1:26-cv-05064
| 日期 | 描述 |
|---|---|
| 2026-05-06 | MINUTE entry before the Honorable John Robert Blakey: The Court grants Plaintiff's motion to seal 5 but reminds counsel that all motions must be noticed for presentment. Additionally, if, as indicated, Plaintiff plans to pursue expedited discovery, it must ensure that it has a good faith factual and legal basis for its jurisdictional allegations and can fairly represent that defendant has, in fact, shipped infringing products to residents of Illinois, and not just in connection with Plaintiff's test buys. See, e.g., uBID, Inc. v. The GoDaddy Group, Inc., 623 F.3d 421 (7th Cir. 2010) (instructing that a "defendant's deliberate and continuous exploitation of the market in a forum state, accomplished through its website as well as through other contacts with the state, can be sufficient to establish specific personal jurisdiction."); Advanced Tactical Ordnance Sys., LLC v. Real Action Paintball, Inc., 751 F.3d 796, 803 (7th Cir. 2014) (cautioning that "if havi |
| 2026-05-01 | MOTION by Plaintiff Juanren Wu to seal document sealed document 4 |
| 2026-05-01 | SEALED DOCUMENT by Plaintiff Juanren Wu Schedule A to the Complaint |
| 2026-05-01 | CIVIL Cover Sheet |
| 2026-05-01 | ATTORNEY Appearance for Plaintiff Juanren Wu by William Jeffrey Hausman |
| 2026-05-01 | (Exhibit 4 - Department of Homeland Security Report) |
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