1:24-cv-11186
| 日期 | 描述 |
|---|---|
| 2025-02-25 | FINAL JUDGMENT ORDER: Signed by the Honorable Franklin U. Valderrama on 2/25/2025. Mailed notice. |
| 2025-02-25 | MINUTE entry before the Honorable Franklin U. Valderrama: Plaintiff's Motion for Entry of Default and Default Judgment against the Defendants Identified in Schedule A 49 is granted. Enter Final Judgment Order. Plaintiff's motion for preliminary injunction 38 is terminated as moot. Civil case terminated. Mailed notice. |
| 2025-02-13 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 50 |
| 2025-02-13 | MEMORANDUM by FCA US LLC in support of motion for entry of default, motion for default judgment 49 |
| 2025-02-13 | MOTION by Plaintiff FCA US LLC for entry of default, MOTION by Plaintiff FCA US LLC for default judgment as to all Defendants |
| 2025-02-13 | STATUS Report per 42 by FCA US LLC |
| 2025-02-07 | MINUTE entry before the Honorable Franklin U. Valderrama: Before the Court is Plaintiff's motion for entry of default 44. Plaintiff claims that "[t]he answer deadline has passed." R. 45 at 4 (citing Fed. R. Civ. P. 12(a)(1)(A)). Rule 12(a)(1)(A) provides for 21 days from the date of service for a defendant to answer or otherwise plead. Here, Defendant was served on 1/21/2025. R. 41. Defendant's answer is therefore not due until 2/11/2025 (which is clearly reflected on the docket), meaning Defendant is not currently in default. Id. The Court therefore denies Plaintiff's motion 44. Mailed notice. |
| 2025-02-06 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[45] |
| 2025-02-06 | MEMORANDUM by FCA US LLC in support of motion for entry of default, motion for default judgment[44] |
| 2025-02-06 | MOTION by Plaintiff FCA US LLC for entry of default, MOTION by Plaintiff FCA US LLC for default judgment as to all Defendants |
| 2025-01-23 | CERTIFICATE of Service by Plaintiff FCA US LLC regarding set deadlines, 42 |
| 2025-01-22 | MINUTE entry before the Honorable Franklin U. Valderrama: Before the Court is Plaintiff's motion for entry of a preliminary injunction [38]. The Court has taken the motion for a preliminary injunction under advisement and will consider the motion unopposed Defendant does not appear or object by or before 2/12/2025. If no objection is filed by that date, the Court will consider the motion unopposed by Defendant. Plaintiff is directed to file a status report on 2/13/2025 as to whether the preliminary injunction is opposed or not. Plaintiff must serve this minute order upon Defendant within one business day of its entry on the docket and must file proof of that service within two business days after service. Mailed notice. |
| 2025-01-21 | SUMMONS Returned Executed by FCA US LLC as to The Partnerships and Unincorporated Associations Identified on Schedule A on 1/21/2025, answer due 2/11/2025. |
| 2025-01-21 | DECLARATION of Berel Y. Lakovitsky regarding memorandum in support of motion[39] |
| 2025-01-21 | MEMORANDUM by FCA US LLC in support of motion for preliminary injunction[38] |
| 2025-01-21 | MOTION by Plaintiff FCA US LLC for preliminary injunction |
| 2025-01-13 | DECLARATION of Justin R. Gaudio |
| 2025-01-09 | ATTORNEY Appearance for Plaintiff FCA US LLC by Yu Hin Jeffrey Tsai (Tsai, Yu Hin) |
| 2025-01-08 | [封存] SEALED TEMPORARY RESTRAINING ORDER: Signed by the Honorable Franklin U. Valderrama on 1/8/2025. Mailed notice. |
| 2025-01-08 | MINUTE entry before the Honorable Franklin U. Valderrama: For the reasons stated in the motions, the Court grants Plaintiff's motion for a temporary restraining order [26], and motion for electronic service of process [31]. Provided that Plaintiff provides the security described in paragraph 9 of the temporary restraining order, the temporary restraining order shall become effective on 1/13/2025 at 6:00 p.m. and shall expire in fourteen (14) days from the effective date. Mailed notice. |
| 2025-01-07 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[32] |
| 2025-01-07 | MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief[31] |
| 2025-01-07 | MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2025-01-07 | [封存] SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 regarding declaration[29] |
| 2025-01-07 | DECLARATION of Thomas H. Hipelius regarding memorandum in support of motion[27] |
| 2025-01-07 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[27] |
| 2025-01-07 | MEMORANDUM by FCA US LLC in support of motion for temporary restraining order[26] |
| 2025-01-07 | MOTION by Plaintiff FCA US LLC for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery |
| 2025-01-07 | [封存] SEALED EXHIBIT by Plaintiff FCA US LLC Schedule A regarding amended complaint[24] |
| 2025-01-07 | AMENDED complaint by FCA US LLC against The Partnerships and Unincorporated Associations Identified on Schedule A |
| 2025-01-02 | ORDER: Signed by the Honorable Franklin U. Valderrama on 1/2/2025. Mailed notice. |
| 2025-01-02 | MINUTE entry before the Honorable Franklin U. Valderrama: For the reasons in the accompanying Order, the Court finds that Defendants in this case are not properly joined. Therefore, the complaint is dismissed without prejudice. By January 14, 2025, Plaintiff is directed to amend its complaint to eliminate all improperly joined defendants. If the amended complaint names more than one defendant, Plaintiff must simultaneously file a memorandum explaining why joinder of those defendants is proper. Plaintiff's motion for leave to file under seal, R. 3, is granted, but all other pending motions 11, 16 are denied as moot. Mailed notice. |
| 2024-12-27 | 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 quest |
| 2024-10-31 | DECLARATION of Justin R. Gaudio regarding memorandum 19 |
| 2024-10-31 | MEMORANDUM by FCA US LLC Establishing that Joinder is Proper |
| 2024-10-31 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 17 |
| 2024-10-31 | MEMORANDUM by FCA US LLC in support of motion for miscellaneous relief 16 |
| 2024-10-31 | MOTION by Plaintiff FCA US LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2024-10-31 | SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 - Parts 1-2 regarding declaration 14 |
| 2024-10-31 | DECLARATION of Thomas H. Hipelius regarding memorandum in support of motion 12 |
| 2024-10-31 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 12 |
| 2024-10-31 | MEMORANDUM by FCA US LLC in support of motion for temporary restraining order 11 |
| 2024-10-31 | MOTION by Plaintiff FCA US LLC for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery |
| 2024-10-30 | ATTORNEY Appearance for Plaintiff FCA US LLC by Kahlia Roe Halpern |
| 2024-10-30 | ATTORNEY Appearance for Plaintiff FCA US LLC by Amy Crout Ziegler |
| 2024-10-30 | ATTORNEY Appearance for Plaintiff FCA US LLC by Justin R. Gaudio |
| 2024-10-30 | Notice of Claims Involving Trademarks by FCA US LLC |
| 2024-10-30 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by FCA US LLC |
| 2024-10-30 | CIVIL Cover Sheet |
| 2024-10-30 | MOTION by Plaintiff FCA US LLC for leave to file under seal |
| 2024-10-30 | [封存] SEALED EXHIBIT by Plaintiff FCA US LLC Schedule A regarding complaint[1] |
| 2024-10-30 | ATTORNEY Appearance for Plaintiff FCA US LLC by Berel Yonathan Lakovitsky |
| 2024-10-30 | COMPLAINT filed by FCA US LLC; Filing fee $ 405, receipt number AILNDC-22671114. |
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