最近更新:2026-08-18
更新 🌐 翻译

1:26-cv-02457

Robert Bosch LLC v. The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified On Schedule A Hereto

日期:2026-03-05

法院:N.D.Ill(芝加哥)

品牌:BOSCH 博世

律所:HSP

日期 描述
2026-06-15 MAILED closing Trademark report to Patent Trademark Office, Alexandria VA
2026-06-12 MINUTE entry before the Honorable Martha M. Pacold: The court has received plaintiff's Notice of Voluntary Dismissal, 29. 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). Plaintiff's outstanding motion 24 for default judgment is accordingly denied as moot. Civil case terminated. Mailed notice.
2026-06-10 NOTICE of Voluntary Dismissal by Robert Bosch LLC Plaintiff's Notice of Voluntary Dismissal as to Defendant No. 9
2026-06-09 MINUTE entry before the Honorable Martha M. Pacold: By 7/15/2026, plaintiff shall provide a supplemental brief and/or supplemental evidence on whether the court has personal jurisdiction over defendant. In its memorandum of law supporting default judgment, plaintiff contends that the court has personal jurisdiction because defendant operates a "fully interactive commercial Internet website and online marketplace" that "offers shipping to the United States, including Illinois and has sold Counterfeit/Infringing Products to residents within the United States, including Illinois." 25 at 3-4. Generally speaking, merely operating an interactive website accessible in a state is insufficient to establish personal jurisdiction. See be2 LLC v. Ivanov, 642 F.3d 555, 55859 (7th Cir. 2011). Notwithstanding that, the Seventh Circuit has found the existence of specific personal jurisdiction in trademark, copyright, and patent infringement suits against online retailers w
2026-05-20 MINUTE entry before the Honorable Martha M. Pacold: By 6/6/2026, defendant shall show cause as to why default should not be entered and as to why default judgment should not be entered. Plaintiff shall serve this order on defendant and file a certificate of service. Mailed notice.
2026-05-19 (Exhibit Hierl Exhibit 1)
2026-05-19 (Exhibit 2)
2026-05-19 MOTION by Plaintiff Robert Bosch LLC for default judgment as to Plaintiff's Motion for Entry of Default and Default Judgment Against Defendant
2026-05-19 CERTIFICATE of Service by Elizabeth Aubree Miller on behalf of Robert Bosch LLC
2026-04-23 CERTIFICATE of Service by Elizabeth Aubree Miller on behalf of Robert Bosch LLC
2026-04-23 SUMMONS Returned Executed by Robert Bosch LLC as to The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified on Schedule A Hereto on 4/22/2026, answer due 5/13/2026.
2026-04-21 [封存] SUMMONS Issued (Court Participant) as to Defendant The Individuals, Corporations, Limited Liability Companies, Partnerships, and Unincorporated Associations Identified on Schedule A Hereto
2026-04-20 MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion, 18, is granted. The Clerk is directed to issue a single original summons in the name of "MARK". Mailed notice.
2026-04-16 MOTION by Plaintiff Robert Bosch LLC Plaintiff's Motion to Direct the Clerk of the Court to Issue a Summons
2026-04-09 MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion 16 for electronic service of process is granted. While a preferable means of service, the court is cognizant of the fact that physical service is not always possible. In this case, Plaintiff certifies that it has attempted, but has been unable, to obtain a physical address for defendant. In such a circumstance, a less preferable form of service is permissible. Service via email is "reasonably calculated" to be received by defendant, and it is thus adequate in this case. Mullane v. Cent. Hanover Bank & Tr. Co., 339 U.S 306, 319 (1950). What's more, service via email is not barred under Fed. R. Civ. P. 4. Thus, plaintiff may serve process via email. Mailed notice.
2026-04-07 MOTION by Plaintiff Robert Bosch LLC Plaintiff's Motion for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)
2026-03-16 MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion to conduct expedited discovery, 14, is granted subject to the following limitations. Upon Plaintiff's request, any third party with actual notice of this Order who is providing services for the Defendant, or in connection with the Defendant Internet Store, including, without limitation, any online marketplace platforms such as Amazon.com, Inc. ("Amazon") (the "Third Party Providers"), shall, within fourteen (14) calendar days after receipt of such notice, provide to Plaintiff expedited discovery, limited to copies of documents and records in such person's or entity's possession or control sufficient to determine: the identities and locations of Defendant, its officers, agents, servants, employees, attorneys, and any persons acting in active concert or participation with them, including all known contact information and all associated e-mail addresses. Mailed notice.
2026-03-12 MOTION by Plaintiff Robert Bosch LLC to expedite Plaintiff's Motion for Expedited Discovery
2026-03-09 MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion 8 to proceed under seal and for ex parte relief is denied. Proceeding under seal and ex parte relief is extraordinary. Plaintiff has not identified circumstances warranting such extraordinary relief. See generally Eicher Motors Ltd. v. P'ships & Unincorporated Ass'ns Identified on Schedule "A", No. 25-CV-02937, 2025 WL 2299593 (N.D. Ill. Aug. 8, 2025). Mailed notice.
2026-03-06 MAILED to plaintiff(s) counsel Lanham Mediation Program materials
2026-03-06 MAILED trademark report to Patent Trademark Office, Alexandria VA
2026-03-05 [封存] SEALED DOCUMENT by Plaintiff Robert Bosch LLC Sealed Schedule A
2026-03-05 MOTION by Plaintiff Robert Bosch LLC to seal document Plaintiff's Motion for Leave to File Under Seal
2026-03-05 ATTORNEY Appearance for Plaintiff Robert Bosch LLC by Elizabeth Aubree Miller
2026-03-05 ATTORNEY Appearance for Plaintiff Robert Bosch LLC by John Wilson
2026-03-05 ATTORNEY Appearance for Plaintiff Robert Bosch LLC by Robert Payton Mcmurray
2026-03-05 ATTORNEY Appearance for Plaintiff Robert Bosch LLC by William Benjamin Kalbac
2026-03-05 ATTORNEY Appearance for Plaintiff Robert Bosch LLC by Michael A. Hierl
2026-03-05 CIVIL Cover Sheet
2026-03-05 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Robert Bosch LLC
2026-03-05 (Exhibit 1)

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