原告律所:Whitewood Law PLLC
品牌:OLGA DROZDOVA 蝴蝶版权
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# | Date | Description |
46 |
08/29/2025
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ORDER DENYING 59 Motion to Enforce Court's Orders filed by Defendants COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, tiannai. In their 59 Motion, 19 Defendants have moved for an order (1) affirming that they are not subject to the 17 Temporary Restraining Order and 33 Preliminary Injunction that the Court previously issued in this case, (2) directing Amazon.com, Inc. to lift any restraints on the Defendants' seller accounts and funds, and (3) authorizing service of said order on Amazon via email and/or by direct message through Amazon's Seller Central interface. Moving Defendants aver that Amazon has refused to release their funds that were restrained pursuant to the 17 Temporary Restraining Order unless and until it receives a direct instruction to do so from Plaintiff Olga Drozdova. ECF No. 59. As a result, moving Defendants claim to be suffering "ongoing harm including inaccessibility of funds, interruption of business operations, and loss of goodwill." Id. at 2 The Court ordered Ms. Drozdova to respond to the 59 Motion, and she has timely done so. ECF Nos. 60, 62. Ms. Drozdova opposes the relief sought by moving Defendants on the basis that their assets are not frozen by any order of this Court, but by some other restraint, whether that be a different restraining order issued by some other court, or by Amazon itself pursuant to its internal protocols. ECF No. 62. Accordingly, Ms. Drozdova argues that the Court lacks subject matter jurisdiction to issue an order directing Amazon to unfreeze moving Defendants' assets. Id. At the outset, the Court notes that while it previously issued a 17 Temporary Restraining Order freezing moving Defendants' Amazon accounts, that temporary injunctive relief expired on 6/16/2025, at which time the Court declined to grant Ms. Drozdova a preliminary injunction further restraining the moving Defendants' assets. ECF Nos. 17, 26, 32. Ms. Drozdova's 62 Response is accompanied by the declaration of her counsel, Michael Mitchell, which attaches exhibits showing that Ms. Drozdova gave Amazon notice that the moving Defendants are no longer subject to any restraint issued by this Court, and that Ms. Drozdova directed Amazon to release any assets restrained pursuant to this Court's orders. ECF Nos. 62-1, 62-2, 62-3, 62-4. Indeed, the Amazon chat log that moving Defendants attached as an exhibit to their 59 Motion reveals that Amazon has notice that this case has been dismissed, and further reveals that Amazon declined to release moving Defendants' assets because "another TRO issue ha[d] been reported." ECF No. 59-2. The chat log also shows that Amazon provided moving Defendants the contact information for the counsel of the "Rights owner" responsible for the ongoing restraint, who is not Ms. Drozdova's counsel, and included a case number that is not the number assigned to this matter. Id. Given the evidence presented, the Court agrees with Ms. Drozdova that it lacks subject matter jurisdiction to grant moving Defendants the relief they seek. While moving Defendants characterize their requested relief as "narrowly tailored," ECF No. 59 at 3, it is not. Rather, they seek an order "[d]irect[ing] Amazon to lift all holds and restraints on the Moving Defendants' accounts and funds." Id. (emphasis added). That request would cover restraints affecting parties not present here, and therefore implicates no live case or controversy between Ms. Drozdova and the moving Defendants. Accordingly, the Court lacks jurisdiction to grant it. See Hartnett v. Pa. State Educ. Ass'n, 963 F.3d 301, 304 (3d Cir. 2020)) ("[F]ederal courts can entertain actions only if they present live disputes, ones in which both sides have a personal stake."). Accordingly, IT IS HEREBY ORDERED that the 59 Motion is DENIED. Signed by Judge Christy Criswell Wiegand on 8/29/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
45 |
08/29/2025
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RESPONSE IN OPPOSITION to 59 Motion to Enforce, 60 Order filed by OLGA DROZDOVA. 翻译 |
44 |
08/28/2025
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NOTICE of Voluntary Dismissal as to Defendants Minlong E-commerce Center (Def. 216), zhangxiaoqinstore (Def. 362), and DuskwhisperMint (Def. 428) by OLGA DROZDOVA 翻译 |
43 |
08/28/2025
|
