1:23-cv-08185
| 日期 | 描述 |
|---|---|
| 2023-12-06 | [封存] MAILED patent report to Patent Trademark Office, Alexandria VA. |
| 2023-12-05 | MINUTE entry before the Honorable John F. Kness: Plaintiff has filed a "Notice of Voluntary Dismissal" [35]. Because the Notice was filed before the opposing parties served either an answer or a motion for summary judgment, the case is dismissed with prejudice consistent with the terms of the Notice and by operation of Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure. See Nelson v. Napolitano, 657 F.3d 586, 587 (7th Cir. 2011) (Rule 41(a)(1)(A) notice of dismissal "is self-executing and effective without further action from the court"). Each party is to bear its own fees and costs. The temporary restraining order [32] is dissolved. Plaintiff's motion [34] to extend the temporary restraining order is dismissed as moot. Civil case terminated. Mailed notice. |
| 2023-11-29 | NOTICE of Voluntary Dismissal by Shenzhen Saikexing Technology Co., Ltd. |
| 2023-11-29 | MOTION by Plaintiff Shenzhen Saikexing Technology Co., Ltd. for extension of time Motion to Extend Sealed Temporary Restraining Order |
| 2023-11-29 | SURETY BOND in the amount of $ 10,000.00 posted by Shenzhen Saikexing Technology Co., Ltd. (Document not imaged) |
| 2023-11-20 | [封存] SEALED TEMPORARY RESTRAINING ORDER Signed by the Honorable John F. Kness on 11/20/2023 |
| 2023-11-20 | MINUTE entry before the Honorable John F. Kness: Plaintiff's ex parte motion for a temporary restraining order 5 and motion for electronic service of process 18 are granted. Plaintiff's submissions (e.g., Dkt. 7) 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, the Temporary Restraining Order being entered along with this minute order shall 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 under FRCP 65(b)(1). Specifically, and as noted above, were Defendants to be informed of this proceeding before a TRO could issue, it is likely assets and websites would be redirected, thus defeating Pl |
| 2023-09-26 | [封存] MAILED patent report to Patent Trademark Office, Alexandria VA. |
| 2023-09-14 | MINUTE entry before the Honorable John F. Kness: Plaintiff's corrected motion for reconsideration 27 is denied. See Dkt. 28. Mailed notice |
| 2023-09-14 | MINUTE entry before the Honorable John F. Kness:Plaintiff's motion for reconsideration 26 is denied for the reasons previously provided by the Court. See Dkt. 25. The filing at Dkt. [4-4] may remain under seal for the reasons noted by Plaintiff. Mailed notice |
| 2023-09-14 | MOTION by Plaintiff John Doe Corrected Motion for Reconsideration of the Court's September 13, 2023, Order (Dkt. 25) |
| 2023-09-14 | MOTION by Plaintiff John Doe for reconsideration regarding order on motion for miscellaneous relief, order on motion to seal document, terminate deadlines and hearings, terminate motion and R&R deadlines/hearings, 25 |
| 2023-09-13 | MINUTE entry before the Honorable John F. Kness: Plaintiff's motion 16 for leave to proceed anonymously is denied. 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. Conversely, there are no exceptional circumstances that would justify allowing Plaintiff to conceal its own identity: Plaintiff's ex parte motion for preliminary injunctive relief will be adjudicated promptly, and the identity of Defendants will be placed under seal during the pendency of the ex parte proceedings. Given these protections for Plaintiff's legitimate interests, the countervailing strong public interest in knowing who is seeking recourse in the federal courts compels the Court to deny Plaintiff's request to conceal its own identity, even initially. As the |
| 2023-09-13 | SEALED DOCUMENT by Plaintiff John Doe Declaration in Support of Amended Ex Parte Motion for Entry of Temporary Restraining Order and Expedited Discovery |
| 2023-09-13 | SEALED DOCUMENT by Plaintiff John Doe Memorandum in Support of Amended Ex Parte Motion for Entry of Temporary Restraining Order |
| 2023-09-13 | SEALED DOCUMENT by Plaintiff John Doe Amended Ex Parte Motion for Entry of Temporary Restraining Order |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2B to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2A to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Declaration in Support of Ex Parte Motion for Entry of Temporary Restraining Order and Expedited Discovery |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Memorandum in Support of Ex Parte Motion for Entry of Temporary Restraining Order and Expedited Discovery |
| 2023-09-08 | SEALED MOTION by Plaintiff John Doe Ex Parte Motion for Entry of Temporary Restraining Order and Expedited Discovery |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Amended Complaint |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Schedule A to Complaint |
| 2023-09-08 | ATTORNEY Appearance for Plaintiff John Doe by Shengmao Mu |
| 2023-09-08 | MOTION by Plaintiff John Doe to seal document sealed document 9, sealed document 14, SEALED MOTION by Plaintiff John Doe Ex Parte Motion for Entry of Temporary Restraining Order and Expedited Discovery 5, sealed document 4, sealed document 6, sealed document 8, sealed document 7, sealed document 12, sealed document 13, sealed document 2, sealed document 11, sealed document 15, sealed document 10, sealed document 3 |
| 2023-09-08 | [封存] SEALED DOCUMENT by Plaintiff John Doe Exhibit 1 to Complaint |
| 2023-09-08 | Memorandum in Support of Motion for Electronic Service of Process by John Doe |
| 2023-09-08 | MOTION by Plaintiff John Doe Motion for Electronic Service of Process |
| 2023-09-08 | CIVIL Cover Sheet |
| 2023-09-08 | MOTION by Plaintiff John Doe Motion to Proceed Anonymously |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2H to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2G to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2F to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2E to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2D to Declaration |
| 2023-09-08 | SEALED DOCUMENT by Plaintiff John Doe Exhibit 2C to Declaration |
| 2023-09-08 | COMPLAINT filed by John Doe; Jury Demand. Filing fee $ 402, receipt number AILNDC-21029748. |
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请以案号、法院、立案日期与 docket 记录交叉确认。页面展示的是公开信息汇总,不等同于法院对侵权、TRO 是否签发或资金状态的认定。

