1:23-cv-01764
| 日期 | 描述 |
|---|---|
| 2024-11-14 | FULL SATISFACTION of Judgment regarding entered judgment[63] in the amount of $100,000 as to certain defendant |
| 2024-01-18 | NOTICE of Removal of Material from the custody of the Clerk's Office 23 by Plaintiff's counsel. |
| 2024-01-09 | MAILED trademark report with certified copy of minute order dated 12/1/2023 to Patent Trademark Office, Alexandria VA. |
| 2023-12-01 | FINAL JUDGMENT ORDER signed by the Honorable John F. Kness on 12/1/2023. Mailed notice |
| 2023-12-01 | ORDER: Motion for entry of default 57 is granted. Enter Final Judgment Order. Civil case terminated. Signed by the Honorable John F. Kness on 12/1/2023. Mailed notice |
| 2023-11-27 | CERTIFICATE of Service by Plaintiff Nike, Inc. regarding text entry, 60 |
| 2023-11-24 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion [57] 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 11/29/2023. If no objections are filed by that date, the Court will consider the motion unopposed. Plaintiff must forthwith serve this minute order upon all remaining Defendants and file proof of service. Mailed notice |
| 2023-11-15 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 58 |
| 2023-11-15 | MEMORANDUM by Nike, Inc. in support of motion for entry of default, motion for default judgment 57 |
| 2023-11-15 | MOTION by Plaintiff Nike, Inc. for entry of default as to all Defendants, MOTION by Plaintiff Nike, Inc. for default judgment as to all Defendants |
| 2023-11-15 | STIPULATION of Dismissal |
| 2023-11-08 | PRELIMINARY INJUNCTION ORDER signed by the Honorable John F. Kness on 11/8/2023. Mailed notice |
| 2023-11-08 | MINUTE entry before the Honorable John F. Kness: Plaintiff and Defendant DykhmilyWork (Def. No. 115) ("Defendant") informed Court staff today that they have reached a settlement agreement and are in the process of executing its terms. Plaintiff and Defendant DykhmilyWork thus request that the Court defer ruling on Plaintiff's pending motion for entry of a preliminary injunction (Dkt. [28]) as to Defendant DykhmilyWork only. Based on this report, the Court excludes Defendant DykhmilyWork from its consideration of the pending motion [28] for a preliminary injunction and dismisses as moot (and without prejudice) Plaintiff's motion [45] for sanctions as to Defendant DykhmilyWork. Plaintiff's motion for a preliminary injunction [28] is granted as to all remaining Defendants except for DykhmilyWork. Enter separate preliminary injunction order. Plaintiff's filings establish that Plaintiff has acted expeditiously to protect its interests and that there remains a significant risk Defendants wil |
| 2023-10-05 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendant |
| 2023-09-14 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendant |
| 2023-08-10 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-08-03 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-07-31 | DECLARATION of Jake M. Christensen regarding reply 48 |
| 2023-07-31 | REPLY by Plaintiff Nike, Inc. in Support of Plaintiff's Motion for Entry of a Preliminary Injunction 28 |
| 2023-07-28 | RESPONSE by DykhmilyWorkin Opposition to MOTION by Plaintiff Nike, Inc. for sanctions Pursuant to FED. R. CIV. P. 37 or to Stay Briefing Schedule 44 45 |
| 2023-07-27 | ATTORNEY Appearance for Plaintiff Nike, Inc. by Berel Yonathan Lakovitsky |
| 2023-07-25 | MOTION by Plaintiff Nike, Inc. for sanctions Pursuant to FED. R. CIV. P. 37 or to Stay Briefing Schedule [44] |
| 2023-07-21 | MINUTE entry before the Honorable John F. Kness: Any reply in support of Plaintiff's motion 28 for preliminary injunction must be submitted on or before 7/31/2023. Mailed notice |
| 2023-07-13 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-07-11 | MEMORANDUM by DykhmilyWork in Opposition to motion for preliminary injunction[28] |
| 2023-07-11 | RESPONSE by DykhmilyWorkin Opposition to MOTION by Plaintiff Nike, Inc. for preliminary injunction [28] |
| 2023-07-11 | OBJECTIONS by DykhmilyWork to MOTION by Plaintiff Nike, Inc. for preliminary injunction [28], memorandum in support of motion[29] |
| 2023-07-07 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-07-05 | CERTIFICATE of Service by Plaintiff Nike, Inc. regarding text entry, [37] |
| 2023-07-04 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion [28] for entry of a preliminary injunction. In connection with that motion, Plaintiff must serve all remaining 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 by 7/11/2023." 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 one business day of its entry on the docket and must promptly file proof of that service. Mailed notice |
| 2023-06-30 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-06-27 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by DykhmilyWork |
| 2023-06-27 | ANSWER to Complaint by DykhmilyWork |
| 2023-06-22 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-06-19 | ATTORNEY Appearance for Defendant The Partnerships and Unincorporated Associations Identified on Schedule A by Yifei Deng for Defendant DykhmilyWork |
| 2023-06-15 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-06-07 | SUMMONS Returned Executed by Nike, Inc. as to The Partnerships and Unincorporated Associations Identified on Schedule A on 6/7/2023, answer due 6/28/2023. |
| 2023-06-07 | MEMORANDUM by Nike, Inc. in support of motion for preliminary injunction 28 |
| 2023-06-07 | MOTION by Plaintiff Nike, Inc. for preliminary injunction |
| 2023-06-01 | NOTICE of Voluntary Dismissal by Nike, Inc. as to certain defendants |
| 2023-05-26 | ENTER EXTENSION OF TEMPORARY RESTRAINING ORDER 24. Motion by Plaintiff Nike, Inc. for extension of time 24 is granted. Signed by the Honorable John F. Kness on 5/26/2023. Mailed notice |
| 2023-05-23 | MEMORANDUM by Nike, Inc. in support of extension of time[24] |
| 2023-05-23 | MOTION by Plaintiff Nike, Inc. for extension of time of Temporary Restraining Order |
| 2023-05-23 | SURETY BOND in the amount of $ 10,000.00 posted by Nike, Inc. (Document not scanned). |
| 2023-05-15 | [封存] SEALED TEMPORARY RESTRAINING ORDER. Signed by the Honorable John F. Kness on 5/15/2023. Mailed notice. |
| 2023-05-15 | 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 13, and motion for electronic service of process 18 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 17. The accompanying Temporary Restraining 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 |
| 2023-03-24 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 19 |
| 2023-03-24 | MEMORANDUM by Nike, Inc. in support of motion for miscellaneous relief 18 |
| 2023-03-24 | MOTION by Plaintiff Nike, Inc. for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2023-03-24 | SEALED EXHIBIT by Plaintiff Nike, Inc. Exhibit 3 - Parts 1-11 regarding declaration 16 |
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