2021-cv-05641

Superhype Tapes, Ltd. v. The Partnerships and Unincorporated Associations Identified on Schedule A10/25/2021

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

案件进度

  • 日期04/26/2022

    翻译

    MAILED original ten-thousand-dollar ($10,000) surety bond posted by plaintiff to Ann Marie Sullivan, AM Sullivan Law, LLC, 1440 W. Taylor St., Suite 515, Chicago, IL 60607, via certified mail #7019 2280 0000 0963 0784

  • 日期04/25/2022

    翻译

    MAILED trademark report with order dated 4/25/2022 to Patent Trademark Office, Alexandria, VA

  • 日期04/25/2022

    翻译

    DEFAULT JUDGMENT ORDER: Signed by the Honorable Martha M. Pacold on 4/25/2022. Mailed notice.

  • 日期04/25/2022

    翻译

    ORDER: No defendant has responded to plaintiff's motion for entry of default and default judgment 52. The motion is granted as provided in the attached order. Based on the evidence submitted in support of the temporary restraining order and the motion for entry of default and default judgment, and the admission of liability by virtue of the default, plaintiff has established that the infringement was willful, that damages should be awarded in the amount specified in the written order, and that a permanent injunction should be entered. Plaintiff has shown that the infringement of its marks and copyrights causes it irreparable harm in the form of diminished goodwill and brand confidence, damage to plaintiff's reputation, loss of exclusivity, and loss of future sales; that monetary damages are inadequate to address these harms; and that the public interest would not be disserved by a permanent injunction. No defendant has appeared to argue otherwise, thus, the court also finds that the balance of the hardships favors an injunction. The ten thousand dollars ($10,000) surety bond posted by plaintiff is hereby released to plaintiff's counsel. The Clerk of the Court is directed to return the surety bond previously deposited with the Clerk of the Court to plaintiff's counsel, Ann Marie Sullivan, AM Sullivan Law, LLC, 1440 W. Taylor St., Suite 515, Chicago, IL 60607, via certified mail. Enter Final Default Judgment Order. Civil case terminated. Signed by the Honorable Martha M. Pacold on 4/25/2022. Mailed notice.

  • 日期04/19/2022

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion to withdraw the appearance of Sofia Quezada as counsel of record 56 is granted. Attorney Sofia Quezada terminated.

  • 日期04/18/2022

    翻译

    MOTION by Attorney Sofia Quezada to withdraw as attorney for Superhype Tapes, Ltd. No party information provided

  • 日期03/18/2022

    翻译

    EXHIBIT by Plaintiff Superhype Tapes, Ltd. Amended Schedule A

  • 日期03/15/2022

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for leave to amend Schedule A to the complaint 51 is granted. MAgicStore, Ningbosi, ArtStudioBA, SOUNDHEY, TURMUP, FORIDERS, weatherisn.com, and weaverf terminated. Plaintiff is directed to file the amended Schedule A separately on the docket by 3/18/2022. Plaintiff's motion for entry of default and default judgment 52 is taken under advisement. Any defendant objecting to plaintiff's motion for entry of default and default judgment 52 must enter an appearance and file a written objection by 3/25/2022. If no objections are filed, the court will consider the motion unopposed. Plaintiff shall serve defendants with this notice.

  • 日期03/14/2022

    翻译

    MEMORANDUM by Superhype Tapes, Ltd. in support of motion for entry of default, motion for default judgment, 52

    附件:

    1:(Declaration of Alison K. Carter)
  • 日期03/14/2022

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. for entry of default as to all remaining Defendants, MOTION by Plaintiff Superhype Tapes, Ltd. for default judgment as to all remaining Defendants

    附件:

    1:(Exhibit 1 - Amended Schedule A)
  • 日期03/14/2022

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. to amend/correct Schedule A

  • 日期02/24/2022

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for leave to amend Schedule A to the complaint to dismiss defendant Weaverf 49 is granted. In light of plaintiff's settlement with Weaverf, plaintiff's motion for preliminary injunction against Weaverf, which was previously continued 38 is denied as moot, and the deadline to file a joint status report set in 48 is hereby struck.

