2023-cv-05287

General Motors LLC v. The Partnerships and Unincorporated Associations Identified on Schedule A08/09/2023

London, United Kingdom
  • Applications 1
  • Post Date: Fab 17, 2020
  • Views 7249
  • Views 7249

案件进度

  • 日期04/04/2024

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    FULL SATISFACTION of Judgment regarding order 54 in the amount of $100,000 as to certain defendant

  • 日期02/23/2024

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    FINAL JUDGMENT ORDER signed by the Honorable John F. Kness on 2/23/2024. Mailed notice.

  • 日期02/23/2024

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    ORDER: Motion 50 seeking a default judgment is granted. Plaintiff's motion 29 seeking a preliminary injunction is dismissed as moot. Enter separate Final Judgment Order. Civil case terminated. Signed by the Honorable John F. Kness on 2/23/2024. Mailed notice.

  • 日期02/20/2024

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    DECLARATION of Justin R. Gaudio regarding memorandum in support of motion 51

    附件:

    1:(Exhibit 1)
  • 日期02/20/2024

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    MEMORANDUM by General Motors LLC in support of motion for entry of default, motion for default judgment 50

    附件:

    1:(Exhibit 1)
  • 日期02/20/2024

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    MOTION by Plaintiff General Motors LLC for entry of default, MOTION by Plaintiff General Motors LLC for default judgment as to all Defendants

    附件:

    1:(Exhibit A)
  • 日期02/15/2024

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendant

  • 日期01/11/2024

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendants

  • 日期01/04/2024

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendant

  • 日期12/29/2023

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    MINUTE entry before the Honorable John F. Kness: Defendant CARECARACC's motion [43] for an extension of time to respond to the complaint is granted. Defendant CARECARACC must answer or otherwise respond to the complaint on or before 1/16/2024. Mailed notice

  • 日期12/28/2023

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    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 questions regarding this process, this LINK will provide additional information. Signed by the Executive Committee on 12/28/2023: Mailed notice.

  • 日期12/28/2023

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendants

  • 日期12/26/2023

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    MOTION by Defendant CARECARACC for extension of time to file answer regarding complaint[1]

  • 日期12/26/2023

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    ATTORNEY Appearance for Defendant CARECARACC by Christopher Paul Keleher

  • 日期12/22/2023

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    MINUTE entry before the Honorable John F. Kness: Defendant's Unopposed Motion for extension of time to answer [36] is granted. Defendants must answer or otherwise respond to Plaintiff's amended complaint on of before 1/11/2024. Motion by counsel to withdraw as attorney [39] is granted. Attorney Jake Michael Christensen is withdrawn as counsel of record. Mailed notice.

  • 日期12/21/2023

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendants

  • 日期12/21/2023

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    MOTION by Attorney Jake M. Christensen to withdraw as attorney for General Motors LLC. No party information provided

  • 日期12/18/2023

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    ATTORNEY Appearance for Plaintiff General Motors LLC by Marcella Deshonda Slay

  • 日期12/14/2023

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendants

  • 日期12/12/2023

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    MOTION by Defendant Kingbolen for extension of time to file answer or otherwise respond to plaintiff's complaint (unopposed)

  • 日期12/07/2023

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    NOTICE of Voluntary Dismissal by General Motors LLC as to certain defendant

  • 日期12/01/2023

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    Regarding the Proposed Agreed Breifing Schedule for Motion 29 STATEMENT by General Motors LLC

  • 日期11/27/2023

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    CERTIFICATE of Service by Plaintiff General Motors LLC per 32

    附件:

    1:Exhibit A
    2:(Exhibit 1)
  • 日期11/24/2023

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    MINUTE entry before the Honorable John F. Kness: Before the Court is Plaintiff's motion 29 for entry of a preliminary injunction. In connection with that motion, which is entered and continued, Plaintiff must forthwith serve all remaining Defendants with the following statement: "The Court has taken the motion for a preliminary injunction under advisement and will consider the motion unopposed if no Defendant appears and objects on or before 12/1/2023." Plaintiff must file proof of service of the Court's statement forthwith. For the reasons stated in the Court's orders 21 28 entering and extending the temporary restraining order ("TRO") 212, as well as in Plaintiff's motion 25 26 to extend the TRO, the TRO is further extended to and including the date on which the Court adjudicates the motion for a preliminary injunction. See H-D Mich., LLC v. Hellenic Duty Free Shops S.A., 694 F.3d 827, 843-45 (7th Cir. 2012). Because this extension exceeds the maximum duration for a TRO under FRCP 65(b), it "becomes in effect a preliminary injunction that is appealable, but the order remains effective." Id. at 844. Mailed notice

