原告律所:Mayer Brown LLP
品牌:Popilush 塑身衣版权
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| # | Date | Description |
| 30 |
11/19/2025
|
MINUTE entry before the Honorable Thomas M. Durkin: The Court requires that any motion for a temporary restraining order and/or asset freeze is accompanied by a declaration from an attorney of record that provides the following information. First, to demonstrate the immediate harm necessary to grant the drastic remedy of an ex parte temporary restraining order, the declaration must confirm that each named defendant has sold or offered to sell the allegedly infringing product(s) within the last two months and describe the evidence supporting this confirmation. Generally, evidence that a defendant has sold or offered to sell the infringing products within the last two months may include: (1) screenshots of the listings collected within the last two months; (2) screenshots older than two months with an attestation that the listings reflected in the screenshots have been checked within the last two months and were active; or (3) evidence of a purchase by a customer in Illinois within the last two months. Second, as relevant to personal jurisdiction, without which any temporary restraining order or asset freeze would be invalid, the declaration must confirm that each named defendant sold at least one allegedly infringing product to a customer in Illinois and describe the evidence supporting this confirmation. Here, "sold" means that the defendant accepted an order and payment for an allegedly infringing product to be shipped to Illinois. Third, to assure that Court that the rights of defendants who have not yet been served are being appropriately protected, the declaration must identify the case number(s) and assigned judge(s) for any pending case(s) brought by the plaintiff(s) against any of the named defendants, noting whether the intellectual property at issue was the same or different than in this case. If it is the same, the declaration should describe the disposition of the other case. The Court will address any motion for a temporary restraining order only after receipt of the described declaration, which can be filed contemporaneously with the motion. Additionally, to the extent Plaintiff also makes a motion for expedited discovery or for an order permitting electronic service of process, Plaintiff should submit a proposed order for that relief that is separate from the proposed order for the TRO and asset restraint. The proposed order for the TRO and asset restraint should name the relevant defendants directly in the order, without reference to Schedule A. Mailed notice. 翻译 |
| 29 |
11/19/2025
|
MINUTE entry before the Honorable Thomas M. Durkin: Judge Durkin was a partner at Mayer Brown until January 2013. He is not acquainted with the defense attorneys of record. This order is entered as a matter of disclosure and the court does not believe it is a basis for recusal. But if either party believes such a motion is appropriate the court will consider it. Mailed notice. 翻译 |
| 28 |
11/10/2025
|
MINUTE entry before the Executive Committee: Case reassigned to the Honorable Thomas M. Durkin for all further proceedings pursuant to Local Rule 40.4Mailed notice 翻译 |
| 27 |
11/07/2025
|
SEALED EXHIBIT by Plaintiff Popilush LLC regarding notice of filing[24] 翻译 |
| 26 |
11/07/2025
|
NOTICE by Popilush LLC of Plaintiff's Unopposed Motion to Reassign and Consolidate Related Cases Under Local Rule 40.4 and Federal Rule of Civil Procedure 42 翻译 |
| 25 |
11/06/2025
|
MINUTE entry before the Honorable Steven C. Seeger: An initial status report is due by January 27, 2026. Counsel must read the Standing Order entitled "Initial Status Conferences and Joint Initial Status Reports" on the Court's website. The parties must confer as required by Rule 26(f) about the nature, scope, and duration of discovery. The parties must submit two documents to the Court. First, the parties must file the Joint Initial Status Report under Rule 26(f) on the docket. A Word version of the Joint Initial Status Report is available on the Court's website. All parties must participate in the preparation and filing of the Joint Initial Status Report. The Court requires a joint report, so a filing by one side or the other is not sufficient. Second, the parties must email a Word version of a proposed Scheduling Order under Rule 16(b) to the Court's proposed order inbox. Lead counsel for the parties must participate in filing the initial status report. Plaintiff must