最近更新:2026-08-18
更新 🌐 翻译

1:25-cv-13307

Crye Precision LLC v. The Partnerships and Unincorporated Associations Identified on Schedule A (ilnd-1:2025-cv-13307)

日期:2025-10-30

法院:N.D.Ill(芝加哥)

品牌:Crye Precision

律所:GBC

日期 描述
2026-01-05 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
2025-12-31 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
2025-12-30 MAILED copyright report with order dated 12/29/2025 to Registrar, Washington DC
2025-12-30 MAILED trademark report with order dated 12/29/2025 to Patent Trademark Office, Alexandria VA
2025-12-29 MINUTE entry before the Honorable Sharon Johnson Coleman: Pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(i), this case is dismissed without prejudice. Status hearing set for 1/7/2026 is stricken. Civil case terminated. Mailed notice.
2025-12-26 NOTICE of Voluntary Dismissal by Crye Precision LLC
2025-12-02 SUMMONS Returned Executed by Crye Precision LLC as to A17W976Q9Q1NH4 on 12/2/2025, answer due 12/23/2025.
2025-11-20 [封存] SUMMONS Issued (Court Participant) as to Defendant A17W976Q9Q1NH4.
2025-11-18 SUMMONS Submitted (Court Participant) for defendant(s) A17W976Q9Q1NH4 by Plaintiff Crye Precision LLC
2025-11-18 ORDER. Signed by the Honorable Sharon Johnson Coleman on 11/18/2025. Mailed notice.
2025-11-18 MINUTE entry before the Honorable Sharon Johnson Coleman: Motion hearing held on 11/18/2025. Plaintiff's motion for expedited discovery [26] and motion for electronic service of process [27] are granted. Enter Order. An in-person status hearing is set for 1/7/2026 at 10:00 AM. Mailed notice.
2025-11-11 NOTICE of Motion by Justin R. Gaudio for presentment of motion for miscellaneous relief[27], motion for discovery[26] before Honorable Sharon Johnson Coleman on 11/18/2025 at 10:00 AM.
2025-11-11 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[28]
2025-11-11 MEMORANDUM by Crye Precision LLC in support of motion for miscellaneous relief[27]
2025-11-11 MOTION by Plaintiff Crye Precision LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
2025-11-11 MOTION by Plaintiff Crye Precision LLC for discovery Expedited
2025-11-11 CIVIL Cover Sheet
2025-11-10 MINUTE entry before the Honorable Sharon Johnson Coleman: Because it does not appear that Plaintiff has shown it has jurisdiction and no evidence is shown that the infringing product was shipped and delivered in Illinois, the Court denies Plaintiff's motion for expedited discovery [19] and motion for electronic service of process [20] without prejudice. Presentment set for 11/18/2025 is stricken. Mailed notice.
2025-11-06 NOTICE of Motion by Justin R. Gaudio for presentment of motion for discovery[19], motion for miscellaneous relief[20] before Honorable Sharon Johnson Coleman on 11/18/2025 at 10:00 AM.
2025-11-06 DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[21]
2025-11-06 MEMORANDUM by Crye Precision LLC in support of motion for miscellaneous relief 20
2025-11-06 MOTION by Plaintiff Crye Precision LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
2025-11-06 MOTION by Plaintiff Crye Precision LLC for discovery Expedited
2025-10-31 MINUTE entry before the Honorable Sharon Johnson Coleman: Pursuant to the notice of withdrawal 17, Plaintiff's motion for leave to file under seal 4 is withdrawn. Mailed notice.
2025-10-31 Notice of Withdrawal of Plaintiff's Motion for Leave to File Under Seal by Crye Precision LLC
2025-10-31 AMENDED complaint by Crye Precision LLC against A17W976Q9Q1NH4 and terminating The Partnerships and Unincorporated Associations Identified on Schedule A
2025-10-31 MAILED copyright report to Registrar, Washington DC.
2025-10-31 MAILED to plaintiff(s) counsel Lanham Mediation Program materials.
2025-10-31 MAILED trademark report to Patent Trademark Office, Alexandria VA.
2025-10-31 MINUTE entry before the Honorable Sharon Johnson Coleman: This case has been assigned to the calendar of Judge Sharon Johnson Coleman. Plaintiff has filed a complaint alleging infringement by 11 defendants. This case follows a pattern common to "Schedule A" cases where plaintiffs allege that defendants employ similar methods and "work in active concert" to infringe plaintiffs' intellectual property. But experience has shown that not all defendants named in a Schedule A case work together. More importantly, experience has shown that joinder under Fed. R. Civ. P. 19 and 20 is rarely appropriate in Schedule A cases. Accordingly, the Court raises the propriety of joinder and requires the plaintiff to file a supplemental memorandum addressing the propriety of joinder at least 7 days before the filing of the motion for temporary restraining order. Alternatively, by the same date, Plaintiff may file an amended complaint and amended Schedule A reducing the number of defendants. However, if Pla
2025-10-30 ATTORNEY Appearance for Plaintiff Crye Precision LLC by Amy Crout Ziegler
2025-10-30 ATTORNEY Appearance for Plaintiff Crye Precision LLC by Justin R. Gaudio
2025-10-30 Notice of Claims Involving Trademarks by Crye Precision LLC
2025-10-30 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Crye Precision LLC
2025-10-30 CIVIL Cover Sheet
2025-10-30 MOTION by Plaintiff Crye Precision LLC for leave to file under seal
2025-10-30 SEALED EXHIBIT by Plaintiff Crye Precision LLC Exhibit 3 regarding complaint 1
2025-10-30 [封存] SEALED EXHIBIT by Plaintiff Crye Precision LLC Schedule A regarding complaint 1
2025-10-30 ATTORNEY Appearance for Plaintiff Crye Precision LLC by Madeline Halgren
2025-10-30 ATTORNEY Appearance for Plaintiff Crye Precision LLC by Kahlia Roe Halpern
2025-10-30 COMPLAINT filed by Crye Precision LLC; Filing fee $ 405, receipt number AILNDC-24280374.

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