  • 日期11/21/2023

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    SUMMONS Returned Executed by General Motors LLC as to The Partnerships and Unincorporated Associations Identified on Schedule A on 11/21/2023, answer due 12/12/2023.

    附件:

    1:Declaration of Rachel S. Miller
    2:(Exhibit A)
  • 日期11/21/2023

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    MEMORANDUM by General Motors LLC in support of motion for preliminary injunction 29

    附件:

    1:Declaration of Jake M. Christensen
    2:(Exhibit 1)
  • 日期11/21/2023

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    MOTION by Plaintiff General Motors LLC for preliminary injunction

    附件:

    1:(Exhibit A)
  • 日期11/13/2023

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    EXTENSION of TEMPORARY RESTRAINING ORDER signed by the Honorable John F. Kness on 11/13/2023. Mailed notice

  • 日期11/13/2023

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    MINUTE entry before the Honorable John F. Kness: Motion for extension of temporary restraining order 25 is granted. Enter Order. Mailed notice

  • 日期11/08/2023

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    MEMORANDUM by General Motors LLC in support of extension of time[25]

    附件:

    1:Declaration of Jake M. Christensen
  • 日期11/08/2023

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    MOTION by Plaintiff General Motors LLC for extension of time of Temporary Restraining Order

  • 日期11/08/2023

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    ATTORNEY Appearance for Defendant Kingbolen by Steven G Kalberg

  • 日期11/03/2023

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    SURETY BOND in the amount of $ 10,000 posted by General Motors LLC. (Document not Scanned)

  • 日期11/01/2023

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    SUMMONS Issued as to Defendant The Partnerships and Unincorporated Associations Identified on Schedule A.

  • 日期10/30/2023

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    SEALED TEMPORARY RESTRAINING ORDER. Signed by the Honorable John F. Kness on 10/30/2023. Mailed notice.

  • 日期10/30/2023

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    MINUTE entry before the Honorable John F. Kness: Plaintiff's motion for leave to file under seal [3], ex parte motion for a temporary restraining order [13], and motion for electronic service of process [18] are granted. Plaintiff's submissions (e.g., Dkt. 15, 16) establish that, were Defendants to learn of these proceedings before the execution of Plaintiff's requested preliminary injunctive relief, there is a significant risk that Defendants 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 for now file under seal the documents identified in the motion to seal and appearing at docket entries [2] and [17]. 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 (for the time being) on an ex parte basis under FRCP 65(b)(1). Specifically, and as noted above, were Defendants to be informed of this proceeding before a TRO could issue, it is likely assets and websites would be redirected, thus defeating Plaintiff's interests in identifying Defendants, stopping Defendants' infringing conduct, and obtaining an equitable accounting. In addition, the Court finds, at least for now on this limited and one-sided record and without prejudice to revisiting the issue, that it has personal jurisdiction over Defendants because they directly target their business activities toward consumers in the United States, including Illinois. Specifically, Defendants have targeted sales to Illinois residents by setting up and operating e-commerce stores that target United States consumers using one or more Seller Aliases, offer shipping to the United States, including Illinois, accept payment in U.S. dollars, and have sold products using infringing and counterfeit versions of Plaintiff's trademarks to residents of Illinois. The evidence presented to the Court also shows that Plaintiff has demonstrated a likelihood of success on the merits (including evidence of active infringement and sales into Illinois), that the harm to Plaintiff is irreparable, and that an injunction is in the public interest. An injunction serves the public interest because of the consumer confusion caused by counterfeit goods, and there is no countervailing harm to Defendants from an order directing them to stop infringement. Electronic service of process does not violate any treaty and is consistent with due process because it effectively communicates the pendency of this action to Defendants. As several judges have previously noted, there may be reason to question both the propriety of the joinder of all Defendants in this one action and whether Plaintiff will pursue an accounting (which Plaintiff asserts as justification for an asset freeze), but at this preliminary stage, the court is persuaded that Plaintiff has provided sufficient evidence of coordinated activity and the prospect of an accounting to justify the requested relief as to all Defendants. Expedited discovery is warranted to identify Defendants and to implement the asset freeze. If any Defendant appears and objects, the Court will reconsider the asset freeze and joinder. Enter Sealed Temporary Restraining Order. Mailed notice