ORDER re 59 Motion to Enforce Court's Orders filed by Defendants COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, tiannai. In their 59 Motion, 19 Defendants have moved for an Order (1) affirming that they are not subject to the 17 Temporary Restraining Order and 33 Preliminary Injunction that the Court previously issued in this case, (2) directing Amazon.com, Inc. to lift any restraints on the Defendants' seller accounts and funds that were imposed pursuant to the 17 Temporary Restraining Order, and (3) authorizing service of said Order on Amazon via email and/or by direct message through Amazon's Seller Central interface. The Court previously issued a temporary restraining order freezing the funds in moving Defendants' Amazon seller accounts for a period of 28 days. ECF Nos. 17, 26. However, that temporary injunctive relief was set to expire upon the Court's ruling on the Plaintiff's request for a preliminary injunction against the moving Defendants. See id. On 6/16/2025, the Court declined to issue a preliminary injunction against the moving Defendants, and later dismissed them from this case without prejudice for misjoinder. ECF Nos. 32, 48. Moving Defendants now aver that Amazon.com has refused to release their funds that were restrained pursuant to the 17 Temporary Restraining Order unless and until it receives a direct instruction to do so from Plaintiff Olga Drozdova. ECF No. 59. As a result, moving Defendants are suffering "ongoing harm including inaccessibility of funds, interruption of business operations, and loss of goodwill.' Id. at 2. Counsel for the moving Defendants represents that she conferred with counsel for Ms. Drozdova before filing the instant Motion, and that Ms. Drozdova's counsel stated that Ms. Drozdova "had previously notified Amazon." ECF No. 59-4. Despite this representation, counsel for moving Defendants represents that the "the hold remains in place" and "[t]he parties were unable to resolve the issues." Id. Accordingly, IT IS HEREBY ORDERED that by NOON tomorrow, 8/29/2025, Ms. Drozdova shall respond to the 59 Motion. Ms. Drozdova's response shall describe what her position is on the relief sought by moving Defendants in their 59 Motion, what steps she has taken to notify Amazon that the temporary restraining order against moving Defendants has expired, and whether she has directed Amazon to release the moving Defendants' funds. Signed by Judge Christy Criswell Wiegand on 8/28/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
42 |
08/28/2025
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MOTION to Enforce Court's orders by COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, tiannai. 翻译 |
41 |
08/22/2025
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NOTICE of Voluntary Dismissal as to Defendants Newshine (Def. 227) and Sunshare (Def. 290) by OLGA DROZDOVA 翻译 |
40 |
08/11/2025
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ORDER GRANTING 56 Motion for Leave to File Documents Under Seal filed by Defendants COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, and tiannai. According to the United States Court of Appeals for the Third Circuit, "the common law presumes that the public has a right of access to judicial materials." In re Avandia, 924 F.3d 662, 672 (3d Cir. 2019). To overcome this presumptive right of access to judicial materials, "[t]he party seeking to overcome the presumption of access bears the burden of showing 'that the interest in secrecy outweighs the presumption.'" Id. (quoting Bank of Am. Nat'l Trust & Sav. Ass'n v. Hotel Rittenhouse Assocs., 800 F.2d 339, 344 (3d Cir. 1986)). That is, "[t]he movant must show 'that the material is the kind of information that courts will protect and that disclosure will work a clearly defined and serious injury to the party seeking closure.'" Id. (quoting Miller v. Ind. Hosp., 16 F.3d 549, 551 (3d Cir. 1994)). And, "[b]road allegations of harm, bereft of specific examples or articulated reasoning, are insufficient" to meet this burden. Id. at 673 (quoting In re Cendant Corp., 260 F.3d 183, 194 (3d Cir. 2001). Here, moving Defendants request to file under seal confidential settlement communications which they intend to submit in support of their contemplated motion to enforce the Court's order denying injunctive relief. ECF Nos. 56, 56-1. Defendants aver that these communications should be sealed because they contain confidential settlement discussions and that public disclosure could prejudice the parties. Id. The Court finds that Defendants have sufficiently demonstrated that sealing such sensitive information is necessary to protect the confidentiality of such information. Accordingly, IT IS HEREBY ORDERED that the 56 Motion is hereby GRANTED and Defendants may file the settlement communications under seal. Defendants shall not be required to file a redacted version of the settlement communications, but they are required to serve the sealed documents on opposing counsel using traditional service methods. Signed by Judge Christy Criswell Wiegand on 8/11/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
39 |
08/08/2025
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MOTION for Leave to File Documents Under Seal by COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, tiannai. 翻译 |
38 |
08/08/2025
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COPYRIGHT DOCUMENTS ISSUED - E-mailed copy of this letter, AO 121 Form, Docket Sheet and the Order of Dismissal to the Copyright Office. 翻译 |
37 |
08/07/2025
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NOTICE of Voluntary Dismissal as to Defendants ALAZA (Def. 6), BAIHUISHOP (Def. 18), Blueangle (Def. 24), Coikll (Def. 44), Fakifak (Def. 80), Flildon (Def. 86), KEEPREAL (Def. 171), LMLFT (Def. 195), Nangou (Def. 224), TaiyuShop (Def. 291), Xiaoyu8888 (Def. 328), YZGO (Def. 355), and zhengzhiqi2299 (Def. 368) by OLGA DROZDOVA 翻译 |
