1:24-cv-00063
| 日期 | 描述 |
|---|---|
| 2024-07-25 | NOTICE of withdrawal of bond[22] by Justin R. Gaudio from Greer Burns & Crain Ltd. (Received at the Intake Counter on 7/25/2024) |
| 2024-07-08 | FULL SATISFACTION of Judgment regarding order 39 in the amount of $100,000 as to certain defendant |
| 2024-06-26 | FINAL JUDGMENT ORDER signed by the Honorable John F. Kness on 6/26/2024. Mailed notice. |
| 2024-06-26 | ORDER: Plaintiff's motion 35 seeking a default judgment is granted. Civil case terminated. Enter separate Final Judgment Order. Signed by the Honorable John F. Kness on 6/26/2024. Mailed notice. |
| 2024-06-25 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[36] |
| 2024-06-25 | MEMORANDUM by FCA US LLC in support of motion for entry of default, motion for default judgment[35] |
| 2024-06-25 | MOTION by Plaintiff FCA US LLC for entry of default, MOTION by Plaintiff FCA US LLC for default judgment as to all Defendants |
| 2024-06-20 | NOTICE of Voluntary Dismissal by FCA US LLC as to certain defendants |
| 2024-06-18 | PRELIMINARY INJUNCTION ORDER signed by the Honorable John F. Kness on 6/18/2024. Mailed notice. |
| 2024-06-18 | MINUTE entry before the Honorable John F. Kness: Plaintiff's motion for a preliminary injunction [24] is granted. 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 will transfer relevant assets beyond the Court's reach. For these reasons, as well as the reasons provided in the whole of Plaintiff's filings and as stated by the Court in connection with entry of the TRO, the Court is persuaded that Plaintiff has satisfied the requirements for a preliminary injunction. In addition, the Court finds that the balance of harms favors Plaintiff and that a preliminary injunction serves the public interest by, among other things, protecting consumers from the marketing of counterfeit goods. Plaintiff has also certified and established [26] [28] that it provided electronic notice to Defendants of the pendency of this case and provided a link to a website con |
| 2024-06-13 | NOTICE of Voluntary Dismissal by FCA US LLC as to certain defendant |
| 2024-06-06 | NOTICE of Voluntary Dismissal by FCA US LLC as to certain defendants |
| 2024-05-31 | SUMMONS Returned Executed by FCA US LLC as to The Partnerships and Unincorporated Associations Identified on Schedule A on 5/31/2024, answer due 6/21/2024. |
| 2024-05-24 | CERTIFICATE of Service by Plaintiff FCA US LLC regarding text entry, 27 |
| 2024-05-24 | MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion 24 for entry of a preliminary injunction. In connection with that motion, which is entered and continued, Plaintiff must forthwith serve all 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 on or before 5/30/2024." Plaintiff must file proof of service of the Court's statement within two business days of service. For the reasons stated in the Court's order entering the temporary restraining order ("TRO"), the TRO is extended to and including the date on which the Court adjudicates the motion for a preliminary injunction. See H-D Mich., LLC v. Hellenic Duty Free Shops S.A., 694 F.3d 827, 843-45 (7th Cir. 2012). Because this extension exceeds the maximum duration for a TRO under FRCP 65(b), this extension "becomes in effect a preliminary injunction that is app |
| 2024-05-21 | SUMMONS Returned Executed by FCA US LLC as to The Partnerships and Unincorporated Associations Identified on Schedule A on 5/21/2024, answer due 6/11/2024. |
| 2024-05-21 | MEMORANDUM by FCA US LLC in support of motion for preliminary injunction 24 |
| 2024-05-21 | MOTION by Plaintiff FCA US LLC for preliminary injunction as to certain Defendants |
| 2024-05-15 | SURETY BOND in the amount of $ 10,000 posted by FCA US LLC. (Document not Imaged) |
| 2024-05-10 | Registry Deposit Information Form by FCA US LLC |
| 2024-05-10 | [封存] SEALED TEMPORARY RESTRAINING ORDER signed by the Honorable John F. Kness on 5/10/2024. |
| 2024-05-10 | [封存] 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 11, and motion for electronic service of process 16 are granted in part. Plaintiff's submissions (e.g., Dkt. 13, 14) 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 15. 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, Plaintiff's filings support proceeding (for the time being) on an ex parte basis under FRCP 65(b) |
| 2024-01-04 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 17 |
| 2024-01-04 | MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief 16 |
| 2024-01-04 | MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2024-01-04 | SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 - Parts 1-6 regarding declaration 14 |
| 2024-01-04 | DECLARATION of Thomas H. Hipelius regarding memorandum in support of motion 12 |
| 2024-01-04 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 12 |
| 2024-01-04 | MEMORANDUM by FCA US LLC in support of motion for temporary restraining order 11 |
| 2024-01-04 | MOTION by Plaintiff FCA US LLC for temporary restraining order Including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery |
| 2024-01-03 | ATTORNEY Appearance for Plaintiff FCA US LLC by Kahlia Roe Halpern |
| 2024-01-03 | ATTORNEY Appearance for Plaintiff FCA US LLC by Amy Crout Ziegler |
| 2024-01-03 | ATTORNEY Appearance for Plaintiff FCA US LLC by Justin R. Gaudio |
| 2024-01-03 | Notice of Claims Involving Trademarks by FCA US LLC |
| 2024-01-03 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by FCA US LLC |
| 2024-01-03 | CIVIL Cover Sheet |
| 2024-01-03 | MOTION by Plaintiff FCA US LLC for leave to file under seal |
| 2024-01-03 | [封存] SEALED EXHIBIT by Plaintiff FCA US LLC Schedule A regarding complaint[1] |
| 2024-01-03 | ATTORNEY Appearance for Plaintiff FCA US LLC by Berel Yonathan Lakovitsky |
| 2024-01-03 | COMPLAINT filed by FCA US LLC; Filing fee $ 405, receipt number AILNDC-21482025. |
先核对信息,再决定下一步
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。