  • 日期08/14/2023

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    DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[19]

    附件:

    1:Exhibit 1
    2:Exhibit 2
  • 日期08/14/2023

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    MEMORANDUM by General Motors LLC in support of motion for miscellaneous relief[18]

  • 日期08/14/2023

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    MOTION by Plaintiff General Motors LLCfor Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3)

  • 日期08/14/2023

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    SEALED EXHIBIT by Plaintiff General Motors LLC Exhibit 2 - Parts 1-10 regarding declaration[16]

  • 日期08/14/2023

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    DECLARATION of Andrea Ankawi regarding memorandum in support of motion[14]

    附件:

    1:Exhibit 1
  • 日期08/14/2023

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    DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[14]

    附件:

    1:Exhibit 1
    2:Exhibit 2
    3:Exhibit 3
    4:Exhibit 4
  • 日期08/14/2023

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    MEMORANDUM by General Motors LLC in support of motion for temporary restraining order[13]

  • 日期08/14/2023

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    MOTION by Plaintiff General Motors LLC for temporary restraining order including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery

  • 日期08/10/2023

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    MAILED to plaintiff(s) counsel Lanham Mediation Program materials

  • 日期08/10/2023

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    MAILED Trademark report to Patent Trademark Office, Alexandria VA

  • 日期08/10/2023

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    CLERK'S NOTICE: Pursuant to Local Rule 73.1(b), a United States Magistrate Judge of this court is available to conduct all proceedings in this civil action. If all parties consent to have the currently assigned United States Magistrate Judge conduct all proceedings in this case, including trial, the entry of final judgment, and all post-trial proceedings, all parties must sign their names on the attached Consent To form. This consent form is eligible for filing only if executed by all parties. The parties can also express their consent to jurisdiction by a magistrate judge in any joint filing, including the Joint Initial Status Report or proposed Case Management Order.

  • 日期08/10/2023

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    CASE ASSIGNED to the Honorable John F. Kness. Designated as Magistrate Judge the Honorable Young B. Kim. Case assignment: Random assignment.

  • 日期08/09/2023

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    ATTORNEY Appearance for Plaintiff General Motors LLC by Rachel S Miller

  • 日期08/09/2023

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    ATTORNEY Appearance for Plaintiff General Motors LLC by Jake Michael Christensen

  • 日期08/09/2023

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    ATTORNEY Appearance for Plaintiff General Motors LLC by Amy Crout Ziegler

  • 日期08/09/2023

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    ATTORNEY Appearance for Plaintiff General Motors LLC by Justin R. Gaudio

  • 日期08/09/2023

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    Notice of Claims Involving Trademarks by General Motors LLC

  • 日期08/09/2023

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    NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by General Motors LLC

  • 日期08/09/2023

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    CIVIL Cover Sheet

  • 日期08/09/2023

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    MOTION by Plaintiff General Motors LLC for leave to file under seal

  • 日期08/09/2023

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    SEALED EXHIBIT by Plaintiff General Motors LLC Schedule A regarding complaint[1]

  • 日期08/09/2023

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    COMPLAINT filed by General Motors LLC; Filing fee $ 402, receipt number AILNDC-20913823.

    附件:

    1:Exhibit 1
    2:Exhibit 2
    3:Exhibit 3
    4:Exhibit 4
  • 品牌: IT & Computer
  • 律所: Full-Time
  • 法院: Senior
  • Published Date: Fab 20 2020

Education

  • Higher(10th Pass) (Preferred)
  • Higher Secondary(12th Pass) (Preferred)
  • Any Graduattion Degree(13th Pass) (Preferred)
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Employer Overview

Drizvato Soft

Liverpool, United Kingdom
  • https://drizvato.com
  • +91 123 456 7895
  • Drizvato@gmail.com

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