1:25-cv-06598
| 日期 | 描述 |
|---|---|
| 2025-09-08 | MINUTE entry before the Honorable Martha M. Pacold: The court has received Plaintiff's Notice of Dismissal, 31. This dismissal took effect without court intervention. See Fed.R.Civ.P. 41(a)(1)A)(i); Waetzig v. Haliburton Energy Servs., 145 S. Ct. 690, 694 (2025). All pending motions, 23, 29, 30, are stricken as moot. Civil case terminated. |
| 2025-09-02 | NOTICE of Voluntary Dismissal by NBA Properties, Inc. as to Defendant thejerseylocker.com |
| 2025-08-22 | MOTION by Plaintiff NBA Properties, Inc. to Extend Pending Deadlines - Agreed (Corrected) |
| 2025-08-22 | MOTION by Plaintiff NBA Properties, Inc. for extension of time and to Enter Deadline to Oppose Motion for the Entry of Default and Default Judgment - Unopposed |
| 2025-08-07 | MINUTE entry before the Honorable Martha M. Pacold: Plaintiff is directed to file a supplemental brief (not to exceed 10 pages) by 8/22/2025, explaining the basis for personal jurisdiction over defendant. On 7/21/2025, plaintiff moved for entry of default and default judgment against defendant. 23. "Before a court can enter a default judgment, however, it must be satisfied that it has personal jurisdiction over the defendants." Simonsen v. Bd. of Educ. of City of Chicago, No. 01 C 3081, 2002 WL 230777, at *15 (N.D. Ill. Feb. 14, 2002) (citation omitted). That is because "this Court cannot enter a default judgment against a party over whom it lacks personal jurisdiction." Pardo v. Mecum Auction, Inc., No. 12 C 08410, 2014 WL 627690, at *8 (N.D. Ill. Feb. 18, 2014); see also Deckers Outdoor Corp. v. Does 1-55, No. 11-cv-10, 2011 WL 2036454, at *2 (N.D. Ill. May 24, 2011) ("To enter a default judgment against one or more of the Defendants, the Court must have personal jurisdiction." (citi |
| 2025-07-31 | MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for extension of time, [26], is granted. Any defendant objecting to plaintiff's motion for entry of default and default judgment, [23], must enter an appearance and file a written objection by 8/22/2025. If no objections are filed, the court will consider the motion unopposed. Plaintiff shall serve defendants with this notice. |
| 2025-07-30 | MOTION by Plaintiff NBA Properties, Inc. for extension of time and to Enter Deadline to Oppose Motion for the Entry of Default and Default Judgment - Unopposed |
| 2025-07-21 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[24] |
| 2025-07-21 | MEMORANDUM by NBA Properties, Inc. in support of motion for entry of default, motion for default judgment, [23] |
| 2025-07-21 | MOTION by Plaintiff NBA Properties, Inc. for entry of default as to thejerseylocker.com and the Individuals and Entities Operating thejerseylocker.com, MOTION by Plaintiff NBA Properties, Inc. for default judgment as to thejerseylocker.com and the Individuals and Entities Operating thejerseylocker.com |
| 2025-06-24 | SUMMONS Returned Executed by NBA Properties, Inc. as to The Individuals and Entities Operating thejerseylocker.com on 6/24/2025, answer due 7/15/2025; thejerseylocker.com on 6/24/2025, answer due 7/15/2025. |
| 2025-06-24 | ATTORNEY Appearance for Plaintiff NBA Properties, Inc. by Justin Tyler Joseph |
| 2025-06-24 | [封存] SUMMONS Issued (Court Participant) as to Defendants thejerseylocker.com and the Individuals and Entities Operating thejerseylocker.com |
| 2025-06-24 | SUMMONS Submitted (Court Participant) for defendant(s) thejerseylocker.com and the Individuals and Entities Operating thejerseylocker.com by Plaintiff NBA Properties, Inc. |
| 2025-06-24 | ORDER for Electronic Service of Process Signed by the Honorable Martha M. Pacold on 6/24/2025: |
| 2025-06-20 | MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for electronic service of process, [14], is granted. The court finds that electronic service of process is proper under Fed. R. Civ. P. 4(f)(3). Electronic service of process does not violate any treaty and is consistent with due process because it effectively communicates the pendency of this action to defendants. |
| 2025-06-17 | DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[15] |
| 2025-06-17 | MEMORANDUM by NBA Properties, Inc. in support of motion for miscellaneous relief[14] |
| 2025-06-17 | MOTION by Plaintiff NBA Properties, Inc. for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) |
| 2025-06-17 | EXHIBIT by Plaintiff NBA Properties, Inc. Amended Schedule A regarding amended complaint, [12] |
| 2025-06-17 | AMENDED complaint by NBA Properties, Inc. against thejerseylocker.com, The Individuals and Entities Operating thejerseylocker.com and terminating The Partnerships and Unincorporated Associations Identified on Schedule A |
| 2025-06-16 | MAILED to plaintiff(s) counsel Lanham Mediation Program materials |
| 2025-06-13 | ATTORNEY Appearance for Plaintiff NBA Properties, Inc. by Kahlia Roe Halpern |
| 2025-06-13 | ATTORNEY Appearance for Plaintiff NBA Properties, Inc. by Allyson M. Martin |
| 2025-06-13 | ATTORNEY Appearance for Plaintiff NBA Properties, Inc. by Amy Crout Ziegler |
| 2025-06-13 | ATTORNEY Appearance for Plaintiff NBA Properties, Inc. by Justin R. Gaudio |
| 2025-06-13 | Notice of Claims Involving Trademarks by NBA Properties, Inc. |
| 2025-06-13 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by NBA Properties, Inc. |
| 2025-06-13 | CIVIL Cover Sheet |
| 2025-06-13 | EXHIBIT by Plaintiff NBA Properties, Inc. Schedule A regarding complaint[1] |
| 2025-06-13 | MAILED trademark report to Patent Trademark Office, Alexandria VA |
| 2025-06-13 | COMPLAINT filed by NBA Properties, Inc.; Filing fee $ 405, receipt number AILNDC-23623241. |
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