最近更新:2025-01-17
更新

2024-cv-10791

Anagram International, LLC v. The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified On Schedule A Hereto

日期:10/21/2024

法院:伊利诺伊州北区法院

品牌:派对气球

律所:Keith

日期 描述
01/14/2025 SURETY BOND in the amount of $ 10,000.00 posted by Anagram International, LLC
01/07/2025 SEALED Temporary Restraining Order Signed by the Honorable Georgia N Alexakis on 1/7/25.
01/08/2025 MINUTE entry before the Honorable Georgia N Alexakis:Minute order 91 is amended. Motion hearing held on 1/7/25. Plaintiff's renewed ex parte motion for a temporary restraining order, including a temporary injunction, a temporary asset restraint, and expedited discovery 80, is granted, as modified on the record. An amended proposed order should be sent to the Court's proposed order mailbox on 1/7/25. Plaintiff's written submission establish that if defendants were informed of this proceeding before a TRO could issue, assets traceable to the infringing activity would likely be redirected, defeating plaintiff's interests in identifying defendants, stopping the infringement, and obtaining an accounting. In addition, the submitted evidence establishes a likelihood of success on the merits, the infringement is ongoing, the harm to plaintiff is irreparable, and an injunction is in the public interest because infringement interferes with the plaintiff's ability to control its intellectual property. Those rights cannot be fully compensated by money damages. 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 is an effective, perhaps the most effective, way to communicate with defendants. Expedited discovery is warranted to identify defendants and implement the asset freeze. If any defendant were to appear and object, the court will take a fresh look at the asset freeze, joinder, electronic service, and personal jurisdiction. The court finds that security in the amount of $10,000 is sufficient to secure the injunctive relief.
01/07/2025 MINUTE entry before the Honorable Georgia N Alexakis: Motion hearing held on 1/7/25. Plaintiff's renewed motion for a temporary restraining order, including a temporary injunction, a temporary asset restraint, expedited discovery, and service of process by email and/or electronic publication 80 is granted, as modified on the record. An amended proposed order should be sent to the Court's proposed order mailbox today (1/7/25).
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.
12/30/2024 NOTICE of Motion by Michael A. Hierl for presentment of motion for temporary restraining order, 80 before Honorable Georgia N Alexakis on 1/7/2025 at 09:30 AM.
12/20/2024 MINUTE entry before the Honorable Georgia N Alexakis:Pursuant to the notice of voluntary dismissal, Defendants No. 109 "Little Baby party Store" and 212 "YADA Umbrella Store" are dismissed without prejudice. Each party shall bear its own attorney's fees and costs.
12/19/2024 MEMORANDUM by Anagram International, LLC Plaintiff's Supplemental Memorandum in Support of its Motion for Entry of a Temporary Restraining Order
附件:
1:(Exhibit A)
12/19/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit Part 5 to Wiles Declaration
12/19/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit Part 4 to Wiles Declaration
12/19/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit Part 3 to Wiles Declaration
12/19/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit Part 2 to Wiles Declaration
12/19/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit Part 1 to Wiles Declaration
12/19/2024 MEMORANDUM by Anagram International, LLC in support of motion for temporary restraining order, 80
附件:
1:(Exhibit Hierl Exhibit 3)
2:Exhibit Hierl Exhibit 2
3:Exhibit Hierl Exhibit 1
4:Declaration Hierl Declaration
5:Exhibit 1
6:Declaration Wiles Declaration
12/19/2024 MOTION by Plaintiff Anagram International, LLC for temporary restraining order Plaintiff's Renewed Ex Parte Motion for Entry of a Temporary Restraining Order, Including a Temporary Injunction, a Temporary Asset Restraint, Expedited Discovery, and Service of Process by Email and/or Electronic Publication
12/19/2024 NOTICE of Voluntary Dismissal by Anagram International, LLC Plaintiff's Notice of Voluntary Dismissal as to Defendants Nos. 109 "Little Baby Party Store" and 212 "Yada Umbrella Store"
12/05/2024 MINUTE entry before the Honorable Georgia N Alexakis: Motion hearing held on 12/5/24. For the reasons stated on the record, plaintiff's renewed ex parte motion for entry of a temporary restraining order, including a temporary injunction, a temporary asset restraint, expedited discovery, and service of process by email and/or electronic publication 70 is denied without prejudice to renewal.
11/27/2024 NOTICE of Motion by Michael A. Hierl for presentment of motion for temporary restraining order, 70 before Honorable Georgia N Alexakis on 12/5/2024 at 09:30 AM.
11/27/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 3 Part 5 of Wiles Declaration
11/27/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 3 Part 4 of Wiles Declaration
11/27/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 3 Part 3 of Wiles Declaration
11/27/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 3 Part 2 of Wiles Declaration
11/27/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 3 Part 1 of Wiles Declaration
11/27/2024 MEMORANDUM by Anagram International, LLC in support of motion for temporary restraining order, 70
附件:
1:(Exhibit Hierl Exhibit 4)
2:Exhibit Hierl Exhibit 3
3:Exhibit Hierl Exhibit 2
4:Exhibit Hierl Exhibit 1
5:Declaration Hierl Declaration
6:Exhibit Exhibit 2 Part 4
7:Exhibit Exhibit 2 Part 3
8:Exhibit 2 Part 2
9:Exhibit 2 Part 1
10:Exhibit 1
11:Declaration Wiles Declaration
11/27/2024 MOTION by Plaintiff Anagram International, LLC for temporary restraining order Plaintiff's Renewed Ex Parte Motion for Entry of a Temporary Restraining Order, Including a Temporary Injunction, a Temporary Asset Restraint, Expedited Discovery, and Service of Process by Email and/or Electronic Publication
