1:23-cv-05276
| 日期 | 描述 |
|---|---|
| 2024-03-29 | NOTICE of withdrawal of surety bond [24] by John Summerfield (Received at the Intake Counter on 03/29/24) (Received for docketing 04/05/24) |
| 2024-01-02 | MAILED copyright report to Registrar, Washington DC. |
| 2023-12-28 | FULL SATISFACTION of Judgment regarding order[38] in the amount of $50,000 as to certain defendants |
| 2023-12-26 | FINAL JUDGMENT ORDER. Signed by the Honorable John F. Kness on 12/26/2023. Mailed notice. |
| 2023-12-26 | ORDER: No Defendant has responded to Plaintiffs' motion (Dkt. [32]) for entry of a default judgment. Accordingly, the motion is granted. Because Defendants directly target their business activities toward consumers in the United States, including Illinois, this Court has personal jurisdiction over Defendants. Am. Bridal & Prom Indus. Ass'n v. P'ships & Unincorporated Ass'ns Identified on Schedule A, 192 F.Supp. 3d 924, 934 (N.D. Ill. 2016). Plaintiffs have presented screenshot evidence that each Defendant Internet Store is reaching out to do business with Illinois residents by operating one or more commercial, interactive Internet Stores through whichIllinois residents can and do purchase infringing products. See, e.g., Dkt. [11], [12]. In addition, based on the evidence previously submitted by Plaintiffs and the admission of liability by virtue of the default, Plaintiffs have established that a permanent injunction is warranted. The infringement of Plaintiffs' copyright irreparably ha |
| 2023-12-08 | CERTIFICATE of Service by Plaintiffs Bryan Fletcher, Garrett Fletcher per [35] |
| 2023-12-08 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiffs' motion [32] 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 12/14/2023. If no objections are filed by that date, the Court will consider the motion unopposed. Plaintiffs must serve this minute order forthwith upon all remaining Defendants and must promptly file proof of service. Mailed notice |
| 2023-12-05 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[33] |
| 2023-12-05 | MEMORANDUM by Bryan Fletcher, Garrett Fletcher in support of motion for entry of default, motion for default judgment, [32] |
| 2023-12-05 | MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for entry of default, MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for default judgment as to all Defendants |
| 2023-12-05 | NOTICE of Voluntary Dismissal by Bryan Fletcher, Garrett Fletcher as to Certain Defendants |
| 2023-11-30 | NOTICE of Voluntary Dismissal by Bryan Fletcher, Garrett Fletcher as to certain defendant |
| 2023-11-16 | NOTICE of Voluntary Dismissal by Bryan Fletcher, Garrett Fletcher as to certain defendant |
| 2023-11-10 | SUMMONS Returned Executed by Bryan Fletcher, Garrett Fletcher as to The Partnerships and Unincorporated Associations Identified on Schedule A on 11/10/2023, answer due 12/1/2023. |
| 2023-11-09 | NOTICE of Voluntary Dismissal by Bryan Fletcher, Garrett Fletcher as to certain defendant |
| 2023-11-06 | CERTIFICATE of Service by Plaintiffs Bryan Fletcher, Garrett Fletcher per [25] |
| 2023-11-06 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion [21] for entry of a preliminary injunction against "certain defendants." In connection with that motion, which is entered and continued, Plaintiff must forthwith serve all of the Defendants implicated by the motion 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 11/13/2023." Plaintiff must file proof of service of the Court's statement within two business days of service. Mailed notice |
| 2023-11-02 | SUMMONS Returned Executed by Bryan Fletcher, Garrett Fletcher as to The Partnerships and Unincorporated Associations Identified on Schedule A on 11/2/2023, answer due 11/23/2023. |
| 2023-11-02 | MEMORANDUM by Bryan Fletcher, Garrett Fletcher in support of motion for preliminary injunction[21] |
| 2023-11-02 | MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for preliminary injunction as to Certain Defendants |
| 2023-11-01 | SURETY BOND in the amount of $10,000 posted by Bryan Fletcher, Garrett Fletcher. (Document not scanned.) |
| 2023-10-24 | [封存] SEALED TEMPORARY Restraining Order Signed by the Honorable John F. Kness on 10/24/2023. |
| 2023-10-24 | MINUTE entry before the Honorable John F. Kness: Plaintiffs' motion for leave to file under seal 3, ex parte motion for a temporary restraining order 9, and motion for electronic service of process 14 are granted in part. Plaintiffs' submissions (e.g., Dkt. 11, 12) establish that, were Defendants to learn of these proceedings before the execution of Plaintiffs' 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, Plaintiffs may for now file under seal the documents identified in the motion to seal and appearing at docket entries 2 and 13. 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, Plaintiffs' filings support proceeding (for the time being) on an ex parte basis under FRCP 65(b) |
| 2023-08-18 | MAILED copyright report to Registrar, Washington DC. |
| 2023-08-11 | MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery |
| 2023-08-11 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[16] |
| 2023-08-11 | MEMORANDUM by Bryan Fletcher, Garrett Fletcher in support of motion for miscellaneous relief[14] (Corrected) |
| 2023-08-11 | MEMORANDUM by Bryan Fletcher, Garrett Fletcher in support of motion for miscellaneous relief[14] |
| 2023-08-11 | MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2023-08-11 | SEALED EXHIBIT by Plaintiffs Bryan Fletcher, Garrett Fletcher Exhibit 2 - Parts 1 - 8 regarding declaration[12] |
| 2023-08-11 | DECLARATION of Steve Fletcher regarding memorandum in support of motion[10] |
| 2023-08-11 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[10] |
| 2023-08-11 | MEMORANDUM by Bryan Fletcher, Garrett Fletcher in support of motion for temporary restraining order[9] |
| 2023-08-09 | ATTORNEY Appearance for Plaintiffs Bryan Fletcher, Garrett Fletcher by Trevor Christian Talhami |
| 2023-08-09 | ATTORNEY Appearance for Plaintiffs Bryan Fletcher, Garrett Fletcher by Justin Tyler Joseph |
| 2023-08-09 | ATTORNEY Appearance for Plaintiffs Bryan Fletcher, Garrett Fletcher by Amy Crout Ziegler |
| 2023-08-09 | ATTORNEY Appearance for Plaintiffs Bryan Fletcher, Garrett Fletcher by Justin R. Gaudio |
| 2023-08-09 | CIVIL Cover Sheet |
| 2023-08-09 | MOTION by Plaintiffs Bryan Fletcher, Garrett Fletcher for leave to file under seal |
| 2023-08-09 | [封存] SEALED EXHIBIT by Plaintiffs Bryan Fletcher, Garrett Fletcher Schedule A regarding complaint[1] |
| 2023-08-09 | COMPLAINT filed by Bryan Fletcher, Garrett Fletcher; Filing fee $ 402, receipt number AILNDC-20912858. |
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