/2024 SUMMONS Returned Executed by FCA US LLC as to judiciousautopart on 12/3/2024, answer due 12/24/2024; the Individuals and Entities Operating judiciousautopart on 12/3/2024, answer due 12/24/2024.
附件:
1:(Exhibit A)
2:Declaration of Berel Y. Lakovitsky
11/27/2024 SUMMONS Issued as to Defendant judiciousautopart and the Individuals and Entities Operating judiciousautopart.
11/26/2024 ORDER. Signed by the Honorable Sara L. Ellis on 11/26/2024. Mailed notice
11/25/2024 MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiff's motions for expedited discovery [41] and electronic service of process [42]. Emailed notice
11/20/2024 NOTICE of Motion by Justin R. Gaudio for presentment of motion for discovery[41], motion for miscellaneous relief[42] before Honorable Sara L. Ellis on 11/26/2024 at 09:45 AM.
11/20/2024 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[43]
附件:
1:Exhibit 2
2:Exhibit 1
11/20/2024 MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief[42] (Renewed)
11/20/2024 MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
11/20/2024 MOTION by Plaintiff FCA US LLC for discovery (Expedited)
11/18/2024 EXHIBIT by Plaintiff FCA US LLC Second Amended Schedule A regarding amended complaint, 39
11/18/2024 Second AMENDED complaint by FCA US LLC against judiciousautopart, the Individuals and Entities Operating judiciousautopart and terminating The Partnerships and Unincorporated Associations Identified on Schedule A
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:(Exhibit 4)
11/18/2024 MINUTE entry before the Honorable Sara L. Ellis: The Court grant Plaintiff's motion for leave to file a second amended complaint 36. Plaintiff should file the second amended complaint as a separate entry on the docket. The Court allows Plaintiff to withdraw its motions for temporary restraining order 23 and for electronic service of process 28. The Court strikes the status date set for 11/26/2024 and resets it to 12/19/2024 at 1:30 PM. Plaintiff should file an initial joint status report by 12/12/2024. Attorneys/Parties should appear for the hearing by calling the Toll-Free Number: (650) 479-3207, Access Code: 2314 361 1508. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing (use toll-free number). Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting court proceedings. Violation of these prohibitions may result in sanctions, including removal of court-issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Emailed notice
11/13/2024 NOTICE of Motion by Justin R. Gaudio for presentment of motion for leave to file[36] before Honorable Sara L. Ellis on 11/19/2024 at 09:45 AM.
11/13/2024 MOTION by Plaintiff FCA US LLC for leave to file a Second Amended Complaint and to Withdraw its Renewed Motions [23], [28]
附件:
1:Exhibit 1
11/06/2024 MINUTE entry before the Honorable Sara L. Ellis: Telephone conference held on 11/6/2024. Plaintiff appears for motions 23 and 28. Plaintiff to refile the joinder statement by 11/20/2024. The Court enters and continues motions for entry of temporary restraining order, including a temporary asset restraint, and expedited discovery 23 to 11/26/2024 at 9:30 AM. Attorneys/Parties should appear for the hearing by calling the Toll-Free Number: (650) 479-3207, Access Code: 2314 361 1508. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing (use toll-free number). Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting court proceedings. Violation of these prohibitions may result in sanctions, including removal of court-issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Emailed notice
11/05/2024 MINUTE entry before the Honorable Sara L. Ellis: Attorneys/Parties should appear for the hearing by calling the Toll-Free Number: (650) 479-3207, Access Code: 2314 361 1508. Throughout the telephonic hearing, each speaker will be expected to identify themselves for the record before speaking. Please note that the conference call-in will be used by all cases that are on the court's calendar for the said date, therefore counsel must be in a quiet area while on the line and must have the telephone muted until your case is called. Members of the public and media will be able to call in to listen to this hearing (use toll-free number). Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting court proceedings. Violation of these prohibitions may result in sanctions, including removal of court-issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Emailed notice
10/29/2024 NOTICE of Motion by Justin R. Gaudio for presentment of motion for miscellaneous relief[28], motion for temporary restraining order[23] before Honorable Sara L. Ellis on 11/6/2024 at 09:30 AM.