11/22/2024 MEMORANDUM by Anagram International, LLC Plaintiff's Memorandum in Support of Joinder
附件:
1:(Exhibit 1)
11/22/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Amended Schedule A
11/22/2024 AMENDED complaint by Anagram International, LLC against The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified on Amended Schedule A Hereto
11/19/2024 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Anagram International, LLC Supplemental Notification of Affiliates
10/22/2024 MINUTE entry before the Honorable Georgia N Alexakis: Plaintiff's amended motion for leave to file under seal 10 and motion to exceed page limitation 11 is granted. Plaintiff's motion for leave to file under seal 7 is denied as moot. Upon review of the complaint, the Court sua sponte raises the propriety of joining 227 defendants 8 in a single action involving two trademark registrations and approximately 40 copyright registrations 1. See, e.g., Estee Lauder Cosmetics Ltd. v. Schedule A, 334 F.R.D. 182 (N.D. Ill. 2020). By 11/22/24, plaintiff shall file a supplemental memorandum addressing the propriety of joinder in light of the principles described in Estee Lauder. Plaintiff may also want to review the Court's order in Bug Art Limited v. The Partnerships, 24 CV 7777, Dkt. 28, where the Court expressed its joinder-related concerns in cases of this size and type and also discussed its expectation that plaintiffs in such cases assist the Court in locating those portions of the record that support a plaintiff's joinder-related assertions. For example, in a case like this, where plaintiff has filed 42 individual PDFs, each one containing voluminous materials [Dkt. 14-55], the Court expects plaintiff to point it to the specific pages within those materials that support its joinder-related assertions. In the alternative, plaintiff has leave to file an amended complaint by 11/22/24 with a smaller subset of defendants along with its memorandum explaining specifically why each defendant is properly joined to all of the others. Estee Lauder, 334 F.R.D. at 189. The Court denies plaintiff's motion for temporary restraining order without prejudice to renewal following resolution of these joinder-related concerns. No appearance is required on 10/24/24.
10/21/2024 MAILED copyright report to Registrar, Washington DC
10/21/2024 MAILED to plaintiff(s) counsel Lanham Mediation Program materials
10/21/2024 MAILED trademark report to Patent Trademark Office, Alexandria VA
10/21/2024 NOTICE of Motion by Michael A. Hierl for presentment of motion for leave to file excess pages[11], motion for temporary restraining order, [12], motion to seal document[7], motion to seal document[10] before Honorable Georgia N Alexakis on 10/24/2024 at 09:30 AM.
10/21/2024 Notice of Claims Involving Trademarks by Anagram International, LLC
10/21/2024 EXHIBIT by Plaintiff Anagram International, LLC Exhibit 2 Part 4 regarding memorandum in support of motion, [13]
10/21/2024 EXHIBIT by Plaintiff Anagram International, LLC Exhibit 2 Part 3 regarding memorandum in support of motion, [13]
10/21/2024 EXHIBIT by Plaintiff Anagram International, LLC Exhibit 2 Part 2 regarding memorandum in support of motion, [13]
10/21/2024 EXHIBIT by Plaintiff Anagram International, LLC Exhibit 2 part 1 regarding memorandum in support of motion, [13]
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 42 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 41 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 40 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 39 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 38 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 37 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 36 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 35 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 34 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 33 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 32 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 31 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 30 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 29 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 28 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 27 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 26 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 25 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 24 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 23 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 22 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 21 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 20 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 19 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 18 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 17 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 16 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 15 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 14 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 13 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 12 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 11 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 10 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 9 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 8 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 7 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 6 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 5 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 4 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 3 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 2 of Wiles Declaration
10/21/2024 SEALED DOCUMENT by Plaintiff Anagram International, LLC Exhibit 2 Part 1 of Wiles Declaration

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