36 |
08/07/2025
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ORDER granting 52 Motion for Mingbo Ye to Appear Pro Hac Vice. Signed by Judge Christy Criswell Wiegand on 8/7/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
35 |
08/05/2025
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MOTION for attorney Mingbo Ye to Appear Pro Hac Vice, (Filing fee $70, Receipt # APAWDC-9015254) by COINPSHOP, Drawstring Bags Shop, Flyup Trade, Fopica Laundry Bag, FreeinWild, Hand Towels Store, Invinch, Luggage Tag1, MoslionDirect, NKBOT, Scarfrtcshop, Smooffly, Uconsion, WANDERT, XPing, Yuwouni, angleoo, qikongshangmao, tiannai. 翻译 |
34 |
08/01/2025
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ORDER that, in light of 50 Notice of Voluntary Dismissal filed by OLGA DROZDOVA, this case is hereby dismissed with prejudice. Clerk is to mark CASE CLOSED. Signed by Judge Christy Criswell Wiegand on 8/1/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
33 |
05/13/2025
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Judge Christy Criswell Wiegand presiding. 翻译 |
32 |
07/30/2025
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NOTICE of Voluntary Dismissal as to Defendants 80SDESIGN (Def. 1), ablink (Def. 2), adornlife (Def. 3), AO-NINEONE (Def. 9), Artistic Curtain (Def. 10), Aschar (Def. 11), ATTX (Def. 13), Axjgxq (Def. 15), Axtzh (Def. 16), AYQUAN (Def. 17), BENSHRHL (Def. 20), Bestyi (Def. 22), BOCHEERY (Def. 26), BooYeea (Def. 27), CafeTime (Def. 30), Camille Donahue (Def. 31), Casouxuew (Def. 32), Caweet (Def. 33), Chayber (Def. 35), Chen heng feng (Def. 36), Chusheng (Def. 38), claudiass10 (Def. 40), CLS-GLOBAL (Def. 41), CMNIM (Def. 42), Cnhashaw (Def. 43), crofyoung (Def. 47), CUTEBAGS-US (Def. 49), CZXW (Def. 50), dangruo (Def. 52), danyanglanmuguangxueyanjingyouxiangongsi (Def. 53), Dascloud (Def. 54), Decaistore (Def. 56), Deemch (Def. 57), Delerain (Def. 58), Dg-machangfangmaoyi (Def. 59), DIGTIA (Def. 60), DingChengMoju (Def. 61), DIYHOT (Def. 64), DIYSTYLE (Def. 65), dongguanshiyingqianfuzhuangyouxiangongsi (Def. 68), duyouhaiyangkeji (Def. 72), DWADW (Def. 73), DWay Technology Limited (Def. 74), dwjid (Def. 76), EINKI (Def. 78), FANERTE (Def. 81), Fideen (Def. 84), FINOWIN Boutique (Def. 85), FunHomie (Def. 92), GangTe Design (Def. 94), GdrJahh (Def. 95), GiantThink (Def. 96), GKCLOCK (Def. 97), GOKU Store (Def. 99), GuangshuishiYingshanjiaxiudianzishangwuzhongxin (Def. 101), Guangzhou Weifuda Trading Co., Ltd. (Def. 102), guangzhougaonianshangmaoyouxiangongsi (Def. 103), guangzhoushantaoshangmaoyouxiangongsi (Def. 104), guangzhoushundanshangmaoshanghang gerenduzi (Def. 105), Gylint (Def. 108), HAIHUI US (Def. 110), Hanchuan City Lijie Daily Necessities Store (Def. 111), HeavenSong (Def. 114), hefeiyaqiyunshuyouxiangongsi (Def. 116), Hisanyran (Def. 118), hldfc (Def. 120), hlgff (Def. 121), Hljlj-US (Def. 122), Home Products-US (Def. 124), HomeTrading-US (Def. 125), hongchaodong (Def. 126), hongtao-1 (Def. 127), Huafish (Def. 130), Huang store (Def. 131), huangqile (Def. 133), huizuqubaipinjiubaihuodian (Def. 135), Hungeen (Def. 138), HUXINO (Def. 139), IADOU (Def. 140), ihshop (Def. 141), JALLY (Def. 143), JDDRUS (Def. 144), Jihqo (Def. 149), jilinshengkaifafashangmaodiangerenduzi (Def. 150), JingXCYT (Def. 151), Jinmdz (Def. 152), JKhandy (Def. 155), jmcsy (Def. 156), Jmfcy (Def. 157), Jmjhy (Def. 158), JOYSAY (Def. 160), Jueeco (Def. 163), juguangfushi (Def. 164), KENADVI-STORE (Def. 172), kengsuishangmaoyouxiangongsi (Def. 173), kingpan (Def. 174), KJIZMO (Def. 175), KOCOART (Def. 176), Ksionmingse (Def. 177), KUWT (Def. 179), Laidehusat (Def. 180), Lancerry (Def. 181), LanKen (Def. 182), lianghongbing12 (Def. 187), LINMEIZHEN (Def. 188), Liooker (Def. 189), LLRline (Def. 193), LNINXUU (Def. 196), longxiang0801 (Def. 197), lookenia (Def. 198), LOSJXH (Def. 199), Lotupokon (Def. 200), LoveTaoTao (Def. 201), luanguo (Def. 202), LZMVTAF (Def. 205), Machaut (Def. 206), meiyazhen (Def. 211), mingxuanjingmi (Def. 215), mrmian (Def. 219), Msauto (Def. 221), muishibaby (Def. 222), MYS QiQi (Def. 223), Nazhqawu (Def. 225), NineHansen (Def. 228), niutech (Def. 229), NJNT (Def. 230), Ollabaky (Def. 235), ONEFOJOJO (Def. 236), ONEVENVI (Def. 237), OTVEE (Def. 238), Oyisca (Def. 240), Pimaodog (Def. 242), pingluzhimindianzishangwuyouxiangongsi (Def. 243), PNYOIN (Def. 244), POFATO BAG (Def. 246), POFATO FRAMES (Def. 247), POUKE (Def. 248), PYBUG (Def. 250), QeLen (Def. 251), quanzhoushilichengqukuabadianzishangwuLtd (Def. 257), redorange (Def. 258), Ripeau (Def. 260), Romans8:37 (Def. 261), ROUBVFZQ (Def. 262), SHAOSHAN-june (Def. 271), Shenshan (Def. 273), Shian Ti (Def. 275), SHIQZVZS (Def. 276), Sletend-Z (Def. 281), songsongabc (Def. 284), SSBHLE (Def. 286), sunhaichuan01 (Def. 288), ThreeTu (Def. 292), tianjing002 (Def. 293), TING YEAH (Def. 295), Topratesell (Def. 297), Tushion (Def. 298), Txinmin (Def. 299), TZJ HOME (Def. 300), UPONE (Def. 302), UriahMall (Def. 303), USA Essentials Store (Def. 304), Use4 (Def. 305), VIGENCIA (Def. 306), VIGTRO (Def. 307), VIKKO (Def. 