serve this Order on all other parties. If the defendant has not been served with process, plaintiff's counsel must contact the Courtroom Deputy at jessica_j_ramos@ilnd.uscourts.gov to reschedule the initial status report deadline. Plaintiff should not file the Joint Initial Status Report before the defendant(s) has been served with process. The parties must discuss settlement in good faith and make a serious attempt to resolve this case amicably. All counsel of record must read and comply with this Court's Standing Orders on its webpage. Please pay special attention to the Standing Orders about Depositions and Discovery. The motions for leave to appear pro hac vice (Dckt. Nos. [16] and [17]) are granted. Attorney Gary M. Hnath and William Brady Nash are added as cousel for Popilush LLC. Mailed notice 翻译 |
| 24 |
11/05/2025
|
DECLARATION of Ms. Eve DeMartine regarding motion for temporary restraining order[19] (Declaration of Ms. Eve DeMartine in Support of Popilush LLC's Ex Parte Motion for Temporary Restraining Order, Preliminary injunction, Asset Restraint, and Expedited Discovery (Redacted)) 翻译 |
| 23 |
11/05/2025
|
DECLARATION of Nicholas J. Ronaldson regarding motion for temporary restraining order[19] Declaration of Nicholas J. Ronaldson in Support of Popilush LLC's Ex Parte Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery (Redacted)) 翻译 |
| 22 |
11/06/2025
|
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 |
| 21 |
11/06/2025
|
CASE ASSIGNED to the Honorable Steven C. Seeger. Designated as Magistrate Judge the Honorable Beth W. Jantz. Case assignment: Random assignment. (Civil Category 1). 翻译 |
| 20 |
11/05/2025
|
MEMORANDUM by Popilush LLC in support of motion for temporary restraining order[19] Popilush LLC's Memorandum of Law in Support of its Ex Parte Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery (Redacted) 翻译 |
| 19 |
11/05/2025
|
MOTION by Plaintiff Popilush LLC for temporary restraining order (Popilush LLC's Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery (Redacted)) 翻译 |
| 18 |
11/05/2025
|
COMPLAINT (Redacted) filed by Popilush LLC; Filing fee $ 405, receipt number AILNDC-24310271. 翻译 |
| 17 |
11/05/2025
|
MOTION for Leave to Appear Pro Hac Vice on behalf of Popilush LLC by William Brady Nash; Filing fee $ 150, receipt number AILNDC-24310071. 翻译 |
| 16 |
11/05/2025
|
MOTION for Leave to Appear Pro Hac Vice on behalf of Popilush LLC by Gary M. Hnath; Filing fee $ 150, receipt number AILNDC-24310042. 翻译 |
| 15 |
11/05/2025
|
MOTION by Plaintiff Popilush LLC for leave to file excess pages (Motion to Increase Page Limit of Memorandum of Law in Support of Plaintiff's Ex Parte Motion for Entry of a Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery) 翻译 |
| 14 |
11/05/2025
|
SEALED DOCUMENT by Plaintiff Popilush LLC Regarding ECF # 11 (Declaration of Eve Demartine in Support of Plaintiff's Ex Parte Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery) 翻译 |
| 13 |
11/05/2025
|
SEALED DOCUMENT by Plaintiff Popilush LLC Regarding ECF # 11 (Declaration of Nicholas J. Ronaldson in Support of Plaintiff's Ex Parte Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery) 翻译 |
| 12 |
11/05/2025
|
SEALED DOCUMENT by Plaintiff Popilush LLC Regarding ECF #11 (Memorandum of Law in Support of Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery) 翻译 |
| 11 |
11/05/2025
|
SEALED MOTION by Plaintiff Popilush LLC (Motion for Temporary Restraining Order, Preliminary Injunction, Asset Restraint, and Expedited Discovery) 翻译 |
| 10 |
11/04/2025
|
MAILED Patent request letter to counsel of record. 翻译 |
| 9 |
11/03/2025
|
NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Popilush LLC 翻译 |
| 8 |
11/03/2025
|
DECLARATION regarding motion for miscellaneous relief[6] (Declaration in Support of Motion for Leave to Serve Defendants by Electronic Means) 翻译 |
| 7 |
11/03/2025
|
MEMORANDUM by Popilush LLC in support of motion for miscellaneous relief[6] (Memorandum of Law in Support of Motion for Leave to Serve Defendants by Electronic Means) 翻译 |
| 6 |
11/03/2025
|
MOTION by Plaintiff Popilush LLC for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) 翻译 |
| 5 |
11/03/2025
|
MOTION by Plaintiff Popilush LLC for leave to file Documents Under Seal 翻译 |
| 4 |
11/03/2025
|
NOTICE by Popilush LLC of Claims Involving Patents 翻译 |
| 3 |
11/03/2025
|
ATTORNEY Appearance for Plaintiff Popilush LLC by Nicholas James Ronaldson 翻译 |
| 2 |
11/03/2025
|
CIVIL Cover Sheet 翻译 |
| 1 |
11/03/2025
|
SEALED DOCUMENT by Plaintiff Popilush LLC (Complaint) 翻译 |