2025-cv-14859 +组团 近期案件➥ 订阅

原告律所:John H. Choi & Associates LLC

品牌:匿名专利

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# Date Description
50
12/29/2025
REPLY to Response to Motion filed by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A re [67] First MOTION Damages 翻译
49
12/22/2025
Memorandum in Opposition of Motion 翻译
48
12/12/2025
Set/Reset Motion and R&R Deadlines/Hearings 翻译
47
12/11/2025
Miscellaneous Relief 翻译
46
09/22/2025
Transcript of PRELIMINARY INJUNCTION held on September 9, 2025, before Judge Madeline Cox Arleo. Court Reporter Diane DiTizii (973-776-7738). NOTICE REGARDING (1) REDACTION OF PERSONAL IDENTIFIERS IN TRANSCRIPTS AND (2) MOTION TO REDACT AND SEAL: The parties have seven (7) calendar days to file with the Court a Notice of Intent to Request Redaction of this Transcript to comply with Fed.R.Civ.P.5.2(a) (personal identifiers). Parties seeking to redact and seal this Transcript, or portions thereof, pursuant to L.Civ.R. 5.3(g) must e-file a Motion to Redact and Seal utilizing the event `Redact and Seal Transcript. Redaction Request to Court Reporter due, but not filed, by 10/14/2025. Redacted Transcript Deadline set for 10/23/2025. Release of Transcript Restriction set for 12/22/2025. 翻译
45
09/09/2025
Minute Entry for proceedings held before Judge Madeline Cox Arleo: Motion Hearing held on 9/9/2025 re [23] Emergency MOTION to Extend TRO filed by JOHN DOE. (Court Reporter, Diane DiTizii (973-776-7738) 翻译
44
09/11/2025
ORDER OF VOLUNTARY DISMISSAL without Prejudice. Signed by Judge Madeline Cox Arleo on 9/11/2025. 翻译
43
09/11/2025
ORDER of voluntary dismissal with prejudice as to Defendant #2 identified in Schedule A of the Verified Complaint as AIXIAO. Signed by Judge Madeline Cox Arleo on 9/11/2025. (dmr3) 翻译
42
09/11/2025
ORDER of voluntary dismissal with prejudice as to Defendant #9 identified in Schedule A of the Verified Complaint as LXBYJKJ. Signed by Judge Madeline Cox Arleo on 9/10/2025. (kht) Modified on 9/11/2025 翻译
41
09/11/2025
ORDER of voluntary dismissal with prejudice as to Defendant #14 identified in Schedule A of the Verified Complaint as EASY-DAILY. Signed by Judge Madeline Cox Arleo on 9/10/2025. (kht) Modified on 9/11/2025 (kht). Modified on 9/11/2025 翻译
40
09/11/2025
STIPULATION AND ORDER of Voluntary Dismissal as to Defendant 3 PlanCiTiDirect and Defendant 4 Morsisho Direct with prejudice. Signed by Judge Madeline Cox Arleo on 9/10/2025. 翻译
39
09/11/2025
STIPULATION AND ORDER of Voluntary Dismissal as to Defendant 13 Sotipevs R-US and Defendant 15 Vxcigen with prejudice. Signed by Judge Madeline Cox Arleo on 9/10/2025. 翻译
38
09/11/2025
ORDER denying preliminary injunction and dissolving the amended temporary restraining order. Signed by Judge Madeline Cox Arleo on 9/10/2025. 翻译
37
09/11/2025
NOTICE of Voluntary Dismissal as to Defendant Nos. 1, 5-8 and 10-12 by JOHN DOE 翻译
36
09/11/2025
Corporate Disclosure Statement by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. 翻译
35
09/10/2025
ORDER granting 39 Motion for Leave to Appear Pro Hac Vice as to MATTHEW DE PRETER. Signed by Magistrate Judge Jose R. Almonte on 9/11/2025. 翻译
34
09/10/2025
ORDER granting 32 and 35 Motions for Leave to Appear Pro Hac Vice as to TIANQIN ZHAO, SHAOYI CHE. Signed by Magistrate Judge Jose R. Almonte on 9/11/2025. 翻译
33
09/10/2025
JOINT EXPEDITED DISCOVERY SCHEDULING ORDER. Signed by Magistrate Judge Jose R. Almonte on 9/10/2025. 翻译
32
09/10/2025
TEXT ORDER: The Court is in receipt of the parties' proposed joint expedited discovery plan. The Court will adopt the parties' proposed deadlines and enter a scheduling order. In light of the foregoing, the status conference on September 10, 2025, is adjourned to November 7, 2025, at 10:00 a.m. For the conference, please dial 973-437-5535 and enter Phone conference ID: 663 809 880#. No later than October 31, 2025, the parties shall file a joint letter not to exceed five (5) pages summarizing the status of the case. To the extent the parties wish to raise a discovery dispute before the deadline set forth in the operative scheduling order, they shall do so consistent with the Court's Case Management Order. So Ordered by Magistrate Judge Jose R. Almonte on 9/10/2025. 翻译
31
09/10/2025
Proposed Order by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A re 23 Emergency MOTION to Extend TRO (EMERGENCY) re 18 Order. 翻译
30
09/10/2025
Letter from Plaintiff's Counsel to Hon. Jose R. Almonte (Joint). 翻译
29
09/09/2025
NOTICE of Voluntary Dismissal as to Defendant No. 2 by JOHN DOE 翻译
28
09/09/2025