308), wangjingguangzhouwaitaishangmao (Def. 310), wangxianying01 (Def. 313), Watuequa (Def. 318), wenlinruiwangluokeji (Def. 320), wozo (Def. 323), xiamenshihuliqulianghuishuichanpinjingyingbu (Def. 326), Xiangzhong Co., LTD (Def. 327), XIBAODAN (Def. 329), XIJIA-UK (Def. 330), Xinglianda (Def. 332), XinzechenDirect (Def. 335), Xmyxyy (Def. 336), yeliyingguangzhousiyushangmao (Def. 343), YHUISENUS (Def. 345), Yinuoge (Def. 348), YoYo Yu (Def. 351), Yzrwebo (Def. 356), zhangchaodong (Def. 358), zhaochenmeibaihuodian (Def. 365), ZHENBAOLAI (Def. 367), ZhiRain (Def. 371), ZHLJ1992-ING (Def. 372), zhongjikeji (Def. 373), zhongpeikeji (Def. 374), ZhongYue (Def. 375), zhoulongkejius (Def. 376), ZKING (Def. 379), Zotfan (Def. 381), Zrycn Offical (Def. 382), zydiagxu (Def. 383), A3AK3XVJOQVZBQ (Def. 384), AHXY8X8S6OQVQ (Def. 386), Celestt (Def. 405), Customized QYF Crystal (Def. 417), Dinora local (Def. 424), Hello thank you for visiting (Def. 458), Homemia (Def. 468), HXYMoon (Def. 472), Ideal Cup (Def. 473), Jiang Ke daily necessit (Def. 475), jiangtaofangzhi (Def. 476), Jinmeng Home Furnishings (Def. 479), Little Yellow Duck Life House local (Def. 491), Love customization love home (Def. 494), Lucky yuyang (Def. 499), Magical Gardens (Def. 502), MJIN (Def. 509), ModernAestheticsDesignLab (Def. 512), Pasitin (Def. 517), Qishan Beautiful Express (Def. 522), RFHBP local (Def. 526), RZ headwears collection (Def. 530), The edge of a hat (Def. 544), wangfengweiC (Def. 555), wangfengweiP (Def. 556), wangfengweiR (Def. 557), Welcome to bag House (Def. 560), WH SHOP (Def. 561), XEDESIGN (Def. 565), XI LING BAG (Def. 567), xunlix (Def. 575), YDTXXH (Def. 579), YONGKING (Def. 582), YQME (Def. 583), YUBOFANGZHIPIN (Def. 585), FengFire (Def. 591), lunjixianmaoyi (Def. 594), NICKSUN Store (Def. 595), SPEKSEE Store (Def. 596), and Yi Yong Co., Ltd. (Def. 599) by OLGA DROZDOVA 翻译 |
31 |
07/23/2025
|
ORDER TO SHOW CAUSE: IT IS HEREBY ORDERED that Plaintiff show cause by July 30, 2025 as to why her claims against Defendant 80SDESIGN should not be dismissed for failure to prosecute, or shall request an entry of default as to Defendant 80SDESIGN. Signed by Judge Christy Criswell Wiegand on 7/23/2025. 翻译 |
30 |
07/01/2025
|
ORDER re 40 Response to Order to Show Cause filed by Plaintiff OLGA DROZDOVA. On 6/16/2025, the Court issued a preliminary injunction against the first named Defendant in this action, 80SDESIGN. ECF No. 33. The Court declined to issue a preliminary injunction against the other 599 named Defendants. ECF No. 32. Specifically, the Court determined that "Ms. Drozdova ha[d] not presented sufficient evidence establishing that joinder of all 600 Defendants in this case is appropriate under Rule 20 of the Federal Rules of Civil Procedure." Id. at 7. Accordingly, the Court ordered Ms. Drozdova to show cause as to why Defendants 2 through 600 should not be dismissed from this case for misjoinder, or file an Amended Complaint asserting claims against only those Defendants for whom Ms. Drozdova could establish proper joinder. Id. On 6/24/2025, Ms. Drozdova filed her 40 Response to the Court's order to show cause. In her 40 Response, Ms. Drozdova argues that joinder of all 600 Defendants in this case is proper under Rule 20, and asks the Court to reconsider its decision not to issue a preliminary injunction against Defendants 2 through 600 and permit this case to proceed against those Defendants. For the reasons discussed below, the Court remains unpersuaded that joinder of the 600 Defendants in this case is proper, and will dismiss Defendants 2 through 600 without prejudice. First, Ms. Drozdova's analogy to cases involving "swarms" of infringing defendants that participate in peer-to-peer file-sharing of copyrighted works is inapposite. In such cases, some courts have found joinder of a multitude of defendants appropriate because in that context "'swarm' refers to a group of computers in a peer-to-peer network downloading the same torrent. In this way, the computers are connected in purpose [to share copyright-protected files]." Toyota Motor Sales, U.S.A., Inc. v. P'ships and Unincorporated Ass'ns Identified on Schedule A, 24-cv-9401, ECF No. 27 at 2 (N.D. Ill. Nov. 18, 2024); see Pathway IP LLC v. Individuals, Corps., Ltd. Liab. Companies, Partnerhips, & Unincorporated Associations Identified on Attached Schedule A, No. 24-CV-5218, 2025 WL 815648, at *4 (N.D. Ill. Mar. 13, 2025) ("In the BitTorrent context, all users' sharing of the infringing files necessarily stems from one initial upload of the copyrighted work, which leads to a series of uploads and downloads of the same file."). That is not the situation here. Rather, this case involves 600 Defendants who are each alleged to have individually sold various physical products that infringe on Ms. Drozdova's copyrighted artwork. ECF No. 2. "Simply committing the same type of violation in the same way does not link defendants together for the purposes of joinder," Kokinda v. Pennsylvania Dep't of Corr., 663 F. App'x 156, 159 (3d Cir. 2016), a point which Ms. Drozdova concedes, ECF No. 40 at 9 ("Plaintiff recognizes that infringement of the same work, standing