10/29/2024 DECLARATION of Justin R. Gaudio regarding memorandum[31]
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
5:Exhibit 5
6:Exhibit 6
7:Exhibit 7
8:Exhibit 8
10/29/2024 MEMORANDUM by FCA US LLC Establishing that Joinder is Proper
10/29/2024 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[29]
附件:
1:Exhibit 1
2:Exhibit 2
10/29/2024 MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief[28]
10/29/2024 MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) (Renewed)
10/29/2024 SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 regarding declaration[26]
10/29/2024 DECLARATION of Thomas H. Hipelius regarding memorandum in support of motion[24]
附件:
1:Exhibit 1
10/29/2024 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[24]
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
10/29/2024 MEMORANDUM by FCA US LLC in support of motion for temporary restraining order[23]
10/29/2024 MOTION by Plaintiff FCA US LLC for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery (Renewed)
10/29/2024 SEALED EXHIBIT by Plaintiff FCA US LLC Amended Schedule A regarding amended complaint[21]
10/29/2024 AMENDED complaint by FCA US LLC against The Partnerships and Unincorporated Associations Identified on Schedule A
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
10/14/2024 MINUTE entry before the Honorable Sara L. Ellis: The Court grants Plaintiffs motion for leave to file under seal 3 and denies Plaintiffs motions for entry of a temporary restraining order 11 and for electronic service of process 16 without prejudice. Plaintiff filed this case against 102 defendants for infringing 112 different trademarks registered to Plaintiff. Under Rule 20, a plaintiff may join multiple defendants in a single action if: (1) the claims against them are asserted with respect to or arising out of the same transaction, occurrence, or series of transactions or occurrences, and (2) a question of law or fact common to all defendants exists. Fed. R. Civ. P. 20(a)(2)(A)(B). In reviewing the complaint in this case, it does not appear that joinder is proper as to all Defendants. As the Court stated in Roadget Business Pte. Ltd. v. The Individuals, Corporations, Limited Liability Cos., Partnerships, and Unincorporated Associations Identified on Schedule A Hereto, alleging that multiple defendants have infringed on the same copyright, trademark, or patent in the same way, without more, does not create the substantial evidentiary overlap required to find joinder proper. No. 23 C 17036, 2024 WL 1858592, at *67 (N.D. Ill. Apr. 29, 2024). The Court directs Plaintiff to file an amended complaint by 10/30/2024, as well as a statement on joinder explaining how the remaining Defendants comply with the Courts order in Roadget. The Court sets a telephonic status date for 11/6/2024 at 9:30 AM. Plaintiff may refile its motions for entry of a temporary restraining order and electronic service of process and notice them for presentment at the next status date.
10/09/2024 NOTICE of Motion by Justin R. Gaudio for presentment of motion for temporary restraining order[11], motion for leave to file[3], motion for miscellaneous relief[16] before Honorable Sara L. Ellis on 10/15/2024 at 09:45 AM.
10/09/2024 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[17]
附件:
1:Exhibit 1
2:Exhibit 2
10/09/2024 MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief[16]
10/09/2024 MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
10/09/2024 SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 - Parts 1-2 regarding declaration[14]
10/09/2024 DECLARATION of Thomas H. Hipelius regarding memorandum in support of motion[12]
附件:
1:Exhibit 1
10/09/2024 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[12]
附件:
1:Exhibit 1
2:Exhibit 2
3:Exhibit 3
4:Exhibit 4
10/09/2024 MEMORANDUM by FCA US LLC in support of motion for temporary restraining order[11]
10/09/2024 MOTION by Plaintiff FCA US LLC for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery
10/08/2024 CLERK'S NOTICE: Pursuant to Local Rule 73.1(b), a United States Magistrate Judge of this court is available to conduct all proceedings in this civil action. If all parties consent to have the currently assigned United States Magistrate Judge conduct all proceedings in this case, including trial, the entry of final judgment, and all post-trial proceedings, all parties must sign their names on the attached Consent To form. This consent form is eligible for filing only if executed by all parties. The parties can also express their consent to jurisdiction by a magistrate judge in any joint filing, including the Joint Initial Status Report or proposed Case Management Order.
10/08/2024 ATTORNEY Appearance for Plaintiff FCA US LLC by Berel Yonathan Lakovitsky
10/08/2024 ATTORNEY Appearance for Plaintiff FCA US LLC by Kahlia Roe Halpern
10/08/2024 ATTORNEY Appearance for Plaintiff FCA US LLC by Amy Crout Ziegler
10/08/2024 ATTORNEY Appearance for Plaintiff FCA US LLC by Justin R. Gaudio
10/08/2024 Notice of Claims Involving Trademarks by FCA US LLC
10/08/2024 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by FCA US LLC
10/08/2024 CIVIL Cover Sheet
10/08/2024 MOTION by Plaintiff FCA US LLC for leave to file under seal
10/08/2024 SEALED EXHIBIT by Plaintiff FCA US LLC Schedule A regarding complaint[1]

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