最近更新:2026-08-18
更新 🌐 翻译

1:25-cv-08174

Nike, Inc. v. The Partnerships and Unincorporated Associations Identified On Schedule "A"

日期:2025-07-17

法院:N.D.Ill(芝加哥)

品牌:Nike 耐克

律所:Arnold & Porter Kaye Scholer LLP

日期 描述
2025-11-06 MAILED Closing Trademark report to Patent Trademark Office, Alexandria VA.
2025-11-05 MINUTE entry before the Honorable Sunil R. Harjani: Pursuant to Plaintiff's notice of voluntary dismissal 44 and Fed. R. Civ. P. 41(a)(1)(A)(i), this matter is dismissed without prejudice as to the defendant with each party to bear its own costs and fees. All pending motions, hearings, and deadlines are stricken. Civil case terminated. Mailed notice
2025-11-04 NOTICE of Voluntary Dismissal by Nike, Inc.
2025-10-24 MINUTE entry before the Honorable Sunil R. Harjani: Plaintiff's Motion to Extend the Temporary Restraining Order 40 is granted. For the reasons stated in Plaintiff's Memorandum 40, the Court finds good cause to extend the temporary restraining order an additional 14 days to 11/11/2025. Plaintiff shall file a preliminary injunction motion if appropriate no later than 11/4/2025. Telephone status hearing set for 10/28/2025 is stricken and reset to 11/11/2025 at 9:15 a.m. Mailed notice
2025-10-22 SURETY BOND in the amount of $ 10,000.00 posted by Nike, Inc.
2025-10-22 MINUTE entry before the Honorable Sunil R. Harjani: Plaintiff did not post the $10,000 bond as ordered by the Court. See Doc. 39. By 10/24/2025, Plaintiff shall post the required $10,000 bond with the Clerk of the Court. Mailed notice
2025-10-21 MOTION by Plaintiff Nike, Inc.Extend Temporary Restraining Order
2025-10-14 [封存] SEALED TEMPORARY RESTRAINING ORDER. Signed by the Honorable Sunil R. Harjani on 10/14/2025. Mailed notice
2025-10-14 MINUTE entry before the Honorable Sunil R. Harjani: Plaintiff's motions for leave to file under seal 28 34, ex parte motion for a temporary restraining order, including a temporary injunction, a temporary asset restraint, and expedited discovery 29, and motion for electronic service of process 35 are granted. Plaintiff's submissions establish that were defendant to learn of these proceedings before the execution of plaintiff's requested preliminary injunctive relief, there is a significant risk that defendant 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 file under seal the documents identified in the motions to seal. 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 on an ex parte basis at this time. Specif
2025-10-13 DECLARATION of Michael J. Harris regarding memorandum in support of motion 36
2025-10-13 MEMORANDUM by Nike, Inc. in support of motion for miscellaneous relief 35
2025-10-13 MOTION by Plaintiff Nike, Inc.Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
2025-10-13 MOTION by Plaintiff Nike, Inc. for leave to file under seal document exhibit 33
2025-10-13 SEALED EXHIBIT by Plaintiff Nike, Inc. Exhibit 2 regarding declaration 32
2025-10-13 DECLARATION of Joe Pallett regarding memorandum in support of motion 30
2025-10-13 DECLARATION of Michael J. Harris regarding memorandum in support of motion 30
2025-10-13 MEMORANDUM in Support of Plaintiff's Ex Parte Motion for Entry of a Temporary Restraining Order, Including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery
2025-10-13 MOTION by Plaintiff Nike, Inc. for temporary restraining order including a temporary injunction, a temporary asset restraint, and expedited discovery
2025-10-13 MOTION by Plaintiff Nike, Inc. for leave to file under seal
2025-10-13 SEALED EXHIBIT by Plaintiff Nike, Inc. Schedule A regarding complaint 1
2025-09-30 ORDER Signed by the Honorable Sunil R. Harjani on 9/30/2025. Mailed notice