  • 日期02/22/2022

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. to amend/correct the Schedule A

  • 日期02/17/2022

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: The court previously continued plaintiff's preliminary injunction motion as to defendant Weaverf. 38. Plaintiff and Weaverf subsequently submitted a proposed briefing schedule on the motion, which the court adopted. 41. Thus, Weaverf's answer to the complaint and any opposition to the motion were due on 1/21/2022. Weaverf, however, did not file an answer to the complaint or opposition to the preliminary injunction motion. Plaintiff and Weaverf are directed to file a joint status report by 2/22/2022 addressing whether Weaverf still opposes the preliminary injunction motion and how the parties intend to proceed.

  • 日期02/03/2022

    翻译

    EXHIBIT by Plaintiff Superhype Tapes, Ltd. Amended Schedule A regarding amended complaint 11

  • 日期02/03/2022

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for leave to amend Schedule A to the complaint 45 is granted. Plaintiff is directed to file an amended Schedule A by 2/10/2022. Fsdva, IconicArtAndPrints, MaureensMegastore, Mindsets, PRINTANDPROUD, PjsStickersNStuff, Puernash, Billiontha and Euphoria Eshop terminated.

  • 日期02/01/2022

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. to amend/correct amended complaint 11 Schedule A

  • 日期01/07/2022

    翻译

    AMENDED amended complaint 11 Schedule A

  • 日期12/30/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion to amend Schedle A to the complaint 42 to remove certain defendants is granted.In light of the dismissal of biztav7, plaintiff's motion for preliminary injunction against biztav7 26, which the court previously continued in light of biztav7's objection 38, is denied as moot. The court has also reviewed the joint status report filed by plaintiff and Weaverf 41. The court adopts the parties' proposed briefing schedule with respect to the complaint and preliminary injunction motion against Weaverf. Accordingly, Weaverf to answer or plead to the complaint by 1/21/2022. Weaverf's opposition to the motion for preliminary injunction is also due by 1/21/2022. Any reply by plaintiff in support of the motion for preliminary injunction is due by 1/28/2022.

  • 日期12/28/2021

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. to amend/correct Schedule A

  • 日期12/28/2021

    翻译

    STATUS Report by Superhype Tapes, Ltd.

  • 日期12/22/2021

    翻译

    NEW PARTIES: 100% cotton T-shirt.31 Store, 100% cotton T-shirt 39 Store, 100% Cotton T-shirts A Store, Anime Design Store, Backstreet BBoy Store, bssb Store, Colorful Covers Store, Good luck 8888 Store, longlongago888 Store, luckynumber7 Store, Shop5688899 Store, shop58426 Store, Shop910851026 Store, Shop911039141 Store, Shop911421372 Store, Shop911612266 Store, Suprame Store, TROCELON Store, Very good T-shirt 190 Store, yangqiuju Store, zhuangmy Store, zulu Store, Billiontha, Braunel, chengdongsheng_iusojao0wwpp, DavidSpo, Euphoria Eshop, Fsdva, GearPowers Store, Heikinheimoy, hemengkangdedian, Innoglen, jiangruiii, jinangaoxinkaifaquqishuairiyongbaihuodian, Kuro Black Pool, lsqhsdzsw, MAgicStore, MELISSA SOUZA OLIVEIRA, Mindsets, Ningbosi, POPTEND, Puernash, qareir, QIBOSHIDA, SingSing, Soberdotsoul, TheWallTheory, wanghuidewang, Wangps, yinchimaoyi, YYXGS, zhoukoupianranshangmaoyouxiangongsi, Zhu Jing Shop, shangmao, beltsingsa Store, ligifred Store, wensihone Store, biztav7, ArtStudioBA, BartonEni, BlackMetalPatch, CreativeLoreDesigns, DeadLazy, FenixSharp, FreshPrintsOfLondon, HardHeavy, IconicArtAndPrints, InktallyGB, KokoPrint, Parrothoodies, MaureensMegastore, musicstickershop, Partynia, Pincheys, PjsStickersNStuff, PRINTANDPROUD, PrintsofPosters, PsychoPunkStore, Pumalpumal, RebelTeeshirts, ReesPubArt, RotaDesignShop, ShiCaiStore, SpeakToMeGabriel, stickershopTH, TagramSpot, TAMRAArt, TheRibbonGalleryUK, TiliaButik, Tshirtrockbest, VoodooPosters, WallisticTapestryUK, WallsOfWisdomUK, FORIDERS, Mala Rock Shop, SOUNDHEY, Tee Journey, TURMUP, weatherisn.com, WestStreets, AHUI Auto Parts Grocery Store, ajhbwnppth, BarbaraConradrGnN, Drusilla, herb limited, liulongmei581, Morgan Walker, ukdfhisufisdtf, wangwenlong46455, xindaonanfang, xisishiye, zhengyunyun0912 and zhouqinsu6600 added to case caption. (Sullivan, Ann Marie)

