2025-cv-06779 +组团 近期案件➥ 订阅

原告律所:GBC

品牌:小黄人&速度与激情&大白鲨&E.T.外星人

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# Date Description
37
07/28/2025
MINUTE entry before the Honorable Lindsay C. Jenkins: Plaintiff has filed a voluntary dismissal 34 as to Defendant Lushleece. There is no work remaining for the court to do so that case can be closed. Civil case terminated. Mailed notice. 翻译
36
07/25/2025
NOTICE of Voluntary Dismissal by Universal City Studios LLC as to Lushleece and the Individuals and Entities Operating Lushleece 翻译
35
07/23/2025
MINUTE entry before the Honorable Lindsay C. Jenkins: A status report as to next steps is due by July 28, 2025. Mailed notice. 翻译
34
07/10/2025
ORDER Signed by the Honorable Lindsay C. Jenkins on 7/10/2025. Mailed notice. 翻译
33
07/10/2025
MINUTE entry before the Honorable Lindsay C. Jenkins: The motions for expedited discovery and for electronic service 27 28 are granted. Separate order to issue. Mailed notice. 翻译
32
07/09/2025
DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[29] 翻译
31
07/09/2025
MEMORANDUM by Universal City Studios LLC in support of motion for miscellaneous relief[28] 翻译
30
07/09/2025
MOTION by Plaintiff Universal City Studios LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) 翻译
29
07/09/2025
MOTION by Plaintiff Universal City Studios LLC for discovery Expedited 翻译
28
07/02/2025
MINUTE entry before the Honorable Lindsay C. Jenkins: Plaintiff can proceed on its amended complaint against the Defendant listed in [24] [25]. Any motion for electronic service of process or request for early discovery should be filed by July 9, 2025. Mailed notice. 翻译
27
07/01/2025
EXHIBIT by Plaintiff Universal City Studios LLC Amended Schedule A regarding amended complaint, [24] 翻译
26
07/01/2025
AMENDED complaint by Universal City Studios LLC against Lushleece, the Individuals and Entities Operating Lushleece and terminating The Partnerships and Unincorporated Associations Identified on Schedule A 翻译
25
06/27/2025
MINUTE entry before the Honorable Lindsay C. Jenkins:The Court has reviewed the plaintiff's memorandum on joinder [Dkt. [12]] and determines, within its discretion, that it has failed to satisfy its burden to show that joinder of 90 defendants is proper in this matter under Federal Rule of Civil Procedure 20(a)(2). See Este Lauder Cosms. Ltd. v. The Partnerships, 334 F.R.D. 182, 185 (N.D. Ill. 2020) (noting that "[plaintiff] bears the burden of demonstrating that joinder is proper"). In evaluating the appropriateness of joinder, the Court assesses whether a logical relationship exists between defendants through actual evidentiary overlap, not coincidence. Este Lauder, 334 F.R.D. at 185. Overall, the arguments fall short of establishing a logical relationship among the defendants. The Court is not persuaded that any one defendant's infringement is linked to the next defendant's infringement sufficient to show they are part of the same transaction, occurrence, or series of transactions or occurrences as required by Rule 20. Even if the Court were mistaken in its joinder analysis, the Court exercises its discretion to not permit joinder in this case. See Dorsey v. Varga, 55 F.4th 1094, 110204 (7th Cir. 2022). Joining this many defendants in one case simply will not promote judicial economy. See Este Lauder, 334 F.R.D. at 189 ("[P]resenting dozens or hundreds of defendants in one lawsuit actually undermines judicial economy, because this Court must evaluate the evidence submitted in support of liability and, eventually, damages. That is especially true in the ex parte setting of a temporary restraining order, as well as for default-judgment motions."); Art Ask Agency, 2021 WL 5493226, at *3 (rejecting joinder of 216 defendants, noting that "joinder in this case may yield significant financial benefits to [the plaintiff] at the judiciary's expense.") Plaintiff is granted leave to file an amended complaint consistent with this order along with an amended Schedule A by no later than July 3, 2025. The remaining motions [14] and [19] are denied without prejudice to refiling. Mailed notice. 翻译
24
06/26/2025
SEALED DOCUMENT by Plaintiff Universal City Studios LLC Schedule A Template 翻译
23
06/26/2025
DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[20] 翻译
22
06/26/2025
MEMORANDUM by Universal City Studios LLC in support of motion for miscellaneous relief[19] 翻译
21
06/26/2025
MOTION by Plaintiff Universal City Studios LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) 翻译
20
06/26/2025
SEALED EXHIBIT by Plaintiff Universal City Studios LLC Exhibit 3 - Parts 1-2 regarding declaration[17] 翻译
19
06/26/2025
DECLARATION of Monique Cheng Joe regarding memorandum in support of motion[15] 翻译
18
06/26/2025
DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[15] 翻译
17
06/26/2025
MEMORANDUM by Universal City Studios LLC in support of motion for temporary restraining order[14] 翻译
16
06/26/2025
MOTION by Plaintiff Universal City Studios LLC for temporary restraining order Including a Temporary Injunction, a Temporary Asset Restraint, and Expedited Discovery 翻译
15
06/26/2025
DECLARATION of Justin R. Gaudio regarding other[12] 翻译
14
06/26/2025
Supplemental Memorandum in Response to Minute Order [11] by Universal City Studios LLC 翻译
13
06/23/2025
MINUTE entry before the Honorable Lindsay C. Jenkins: The Court grants the motion to seal [3], but upon review of the complaint, the Court sua sponte raises the propriety of joining more than 90 defendants in a single action. By June 30, 2025, plaintiff must file a supplemental memorandum addressing the propriety of joinder. In the alternative, plaintiff has leave to file an amended complaint by June 30, 2025 with a smaller subset of defendants along with a memorandum explaining why that smaller subset of defendants is properly joined. No motion for an ex parte temporary restraining order should be filed in this matter without counsel first consulting the opinion issued in Wham-O Holding v. The Partnerships, 24 CV 12523, Dkt. 39 (N.D. Ill. Feb. 20, 2025) (Alexakis, J.). Mailed notice. 翻译
12
06/23/2025
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. 翻译
11
06/23/2025
CASE ASSIGNED to the Honorable Lindsay C. Jenkins. Designated as Magistrate Judge the Honorable Jeannice W. Appenteng. Case assignment: Random assignment. (Civil Category 2). 翻译
10
06/19/2025
ATTORNEY Appearance for Plaintiff Universal City Studios LLC by Luana Faria De Souza (Faria De Souza, Luana) 翻译
9
06/19/2025
ATTORNEY Appearance for Plaintiff Universal City Studios LLC by Berel Yonathan Lakovitsky 翻译
8
06/19/2025
ATTORNEY Appearance for Plaintiff Universal City Studios LLC by Amy Crout Ziegler 翻译
7
06/19/2025
ATTORNEY Appearance for Plaintiff Universal City Studios LLC by Justin R. Gaudio 翻译
6
06/19/2025
Notice of Claims Involving Trademarks by Universal City Studios LLC 翻译
5
06/19/2025
NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Universal City Studios LLC 翻译
4
06/19/2025
CIVIL Cover Sheet 翻译
3
06/19/2025
MOTION by Plaintiff Universal City Studios LLC for leave to file under seal 翻译
2
06/19/2025
SEALED EXHIBIT by Plaintiff Universal City Studios LLC Schedule A regarding complaint[1] 翻译
1
06/19/2025
COMPLAINT filed by Universal City Studios LLC ; Filing fee $ 405, receipt number AILNDC-23644477. 翻译