alone, is not sufficient to establish joinder"). Rather, there must be some "logical relationship" between the transaction, occurrence, or series of transactions and occurrences giving rise to each of the plaintiff's claims. See Raw Films, 2012 WL 1019067, at *3; UN4 Prods., Inc. v. Does 1-15, No. CV 17-2768, 2017 WL 5885779, at *2 (E.D. Pa. Nov. 29, 2017) (citing cases) ("A claim arises from the same transaction or occurrence if a logical relationship exists among the claims asserted. This logical relationship depends on the factual background surrounding the claims. Joinder is freely permitted where the factual background is the same, as in one automobile accident involving multiple parties. But in instances where the claims against the defendants involve different facts, joinder is inappropriate."). Recognizing as much, Ms. Drozdova now offers additional evidence that she claims establishes a logical relationship amongst the Defendants. Specifically, she submits screenshots purporting to establish that at least 74 Defendants "share[d] at least one common supplier/manufacturer[, www.hicustom.com]." ECF No. 40 at 4. Ms. Drozdova argues that "[b]ased on the comparison of Defendants' infringing products and the images found on hicustom.com, at least 74 Defendants worked with www.hicustom.com to manufacture the infringing products." Id. at 4-5. But even if these 74 Defendants did use the same source to manufacture infringing products, that does not establish a logical relationship between those 74 Defendants, let alone the rest of the 600 Defendants in this case. See Viking Arm AS v. Partnerships & Unincorporated Associations Identified on Schedule A, No. 24 C 1566, 2024 WL 2953105, at *3 (N.D. Ill. June 6, 2024) ("Plaintiff further points out that defendants likely use the same manufacturer to procure certain parts or the same platforms to sell counterfeit products that are distributed through common shipping facilities, but those are all 'coincidentally identical facts' that reflect the way these internet webstores tend to operate."); Patrick Collins, Inc. v. Does 1-17, No. 12-CV-3642, 2012 WL 13018274, at *3 (E.D. Pa. Sept. 27, 2012) (quoting In re EMC Corp., 677 F.3d 1351, 1356 (Fed. Cir. 2012)) ("Claims against independent defendants (i.e., situations in which the defendants are not acting in concert) cannot be joined under rule 20's transaction-or-occurrence test unless the facts underlying the claim of infringement asserted against each defendant share an aggregate of operative facts. [In other words, there must be] shared, overlapping facts. [that] give rise to each cause of action, and not just distinct, albeit coincidentally identical, facts."). The other piece of new evidence offered by Ms. Drozdova is similarly unpersuasive. She provides a screenshot that purports to show that "Defendants are acting in concert because they joined at least one chat group discussing the current case." ECF No. 40 at 8. But the proffered screenshot only shows a portion of a message posted by a user named "Toms Baijixiong" discussing the instant case. ECF No. 40-7. Contrary to Ms. Drozdova's assertion, there is no indication that any of the Defendants "joined" a group chat. See id. Finally, Ms. Drozdova argues that "joinder of the Defendants promotes judicial economy, prevents a multiplicity of lawsuits and reduces inconvenience, delay and added expense," and that Defendants are not prejudiced by joinder. ECF No. 40 at 11-13. The Court disagrees. Cases like this one typically result in most Defendants defaulting. See Estee Lauder Cosms. Ltd. v. Partnerships & Unincorporated Associations Identified on Schedule A, 334 F.R.D. 182, 189 (N.D. Ill. 2020) ("[C]ases like this one. have often resulted in default judgments."). This case involves 600 Defendants, more than any of the cases cited by Ms. Drozdova where joinder was found appropriate. "Combining hundreds of unrelated defendants in one case creates a burden on courts since courts must evaluate the evidence submitted in support of liability and, eventually, apportion damages among the parties." H-D U.S.A. v. Partnerships & Unincorporated Associations Identified on Schedule "A", No. 21-CV-01041, 2021 WL 780486, at *3 (N.D. Ill. Mar. 1, 2021). And the usual ex parte context of cases like this one magnifies that burden. See Bailie v. Partnerships & Unincorporated Associations Identified on Schedule A, 734 F. Supp. 3d 798, 804 (N.D. Ill. 2024) (quotation omitted) ("Since evidence presented ex parte is by its very nature one-sided, the law demands close scrutiny of such affidavits [and evidence], particularly in those instances wherein the affiant is not a disinterested party."); Estee Lauder, 334 F.R.D at 189. Thus, "the burden of conducting a meaningful review of so much material not only disserves the interest of judicial economy but also substantially prejudices the defendants." Bailie, 734 F.Supp. 3d at 804. For all of the foregoing reasons, the Court remains convinced that joinder of all 600 Defendants in this case is not appropriate, and declines to reconsider its 32 Opinion and Order. Furthermore, Ms. Drozdova's argument that dismissal of 599 