  • 日期12/22/2021

    翻译

    NEW PARTIES: AIRTY added to case caption. (Sullivan, Ann Marie)

  • 日期12/22/2021

    翻译

    NEW PARTIES: 100% cotton T-shirt.31 Store, 100% cotton T-shirt 39 Store, 100% Cotton T-shirts A Store, Anime Design Store, Backstreet BBoy Store, bssb Store, Colorful Covers Store, Good luck 8888 Store, longlongago888 Store, luckynumber7 Store, Shop5688899 Store, shop58426 Store, Shop910851026 Store, Shop911039141 Store, Shop911421372 Store, Shop911612266 Store, Suprame Store, TROCELON Store, Very good T-shirt 190 Store, yangqiuju Store, zhuangmy Store, zulu Store, Billiontha, Braunel, chengdongsheng_iusojao0wwpp, DavidSpo, Euphoria Eshop, Fsdva, GearPowers Store, Heikinheimoy, hemengkangdedian, Innoglen, jiangruiii, jinangaoxinkaifaquqishuairiyongbaihuodian, Kuro Black Pool, lsqhsdzsw, MAgicStore, MELISSA SOUZA OLIVEIRA, Mindsets, Ningbosi, POPTEND, Puernash, qareir, QIBOSHIDA, SingSing, Soberdotsoul, TheWallTheory, wanghuidewang, Wangps, yinchimaoyi, YYXGS, zhoukoupianranshangmaoyouxiangongsi, Zhu Jing Shop, shangmao, beltsingsa Store, ligifred Store, wensihone Store, biztav7, ArtStudioBA, BartonEni, BlackMetalPatch, CreativeLoreDesigns, DeadLazy, FenixSharp, FreshPrintsOfLondon, HardHeavy, IconicArtAndPrints, InktallyGB, KokoPrint, Parrothoodies, MaureensMegastore, musicstickershop, Partynia, Pincheys, PjsStickersNStuff, PRINTANDPROUD, PrintsofPosters, PsychoPunkStore, Pumalpumal, RebelTeeshirts, ReesPubArt, RotaDesignShop, ShiCaiStore, SpeakToMeGabriel, stickershopTH, TagramSpot, TAMRAArt, TheRibbonGalleryUK, TiliaButik, Tshirtrockbest, VoodooPosters, WallisticTapestryUK, WallsOfWisdomUK, FORIDERS, Mala Rock Shop, SOUNDHEY, Tee Journey, TURMUP, weatherisn.com, WestStreets, AHUI Auto Parts Grocery Store, ajhbwnppth, BarbaraConradrGnN, Drusilla, herb limited, liulongmei581, Morgan Walker, ukdfhisufisdtf, wangwenlong46455, xindaonanfang, xisishiye, zhengyunyun0912 and zhouqinsu6600 added to case caption. (Sullivan, Ann Marie)

  • 日期12/20/2021

    翻译

    ORDER: The Clerk is directed to unseal any previously sealed documents in this matter. Signed by the Honorable Martha M. Pacold on 12/20/2021: Mailed notice.

