1:26-cv-07339
| 日期 | 描述 |
|---|---|
| 2026-06-26 | MINUTE entry before the Honorable April M. Perry: The Court acknowledges receipt of the amended complaint [13]. Given that Defendant appears to be a Chinese corporation, Plaintiff is directed to file by 7/17/26 a status report addressing how it plans to effectuate service upon Defendant in light of Kangol LLC v. Hangzhou Chuanyue Silk Imp. & Exp. Co., No. 25-2205, 2026 WL 1502198 (7th Cir. May 29, 2026). To the extent Plaintiff intends to file a request for service via electronic means, Plaintiff must ensure the request for electronic service complies with the Seventh Circuit's recent decision in Kangol. Plaintiff must support any such motion with sworn affidavits and legal authority, so the Court may determine whether Plaintiff has made reasonably diligent efforts to ascertain and verify Defendant's address. For example, courts have found that searching the internet, calling known phone numbers, and conducting intensive investigations using multiple method |
| 2026-06-25 | Exhibit 3 |
| 2026-06-24 | MINUTE entry before the Honorable April M. Perry: Plaintiff's Motion to Seal [4] is granted. As it appears that the case filed is a "Schedule A" case, Plaintiff is directed to the Court's standing order on its website directing the filing of the Court's Schedule A Template within 14 days. Upon review of the complaint, the Court sua sponte raises the propriety under Federal Rule of Civil Procedure 20(a)(2) of joining seventy-three defendants to this action. See, e.g., Estee Lauder Cosmetics Ltd. v. Partnerships & Unincorporated Associations Identified on Schedule A, 334 F.R.D. 182 (N.D. Ill. 2020). Plaintiff should reference this Court's opinion in Zaful v. Schedule A Defs., 24-cv-11111, Doc. 12 (N.D. Ill. Jan. 10, 2025), where the Court expressed its views on joinder in Schedule A cases. By 7/8/26, Plaintiff must file a supplemental memorandum addressing the propriety of joinder in light of the above cases and describing why each defendant is properly joine |
| 2026-06-23 | ATTORNEY Appearance for Plaintiff FCA US LLC by Amy Crout Ziegler |
| 2026-06-23 | ATTORNEY Appearance for Plaintiff FCA US LLC by Justin R. Gaudio |
| 2026-06-23 | Notice of Claims Involving Trademarks by FCA US LLC |
| 2026-06-23 | NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by FCA US LLC |
| 2026-06-23 | CIVIL Cover Sheet |
| 2026-06-23 | MOTION by Plaintiff FCA US LLC for leave to file under Seal |
| 2026-06-23 | SEALED EXHIBIT by Plaintiff FCA US LLC Exhibit 2 - Parts 1-2 regarding complaint[1] |
| 2026-06-23 | [封存] SEALED EXHIBIT by Plaintiff FCA US LLC Schedule A regarding complaint[1] |
| 2026-06-23 | ATTORNEY Appearance for Plaintiff FCA US LLC by Hannah Alexa Abes |
| 2026-06-23 | ATTORNEY Appearance for Plaintiff FCA US LLC by Berel Yonathan Lakovitsky |
| 2026-06-23 | Exhibit 1 |
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