Defendants for misjoinder would prejudice her because "Defendants would be able to move assets or further evade accountability for their actions," ECF No. 40 at 14, is unconvincing. The Court has declined to issue a preliminary injunction against 599 Defendants, ECF No. 32, so even if they remained in this case their assets would be unrestrained. Exercising its discretion, the Court concludes that dismissal of Defendants 2 through 600 for misjoinder is appropriate. See Sabolsky v. Budzanoski, 457 F.2d 1245, 1249 (3d Cir. 1972) ("The proper remedy in case of misjoinder is to grant severance or dismissal to the improper party if it will not prejudice any substantial right."); Lester v. Rosato, No. 3:CV-14-1046, 2014 WL 3421072, at *2 (M.D. Pa. July 11, 2014) ("Courts have broad discretion in applying Rule 20"). Accordingly, IT IS HEREBY ORDERED that Defendants 2 through 600, as set forth in Schedule A to the 2 Complaint, are hereby DISMISSED from this case WITHOUT PREJUDICE. Signed by Judge Christy Criswell Wiegand on 7/1/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
29 |
07/01/2025
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ORDER granting 45 Motion for Mingbo Ye to Appear Pro Hac Vice. Signed by Judge Christy Criswell Wiegand on 7/01/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
28 |
06/30/2025
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STIPULATION of Dismissal Joint as to Defendant YKD Pet (Def. 350) by OLGA DROZDOVA. 翻译 |
27 |
06/30/2025
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MOTION for attorney Mingbo Ye to Appear Pro Hac Vice, (Filing fee $70, Receipt # APAWDC-8945021) by MRTLLOA. 翻译 |
26 |
06/30/2025
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COPYRIGHT DOCUMENTS ISSUED. Emailed copy of Transmittal Letter, AO 121 Form, Complaint, Exhibits and Docket Sheet to the Register of Copyrights. 翻译 |
25 |
06/27/2025
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AO 121 NOTICE by OLGA DROZDOVA 翻译 |
24 |
06/26/2025
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NOTICE of Voluntary Dismissal as to Defendants Avalokitesvara Direct (Def. 14), BOVUGAC (Def. 28), Doterii (Def. 69), Dushuame (Def. 71), FastSun (Def. 83), HOUDECOR (Def. 128), Hrozino (Def. 129), Kaariok (Def. 168), Kurtect (Def. 178), LF1997 (Def. 185), Llylumty (Def. 194), MAKIEE (Def. 207), NERTNUYT (Def. 226), OURVII DIY U (Def. 239), PigBoss (Def. 241), putianshichengxiangquhaoyuxiaoshangmaoyouxiangongs (Def. 249), YAODINGHUI (Def. 341), yiyefa (Def. 349), zhangzhuandeng756455 (Def. 363), zhasohaiyang (Def. 366), Cozy Loom TXH (Def. 366), Custom TXH (Def. 410), Dream ten (Def. 416), GoStarlight (Def. 450), Style Haven TXH (Def. 537), Tengxianghome (Def. 543), The Style Loft TXH (Def. 545), TOPCredibility (Def. 549), Warm Whimsy TXH (Def. 559), Artteal Decor Co.Ltd (Def. 590), and YYing (Def. 600) by OLGA DROZDOVA 翻译 |
23 |
06/26/2025
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BRIEF in Opposition to 40 Response to Order to Show Cause, filed by Britime. 翻译 |
22 |
06/23/2025
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RESPONSE TO ORDER TO SHOW CAUSE re 32 Memorandum Opinion filed by OLGA DROZDOVA. 翻译 |
21 |
06/20/2025
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NOTICE of Voluntary Dismissal as to Defendant shen yang shi shen he qu gao guan bai huo mao yi d (Def. 272) by OLGA DROZDOVA 翻译 |
20 |
06/20/2025
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CLERK'S OFFICE QUALITY CONTROL MESSAGE re 2 COMPLAINT. Attorney to submit AO 121 Report on the Filing or Determination of an Action or appeal Regarding a Copyright. Attorney advised to file the Notice within 7 days. The link to the report can be found under Other Forms at: http://www.uscourts.gov/FormsAndFees/Forms/CourtFormsByCategory.aspx 翻译 |
19 |
06/20/2025
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ANSWER to 2 Complaint by zanlin. Modified text on 6/20/2025 to add link. 翻译 |
18 |
06/20/2025
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NOTICE of Filing Exhibit A to Answer by Britime re 36 Answer to Complaint 翻译 |
17 |
06/20/2025
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ANSWER to 2 Complaint by Britime. Modified text on 6/20/2025 to add link. 翻译 |
16 |
06/20/2025
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ORDER granting 34 Motion for Jianyin Liu to Appear Pro Hac Vice. Signed by Judge Christy Criswell Wiegand on 6/20/2025. Text-only entry; no PDF document will issue. This text-only entry constitutes the Order of the Court or Notice on the matter. 翻译 |
15 |
06/19/2025
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MOTION for attorney Jianyin Liu to Appear Pro Hac Vice, (Filing fee $70, Receipt # APAWDC-8927363) by Britime, zanlin. 翻译 |
14 |
06/16/2025
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PRELIMINARY INJUNCTION ORDER: IT IS HEREBY ORDERED THAT the injunctive relief previously granted on 5/15/2025, and extended by further Order on 5/21/2025, shall remain in place through the pendency of this litigation against Defendant 80SDESIGN only, as more fully set forth in the attached Order. IT IS FURTHER ORDERED that the $5,000.00 bond posted by Plaintiff shall remain with the Court until a final disposition of this case or until this PI Order is terminated. Signed by Judge Christy Criswell Wiegand on 6/16/2025. 翻译 |