  • 日期12/20/2021

    翻译

    PRELIMINARY INJUNCTION ORDER Signed by the Honorable Martha M. Pacold on 12/20/2021:

  • 日期12/20/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for preliminary injunction 26 is granted as to all defendants except for biztav7 and Weaverf. As explained in the court's earlier minute entries 36, 37, biztav7 and Weaverf have entered objections against the motion and the motion is therefore continued as to them. As to all defendants aside from biztav7 and Weaverf, a preliminary injunction is appropriate for the same reasons a TRO was granted and is unopposed. Given that defendants biztav7 and Weaver have objected to the preliminary injunction, defendants biztav7 and Weaverf are omitted from the version of Schedule A attached to the Preliminary Injunction order. Enter Preliminary Injunction. Plaintiff's counsel is directed to add all defendants listed on Schedule A to the court's docket within three business days. Instructions on how to do so may be located on the court's website at www.ilnd.uscourts.gov/instructions.

  • 日期12/20/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: On 12/16/2021, counsel for Defendant Weaverf filed an appearance 33 and an unopposed motion for extension of time to file answer 34, seeking a 30-day extension to 12/15/2021 to answer or otherwise respond to the complaint. The motion is granted. Defendant Weaverf has until 12/15/2021 to answer or otherwise respond to the complaint. Although Weaverf's counsel's appearance and motion for extension of time to answer occurred on 12/16/2021 (several days after the 12/13/2021 deadline set in 29 for defendants to appear and object to Plaintiff's motion for a preliminary injunction), the court construes the appearance and motion as an objection to Plaintiff's motion for preliminary injunction 26 and will consider the preliminary injunction opposed as to defendant Weaverf. The parties are directed to confer and file a joint status report on a joint proposed case schedule with respect to this defendant by 12/29/2021.

  • 日期12/20/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: On 12/16/2021, Defendant biztav7 emailed the court regarding the temporary restraining order. The court posted the email on the docket separately 35. As an entity, biztav7 cannot represent itself, nor can a nonlawyer represent biztav7, so biztav7 would need to obtain an attorney and that attorney would need to file an appearance on the docket. Defendant biztav7's representative is directed to confer with plaintiff's counsel. Although biztav7 cannot represent itself, and biztav7's email to the court occurred on 12/16/2021 (several days after the 12/13/2021 deadline set in 29 for defendants to appear and object to Plaintiff's motion for a preliminary injunction), the court construes biztav7's email and the attachments as an objection to Plaintiff's motion for preliminary injunction 26 and will consider the preliminary injunction opposed as to defendant biztav7. Plaintiff's counsel is directed to file a report (after consulting with defendant biztav7's representative) on a joint proposed case schedule with respect to this defendant by 12/29/2021.

  • 日期12/20/2021

    翻译

    Redacted email by biztav7

  • 日期12/16/2021

    翻译

    MOTION by Defendant Weaverf for extension of time to file answer regarding amended complaint 11

  • 日期12/16/2021

    翻译

    ATTORNEY Appearance for Defendant Weaverf by Timothy Tiewei Wang

  • 日期12/15/2021

    翻译

    EXHIBIT by Plaintiff Superhype Tapes, Ltd. Amended Schedule A

  • 日期12/09/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: The court has received plaintiff's notice of dismissal 30, which seeks to voluntarily dismiss defendants No. 76 MidwayMemorabilia and No. 89 SouthBronxSocialClub under Rule 41(a)(1). But Rule 41(a) is not the proper vehicle for dismissing some, but not all, parties to an action. Taylor v. Brown, 787 F.3d 851, 857 (7th Cir. 2015) ("Rule 41(a) should be limited to dismissal of an entire action."). The court therefore construes plaintiff's notice of voluntary dismissal as a request for leave to amend the pleadings under Rule 15(a)(2) by dropping defendants No. 76 MidwayMemorabilia and No. 89 SouthBronxSocialClub from the Schedule A form, see Taylor, 787 F.3d at 857-58, and the court grants plaintiff leave to amend the pleadings. Plaintiff is directed to file an amended Schedule A form by 12/16/2021 identifying the remaining defendants.