NOTICE of Voluntary Dismissal as to Defendant No. 9 by JOHN DOE 翻译
27
09/09/2025
TEXT ORDER: A status conference will be held on September 10, 2025, at 9:30 a.m. For the conference, please dial 973-437-5535 and enter Phone conference ID: 663 809 880#. If the parties agree on a scheduling order and obviate the need for a conference, they shall file one JOINT letter with the agreed upon proposed schedule. So Ordered by Magistrate Judge Jose R. Almonte on 9/9/2025. 翻译
26
09/09/2025
Minute Entry for proceedings held before Magistrate Judge Jose R. Almonte. A status conference was held on September 9, 2025. The parties informed the Court that they have agreed on an expedited discovery schedule. The Court will schedule a follow-up status conference to discuss the deadlines but directed the parties to file a joint letter with proposed expedited discovery deadlines for the Court's consideration. The Court also directed the parties to raise the prospect of early resolution of this matter with their respective clients. (Court Reporter, ECR) 翻译
25
09/09/2025
BRIEF in Opposition filed by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A re 23 Emergency MOTION to Extend TRO (EMERGENCY) re 18 Order 翻译
24
09/09/2025
Corporate Disclosure Statement by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. (O'CONNOR, KEVIN) 翻译
23
09/09/2025
BRIEF in Opposition filed by JOHN DOE re 40 MOTION to Dismiss for Misjoinder 翻译
22
09/09/2025
RESPONSE in Support filed by JOHN DOE re 23 Emergency MOTION to Extend TRO (EMERGENCY) re 18 Order (Reply in Response to Doc. 38) 翻译
21
09/09/2025
NOTICE of Voluntary Dismissal as to Defendant No. 14 by JOHN DOE 翻译
20
09/09/2025
NOTICE of Voluntary Dismissal as to Defendant Nos. 3 and 4 by JOHN DOE 翻译
19
09/08/2025
MOTION to Dismiss for Misjoinder by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. 翻译
18
09/08/2025
MOTION for Leave to Appear Pro Hac Vice on behalf of Ningbo Longwell Electric Technology Co., Ltd., aka FANSEXPERT; Shenzhen Yili Technology Co., Ltd., aka Cazokasi Home; Shenzhen Honghe Electronic Technology Co., Ltd., aka Aristide Store; Shenzhen Luansheng Electronics Technology Co., Ltd., aka Socool Fan; and Shenzhen Zhile Environmental Protection Technology Co., Ltd., aka FanLover. by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. 翻译
17
09/08/2025
RESPONSE in Opposition filed by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A re 23 Emergency MOTION to Extend TRO (EMERGENCY) re 18 Order 翻译
16
09/08/2025
NOTICE of Appearance by KEVIN J. O'CONNOR on behalf of THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A (O'CONNOR, KEVIN) 翻译
15
09/08/2025
NOTICE of Appearance by KEVIN MICHAEL FOLTMER on behalf of THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A 翻译
14
09/08/2025
MOTION for Leave to Appear Pro Hac Vice of Tianqin Zhao by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. 翻译
13
09/08/2025
NOTICE of Appearance by KEVIN JOSEPH O'CONNOR on behalf of THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A (O'CONNOR, KEVIN) 翻译
12
09/08/2025
NOTICE of Voluntary Dismissal as to Defendant Nos. 13 and 15 by JOHN DOE 翻译
11
09/08/2025
MOTION for Leave to Appear Pro Hac Vice of Shaoyi Che by THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A. 翻译
10
09/08/2025
ORDER granting 26 Motion to Seal. Signed by Magistrate Judge Jose R. Almonte on 9/8/2025. 翻译
9
09/08/2025
NOTICE of Appearance by JORDYNN JACKSON on behalf of THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A 翻译
8
09/08/2025
CLERK'S QUALITY CONTROL MESSAGE - Please be advised, when entering a first appearance in a case, counsel should add their name when prompted. The Clerk's Office has added JORDYNN JACKSON as representing Defendant in this case. This submission will remain on the docket unless otherwise ordered by the court. This message is for informational purposes only. 翻译
7
09/08/2025
NOTICE of Appearance by VINCENT NATHANIEL BARBERA on behalf of THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A 翻译
6
09/08/2025
TEXT ORDER: The Court is in receipt of Plaintiff's motion for alternative service at ECF No. 24. However, Plaintiff has not yet discovered the identity or location of the Schedule A Defendants, and cannot ascertain whether service via conventional methods is futile. See generally ECF No. 14. Once Plaintiff has obtained the expedited discovery it intends to seek, and once they identify and determine the location of the Schedule A Defendants, then Plaintiff must serve process via conventional methods. If service via conventional methods is unsuccessful, then it may re-file its motion for alternative service. In light of the foregoing, Plaintiff's motion at ECF No. 14 is DENIED WITHOUT PREJUDICE. So Ordered by Magistrate Judge Jose R. Almonte on 9/8/2025. 翻译