13 |
06/16/2025
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OPINION AND ORDER Denying Request for Preliminary Injunction as Against Defendants 2 through 600. For the reasons set forth in the Opinion and Order, IT IS HEREBY ORDERED that Plaintiffs' request for preliminary injunctive relief against Defendants 2 through 600, as set forth in Schedule A to the Complaint, is hereby DENIED. IT IS FURTHER ORDERED that on or before 6/23/2025, Ms. Drozdova shall show cause as to why Defendants 2 through 600 should not be dismissed from this case for misjoinder, or shall file an Amended Complaint asserting claims against only those Defendants for whom Ms. Drozdova can establish proper joinder. IT IS FURTHER ORDERED that Ms. Drozdova shall serve this Opinion and Order on all Defendants in accordance with the terms of the 16 Alternative Service Order. Signed by Judge Christy Criswell Wiegand on 6/16/2025. 翻译 |
12 |
06/16/2025
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MINUTE ENTRY for Show Cause Hearing held on 6/12/2025 before Judge Christy Criswell Wiegand. (Court Reporter: Barbara Loch) 翻译 |
11 |
06/12/2025
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DECLARATION by OLGA DROZDOVA Affiant: Michael Mitchell. 翻译 |
10 |
05/30/2025
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Proposed Order re 23 Motion to Extend the Temporary Restraining by OLGA DROZDOVA. 翻译 |
9 |
05/30/2025
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DECLARATION re 27 Summons/Returned Returned Executed by OLGA DROZDOVA Affiant: Michael Mitchell. 翻译 |
8 |
05/30/2025
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SUMMONS/Return of Service Returned Executed by OLGA DROZDOVA. All Defendants served on 5/30/2025, answer due 6/20/2025. 翻译 |
7 |
05/21/2025
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ORDER GRANTING 23 Ex Parte Motion to Extend Temporary Restraining Order filed by Plaintiff OLGA DROZDOVA. IT IS HEREBY ORDERED that the Show Cause Hearing re Preliminary Injunction currently set for 5/29/2025 is RESCHEDULED for 6/12/2025 at 12:00 PM IN PERSON in Courtroom 9B before Judge Christy Criswell Wiegand. IT IS FURTHER ORDERED that Defendants' responses in opposition, if any, to the 17 Order shall be filed electronically with the Court and served on Plaintiff's counsel by delivering electronic copies thereof to the office of Whitewood Law PLLC at smu@whitewoodlaw.com before 6/5/2025. Plaintiff shall file any Reply papers on or before 6/9/2025. Signed by Judge Christy Criswell Wiegand on 5/20/2025. 翻译 |
6 |
05/20/2025
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BRIEF in Support re 23 Motion to Extend Temporary Restraining Order filed by OLGA DROZDOVA. 翻译 |
5 |
05/20/2025
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DECLARATION re 23 MOTION to Extend the Temporary Restraining Order by OLGA DROZDOVA Affiant: Michael Mitchell. 翻译 |
4 |
05/20/2025
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Ex Parte MOTION to Extend the Temporary Restraining Order by OLGA DROZDOVA. 翻译 |
3 |
05/16/2025
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Surety BOND in the amount of $5,000 posted by OLGA DROZDOVA; NGM Insurance Company as Surety, as per Order of Court signed by Judge Christy Criswell Wiegand on 5/15/2025 at ECF no. 17. 翻译 |
2 |
05/16/2025
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Summons Issued as to 80SDESIGN, A Home Fabric Decoration, A phone case MX, A2QPXTD26DVICR, A3AK3XVJOQVZBQ, AHXY8X8S6OQVQ, AISENSI, ALAZA, AMCCHaomaido Home Textiles, AO-NINEONE, ASDFdoupengfei, ATTX, AYQUAN, Aidinar-NA, AoJWei Store, ArtEdge, Artistic Curtain, Artteal Decor Co.Ltd, Aschar, Avalokitesvara Direct, Axjgxq, Axtzh, BAIHUISHOP, BENSHRHL, BK Outfit, BKBFLYFEI, BLANKET GIFT FOR YOU, BOBOPP, BOCHEERY, BOVUGAC, BeLOL, Beautifulcase, Beoek, Bestyi, Big Rooster home textiles, Billy Da, BishanY, BlissCanvas, BlissfulNestShop, Blueangle, BooYeea, Boya Home Daily Integrity Life, Britime, Bryce Home Textile custom, CC MX, CHEN CASE, CHYYB325, CLS-GLOBAL, CMNIM, COINPSHOP, CUTEBAGS-US, CZXW, Cabaeldlispt, CafeTime, Camille Donahue, Casouxuew, Casual Women, Caweet, Celestt, Cfchaowu, ChaoYangYuanXiangShangMaoYouXianGongSi, Chayber, Chen heng feng, ChengHaoKeJi, Chusheng, Cnhashaw, Coikll, ColourLife, CoolVibe, Couture Line, Cozy Loom TXH, Cozy Mat House, Cozy Textiles, CraftThreads, CraftedFits, Curtain Magic, Custom TXH, Customized QYF Crystal, DIGTIA, DITAN, DIYHOT, DIYSTYLE, DNSHENG, DODO CREATE US, DWADW, DWay Technology Limited, DaFong, Daewar Home Decoration, Dalaran home textiles, Dascloud, Decaistore, Deemch, Delerain, Delicious Arts, Design Your Way, Dexia Textile, Dg-machangfangmaoyi, Ding jia bei Textiles, DingChengMoju, DingZang, Dinora local, Door Mat, Doterii, Drawstring Bags Shop, Dream ten, Dushuame, DuskwhisperMint, EBOSHI, EINKI, ERTREF SHOP, EchoMalllyz, EcoCraftss, Elpwezua, Ephonecase, FANERTE, FINOWIN Boutique, FLildon, FabThreads, Fakifak, Family