  • 日期12/08/2021

    翻译

    NOTICE of Voluntary Dismissal by Superhype Tapes, Ltd. of Certain Defendants

  • 日期11/30/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Any defendant objecting to Plaintiff's motion for preliminary injunction 26 must enter an appearance and file a written objection by 12/13/2021. If no objections are fled, the court will consider the motion unopposed. Plaintiff shall serve defendants with this notice.

  • 日期11/29/2021

    翻译

    SUMMONS Returned Executed by Superhype Tapes, Ltd. as to The Partnerships and Unincorporated Associations Identified on Schedule A on 11/29/2021, answer due 12/20/2021.

    附件:

    1:Declaration of Service
  • 日期11/29/2021

    翻译

    MEMORANDUM by Superhype Tapes, Ltd. in support of motion for preliminary injunction 26

    附件:

    1:Declaration in Support of Memorandum
  • 日期11/29/2021

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. for preliminary injunction

  • 日期11/16/2021

    翻译

    SURETY BOND in the amount of $10,000.00 posted by Superhype Tapes, Ltd. (Document not scanned).

  • 日期11/16/2021

    翻译

    SEALED EXTENSION OF THE TEMPORARY RESTRAINING ORDER Signed by the Honorable Martha M. Pacold on 11/16/2021:

  • 日期11/16/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's ex parte motion to extend the Temporary Restraining Order 22 until 12/2/2021 is granted. Plaintiff shall deposit with the Court $10,000, either cash or surety bond, as security by 11/23/2021.

  • 日期11/15/2021

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. for extension of time of the Temporary Restraining Order

    附件:

    1:Supplement Memorandum in Support
    2:Declaration of Ann Marie Sullivan
  • 日期11/12/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's request to extend the bond's due date is granted. Plaintiff is given until November 12, 2021 to post the $10,000 bond, either cash or surety bond, as security.

  • 日期11/05/2021

    翻译

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

  • 日期11/04/2021

    翻译

    SEALED TEMPORARY RESTRAINING ORDER Signed by the Honorable Martha M. Pacold on 11/4/2021:

  • 日期11/04/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Having complied with this court's order 18, plaintiff's motion for a temporary restraining order, including a temporary injunction, a temporary asset restraint, electronic service of process, and expedited discovery 13 is granted. Plaintiff's filings support proceeding (for the time being) on an ex parte basis. Specifically, 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 accounting. In addition, the evidence submitted by plaintiff shows a substantial likelihood of success on the merits (including evidence of active infringement and sales into Illinois), the harm to plaintiff is irreparable, and an injunction is in the public interest. 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 other judges in this district have noted, there may be reason to question both the propriety of the joinder of all defendants in this one action and whether plaintiff genuinely intends to pursue an accounting, but at this preliminary stage, 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 timely appears and objects, the court will revisit the asset freeze and joinder. Plaintiff shall deposit with the Clerk of Court ten thousand dollars ($10,000.00), either cash or surety bond, as security.

  • 日期11/02/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: The court has reviewed plaintiff's motion for an ex parte TRO and expedited discovery 9. Before the court rules on the motion, Plaintiff is directed to review this court's procedures for Schedule A cases on the court's website (https://www.ilnd.uscourts.gov/judge-info.aspx?tdDC7jWNEcPS6Px28PZuWg==). Plaintiff is required to submit its proposed TRO order (along with a redline comparing plaintiff's proposed order to the court's template) to this court's proposed orders inbox following the procedures on the website. Plaintiff's motion for electronic service of process 16 is granted.

  • 日期10/28/2021

    翻译

    MEMORANDUM by Superhype Tapes, Ltd. in support of motion for miscellaneous relief 16 for Electronic Service of Process

    附件:

    1:Declaration in Support of Memorandum
    2:Exhibit 1-4
  • 日期10/28/2021

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. for Electronic Service of Process

  • 日期10/28/2021

    翻译

    SEALED EXHIBIT by Plaintiff Superhype Tapes, Ltd. regarding memorandum in support of motion 14

  • 日期10/28/2021

    翻译

    MEMORANDUM by Superhype Tapes, Ltd. in support of motion for temporary restraining order 13