2025-09-30 MINUTE entry before the Honorable Sunil R. Harjani: The Court has reviewed the plaintiff's memorandum on joinder 22. For the reasons stated in the attached Order, the Court determines, within its discretion, that plaintiff has failed to satisfy its burden to show that joinder of 83 defendants is proper in this matter under Fed. R. Civ. P. 20(a)(2). Accordingly, the Court dismisses defendant Nos. 2-83 without prejudice. The case will proceed against defendant No. 1. If plaintiff files a new action against defendants Nos. 2-83, plaintiff shall indicate on the Civil Cover Sheet that the filed case is related to this matter. See Local Rule 40.3(b)(2). Accordingly, plaintiff's motion for temporary restraining order 12, and motion for electronic service of process 18 are denied without prejudice. Plaintiff's motions for leave to file under seal 9 17 24 are granted. Plaintiff is granted leave to file an amended complaint in accordance with this Order by 10/14/2025. Status hearing set for 10/7
2025-08-12 MOTION by Plaintiff Nike, Inc. to seal document exhibit 23 Declaration of Aaron P. Bowling and Exhibits A and C
2025-08-12 SEALED EXHIBIT by Plaintiff Nike, Inc. Declaration of Aaron P. Bowling regarding memorandum, 22
2025-08-12 MEMORANDUM set/reset hearings, 21 by Nike, Inc. Memorandum Establishing That Joinder Is Proper
2025-07-29 MINUTE entry before the Honorable Sunil R. Harjani: Plaintiff's motions for leave to file under seal 9 17, plaintiff's motion for temporary restraining order 12, and plaintiff's motion for electronic service of process 18 are entered and continued. Upon review of the complaint and the TRO submissions, the Court sua sponte raises the proprietary of joinder of 83 defendants in this case. See, e.g., Estee Lauder Cosmetics Ltd. v. Schedule A, 334 F.R.D. 182 (N.D. Ill. 2020). By 8/12/2025, plaintiff shall file a supplemental memorandum addressing the propriety of joinder in light of the principles described in Estee Lauder. In the alternative, plaintiff has leave to file an amended complaint with a single defendant or a smaller subset of defendants along with its memorandum explaining specifically why each defendant is properly joined to all of the others. Estee Lauder, 334 F.R.D. at 189. A telephone status hearing is set for 10/7/2025 at 9:15 a.m. The call-in number is (855) 244-8681 and t
2025-07-22 DECLARATION of Michael J. Harris regarding memorandum in support of motion 19
2025-07-22 MEMORANDUM by Nike, Inc. in support of motion for miscellaneous relief 18
2025-07-22 MOTION by Plaintiff Nike, Inc.Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
2025-07-22 MOTION by Plaintiff Nike, Inc. to seal document exhibit, 16
2025-07-22 SEALED EXHIBIT by Plaintiff Nike, Inc. Exhibit 2 - Parts 1-22 regarding declaration 15
2025-07-22 DECLARATION of Joe Pallett regarding memorandum in support of motion 13
2025-07-22 DECLARATION of Michael J. Harris regarding memorandum in support of motion 13
2025-07-22 MEMORANDUM by Nike, Inc. in support of motion for temporary restraining order 12
2025-07-22 MOTION by Plaintiff Nike, Inc. for temporary restraining order including a temporary injunction, a temporary asset restraint, and expedited discovery
2025-07-18 MAILED to plaintiff(s) counsel Lanham Mediation Program materials
2025-07-18 MAILED trademark report to Patent Trademark Office, Alexandria VA
2025-07-17 MOTION by Plaintiff Nike, Inc. to seal document exhibit 8
2025-07-17 SEALED EXHIBIT by Plaintiff Nike, Inc. Schedule A regarding complaint 1
2025-07-17 Notice of Claims Involving Trademarks by Nike, Inc.
2025-07-17 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by All Plaintiffs
2025-07-17 ATTORNEY Appearance for Plaintiff Nike, Inc. by Kathleen Duffy Lichtenstein (Duffy Lichtenstein, Kathleen)
2025-07-17 ATTORNEY Appearance for Plaintiff Nike, Inc. by Aaron Patrick Bowling
2025-07-17 ATTORNEY Appearance for Plaintiff Nike, Inc. by Michael J Harris
2025-07-17 CIVIL Cover Sheet
2025-07-17 COMPLAINT filed by Nike, Inc.; Filing fee $ 405, receipt number AILNDC-23764831.

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。

下载文件请联系电话或者加微信


在线客服 7×24 小时应答
Allen说懂TRO 客服微信二维码
扫码加客服微信 · 免费咨询
微信 MkAllenTRO
电话 18582579770