5
09/08/2025
Letter from Defendants Requesting Remote Appearance re 21 Order, Set Hearings. 翻译
4
09/05/2025
MOTION to Seal ECF No. 5-2 by JOHN DOE. 翻译
3
09/04/2025
TEXT ORDER: The Court has reviewed Plaintiff's motion for leave to take expedited discovery (ECF No. 14). After considering the Plaintiff's arguments, Plaintiff's motion is GRANTED insofar as Plaintiff seeks limited discovery, directed to third-party platforms and processors, to obtain the names, physical addresses, email addresses, and account identifiers associated with the Schedule A Defendants. Plaintiff's request to seek expedited discovery to obtain Defendants' financial account information is DENIED. A party may seek early discovery, before a Rule 26(f) conference, where the party seeking such discovery has established good cause, e.g., when expedited discovery is necessary to identify and properly serve unknown defendants. See Strike 3 Holdings, LLC v. Doe, 964 F.3d 1203, 1207 (D.C. Cir. 2020) ("In cases involving as-yet-unknown defendants, in which the plaintiff cannot serve its complaint--much less confer with the defendant--without obtaining identifying information from a third party, the only potential avenue for discovery is [a court order under] Rule 26(d)(1).") (internal quotations omitted); Strike 3 Holdings, LLC v. Doe, No. 18-cv-12585, 2020 WL 3567282, at *1 (D.N.J. June 30, 2020). Plaintiff has established good cause for seeking expedited discovery to identify the Schedule A Defendants. Those Defendants remain anonymous, and without expedited discovery, Plaintiff will be unable to provide Schedule A Defendants with notice of the Complaint and the TRO currently in effect (ECF No. 18). However, Plaintiff has not established good cause for expedited discovery related to Defendants' "financial account information sufficient to identify the payment accounts used in connection with Defendants' accused sales." ECF No. 14-1 at 4. Plaintiff's only proffered reasons for such information are Plaintiff's "legitimate interest in preventing further dissipation of proceeds derived from infringing sales pending the preliminary injunction hearing," and to maintain the status quo. Id. at 2, 4-5. However, such a request goes beyond the current needs of this case, i.e., identifying the proper Defendants and providing them sufficient notice of this action and the operative TRO. See Strike 3 Holdings, LLC, 2020 WL 3567282, at *8. ("The second good cause factor, whether the request is narrowly tailored, also warrants permitting the discovery sought. Plaintiff seeks only the name and permanent address of the IP address subscribers. Such identifying information is narrowly tailored, requesting no more than would be required to identify the relevant individual."). Once Defendants are properly served they will be on notice of the TRO, which expressly prohibits them from dissipating their assets. And, assuming that Plaintiff satisfy the requirements set forth under Rule 26, Plaintiffs will have an opportunity in due course to engage in full discovery and confirm whether Defendants have complied with the spirit and letter of the TRO. Should Defendants act in a way contrary to the TRO, Plaintiff may seek the proper relief at the time such a violation becomes known. Plaintiff's cited authority does not compel a different conclusion-the case law does not support granting expedited discovery as to Defendants' financial account information. See Better Packages, Inc. v. Zheng, No. 05-cv-4477, 2006 WL 1373055, at *5 (D.N.J. May 17, 2006) (denying Plaintiff's motion for expedited discovery); Voltage Pictures v. Does 1-60, No. 12-cv-6885, 2013 WL 12406868, at *4 (D.N.J. May 31, 2013) (allowing expedited discovery only to obtain the contact information for a John Doe defendant). So Ordered by Magistrate Judge Jose R. Almonte on 9/4/2025. 翻译
2
09/04/2025
Set Deadlines as to 24 Emergency MOTION for Alternative Service, 23 Emergency MOTION to Extend TRO. Motion set for 10/6/2025 before Judge Madeline Cox Arleo. Unless otherwise directed by the Court, this motion will be decided on the papers and no appearances are required. Note that this is an automatically generated message from the Clerk`s Office and does not supersede any previous or subsequent orders from the Court. 翻译
1
09/03/2025
Emergency MOTION for Alternative Service by JOHN DOE. 翻译