    附件:

    1:Declaration in Support of Memorandum
    2:Exhibit 1
    3:Exhibit 2
  • 日期10/28/2021

    翻译

    MOTION by Plaintiff Superhype Tapes, Ltd. for temporary restraining order

  • 日期10/28/2021

    翻译

    MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's motion for leave to file under seal 6 is granted in part and denied in part. Plaintiff's submissions establish that, were Defendants to learn of these proceedings before the execution of a temporary restraining order (which Plaintiff indicates that it will file), there is a significant risk that Defendants could destroy relevant documentary evidence and hide or transfer assets beyond the reach of the Court. Conversely, there are no exceptional circumstances that would justify allowing plaintiff to conceal its own identity. Plaintiff can protect its interest in avoiding the destruction of evidence and transfer of assets by filing the temporary restraining order ex parte and through sealing the information regarding the identities of the defendants and the URLs through which they operate. Given these protections for Plaintiff's legitimate interests, the countervailing strong public interest in knowing who is seeking recourse in the federal courts compels the court to deny Plaintiff's request to conceal its own identity, even initially. As the Seventh Circuit has explained, "We have repeatedly voiced our disfavor of parties proceeding anonymously, as anonymous litigation runs contrary to the rights of the public to have open judicial proceedings and to know who is using court facilities and procedures funded by public taxes. To proceed anonymously, a party must demonstrate exceptional circumstances that outweigh both the public policy in favor of identified parties and the prejudice to the opposing party that would result from anonymity." Doe v. Village of Deerfield, 819 F.3d 372, 37677 (7th Cir. 2016). Accordingly, Plaintiff must file an amended complaint disclosing its name and asserted copyrights, but the motion to seal is granted with respect to Plaintiff's other requested relief.

  • 日期10/28/2021

    翻译

    AMENDED complaint by XYZ Corporation against The Partnerships and Unincorporated Associations Identified on Schedule A

    附件:

    1:Exhibit 1
    2:Exhibit 2
  • 日期10/26/2021

    翻译

    MAILED to plaintiff(s) counsel Lanham Mediation Program materials

  • 日期10/26/2021

    翻译

    MAILED SEALED trademark report to Patent Trademark Office, Alexandria, VA

  • 日期10/25/2021

    翻译

    CASE ASSIGNED to the Honorable Martha M. Pacold. Designated as Magistrate Judge the Honorable Jeffrey T. Gilbert. Case assignment: Random assignment.

  • 日期10/25/2021

    翻译

    SEALED DOCUMENT by Plaintiff XYZ Corporation Complaint

    附件:

    1:Exhibit 1
    2:Exhibit 2
    3:Exhibit 3 - Schedule A
  • 日期10/25/2021

    翻译

    MEMORANDUM by XYZ Corporation in support of motion for leave to file 6 Certain Documents under Seal and to Proceed Temporarily under a Pseudonym

    附件:

    1:Declaration in Support of Motion
    2:Exhibit 1-7
  • 日期10/25/2021

    翻译

    MOTION by Plaintiff XYZ Corporation for leave to file Certain Documents under Seal and to Proceed Temporarily under a Pseudonym

  • 日期10/25/2021

    翻译

    ATTORNEY Appearance for Plaintiff XYZ Corporation by Ann Marie Sullivan (Sullivan, Ann Marie)

  • 日期10/25/2021

    翻译

    ATTORNEY Appearance for Plaintiff XYZ Corporation by Sofia Quezada

  • 日期10/25/2021

    翻译

    ATTORNEY Appearance for Plaintiff XYZ Corporation by Alison Carter

  • 日期10/25/2021

    翻译

    CIVIL Cover Sheet

  • 日期10/25/2021

    翻译

    COMPLAINT (Redacted) filed by XYZ Corporation; Filing fee $ 402, receipt number 0752-18803550.

    附件:

    1:Exhibit 1
    2:Exhibit 2
    3:Exhibit 3 - Schedule A
  • 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)
Apply This Job

Employer Overview

Drizvato Soft

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

Get New Jobs Notification!

Subscribe & get all related jobs notification.