Years, FantasyHome Textiles, Farowu, FastSun, Feelwela, FengFire, Fengfeng Home Textile, Fideen, Fire Power ss, Flyup Trade, Fopica Laundry Bag, FreeinWild, FuJinHui1998, FunHomie, GCCGGCHL, GKCLOCK, GKUIJHAA, GLAM DISTRICT ONE, GLAMFLAPIN, GOKU Store, GOODFT, GZDONGQI, GangTe Design, GdrJahh, GiantThink, GiftedStitch Shop, Glimmer Memories, GoStarlight, Gongfuxiongmao, Good Aurora Boutique, Gorgeous Textile, GuangZhouZhaoWenShangMaoYouXianGongSi, GuangshuishiYingshanjiaxiudianzishangwuzhongxin, Guangzhou Weifuda Trading Co., Ltd., Gugo Mall, Gylint, HAIHUI US, HARBOR CHIC, HARBOR CHIC TWO, HKIjuxiaoxia, HLJP, HLJP D, HLJP GCC, HLJP I, HLJP JJ, HLJPAA, HNXBQH, HNXBSH, HOUDECOR, HUXINO, HXYMoon, HaiChiKang, Hanchuan City Lijie Daily Necessities Store, Hand Towels Store, HaoChenxi home Textiles, Happy Movement, Happy Pillow, Harbnbanniziairaigcld, HeavenSong, Hello thank you for visiting, Hello.hi, Hisanyran, Hljlj-US, Home Products-US, HomeTrading-US, Homemia, Hongtai Shop, Hrozino, Hssecury Synthesis, Huafish, Huang MX, Huang store, Huangwujun01, Hun Zi King, Hungeen, IADOU, Ideal Cup, Invinch, JALLY, JDDRUS, JDQZM store, JHhkfujiawen, JKhandy, JNX store, JOYSAY, JPHH, JPHZhdd, JPPTsunning, JPQZ, JPZJ, JPzhifei, JShanBH, JYHYQ, JYSY Inc, Jane eyrel, JiACheng, Jiang Ke daily necessit, JieRuiXing, Jiesi pad, Jieying, Jihqo, JinNaA, JingXCYT, Jinmdz, Jinmeng Home Furnishings, Jmfcy, Jmjhy, JuanShang, Jueeco, Jumou, KEEPREAL, KENADVI-STORE, KJIZMO, KOCOART, KUWT, Kaariok, Kagedabu, KaiyangStorage, Katrina, Ksionmingse, Kurtect, LAnNuo, LECHOVV Fashion, LF1997, LHGJGSHU SHOP, LI AO Aquarius, LI AO Leo, LINMEIZHEN, LIUlinlin, LLRline, LMLFT, LNINXUU, LOSJXH, LTZB, LUCKFCLL CASE, LYjiafang, LZMVTAF, Laidehusat, LanKen, Lancerry, LiYongQiangRiYongPinYouXianGongSi, Liooker, Little Yellow Duck Life House local, LiuXiao587, Llylumty, Local Yongfeng farmhouse, Lotupokon, Love customization love home, Love selling something, LoveTaoTao, Luckiness Mall, Lucky yuyang, Luggage Tag1, Luxury Case Inn, MAKIEE, MEIDASM, MINANASHOP, MJIN, MJINBD6, ML Merlot, MRTLLOA, MYS QiQi, MaMaDeAAi, Machaut, Magical Gardens, Manlian Limited Company, Marriott Shop, Mayybbachs, Metal Tin Sign Club, Meteorite Shopping Center, MiaoShuMengcw, Minlong E-commerce Center, ModaChic, ModernAestheticsDesignLab, MoslionDirect, Ms Jins cup shop, Msauto, N593874'shop, NERTNUYT, NICKSUN Store, NJNT, NKBOT, NTVOWPZO (US), Nangou, Nazhqawu, Newshine, NineHansen, Nugier, ONEFOJOJO, ONEVENVI, OTVEE, OUFISUN Womens clothing, OURVII DIY U, Oicvrct, Ollabaky, Oushun household supplies, Oyisca, PJM GS, PJM SQ, PNYOIN, POFATO BAG, POFATO FRAMES, POUKE, PYBUG, Pasitin, PigBoss, Pimaodog, Poeticcity, Print Factory, QeLen, QianHou, Qishan Beautiful Express, RCFOUR, RCONEE, RFHBP local, ROUBVFZQ, RUIDA SHOPWINDOW, RZ headwears collection, Riaour, Ripeau, Rockey Man, Romans8:37, Run Senqi clothing firm, Ruyi Home Decoration Products, SDAQcaoyuzhou, SHAOSHAN-june, SHIQZVZS, SPEKSEE Store, SSBHLE, Scarfrtcshop, SewnByYou, Shanghai Hongni Trading Co., LTD, Shaofeng Tech, Shenshan, Shian Ti, Shuyu Store, Siyi business, SlenyuBridal, Sletend-Z, SluckyshopS, Smooffly, Snowwicase, Soul Art Shop, SpecialArtistry, Sportseries, Style Haven TXH, Style Wings, SuHuo Eight, Sunny Day Life, Sunshare, TIKTONG, TING YEAH, TOPCredibility, TOYAR UMI local, TZJ HOME, TaiyuShop, Tapestories, Taurenmann Home, Tengxianghome, The Style Loft TXH, The edge of a hat, The world of pillows, ThreeTu, Top Carpenter, Topratesell, Travelstudio, TrendSculpt, Tushion, Txinmin, UPONE, USA Essentials Store, Uconsion, UrbanStitch, UriahMall, Use4, VIGENCIA, VIGTRO, VIKKO, WANDERT, WANGWUQIANG888, WANZSM, WH SHOP, WHB, WHBAG, WHL GOODS, WMMDFY08, WWeibbosite, WXRR, Wan Scorpio, Wangpengfei01, Wangyuyu, Wangzhilin02, Warm Whimsy TXH, Watuequa, Welcome to bag House, XEDESIGN, XHSMNY, XI LING BAG, XIAOHUAZHENGZHI, XIBAODAN, XIJIA-UK, XINHAICAIYANG, XPing, Xiangzhong Co., LTD, Xiaoyu8888, Xin Bai home digital, XinLinGe, Xinghexing Department, Xinglianda, Xinxi boutique home textiles, XinzechenDirect, Xiyang Textile, Xmyxyy, YANGJIJUN05, YAODINGHUI, YDHardin, YDTXXH, YGGQF, YHUISENUS, YKD Pet, YN Decoration, YONGKING, YQME, YUBOFANGZHIPIN, YUSHUN Store, YYing, YZGO, Yanan01, Yang textile, Yanyun DIY, Yatadule, Yi Yong Co., Ltd., YiAngBH, Yiernuo, Yinuoge, Yisheng Home Life Museum, YoYo Yu, Yuanyi Home Textile, Yuhong Textile Factory, Yulifangzhi, Yuwouni, Yzrwebo, ZHANGXIAOYUE, ZHENBAOLAI, ZHLJ1992-ING, ZKING, ZYFANGG, ZhanHuiWenJu, Zhengzhou Yazuan Trading Co., Ltd, ZhiRain, ZhongYue, Zhyffcc, Zotfan, Zrycn Offical, ablink, adornlife, angleoo, brightggg, claudiass10, crofyoung, cuiwenyan369, dangruo, danyanglanmuguangxueyanjingyouxiangongsi, dazhoushizhaojinnongyekejiyouxiangongsi, dingxingxianhongruanmaoyiyouxiangongsi, dongguanshiyingqianfuzhuangyouxiangongsi, duyouhaiyangkeji, dweobolufz, dwjid, edemphonecase, fanxiangjiangbeimei, flyinthecloud, fshengbing, gaitianyuangaiya, guangzhougaonianshangmaoyouxiangongsi, guangzhoushantaoshangmaoyouxiangongsi, guangzhoushundanshangmaoshanghang gerenduzi, guowenjun666, hefeihuilushudianzishangwuyouxiangongsi, hefeiyaqiyunshuyouxiangongsi, heyuanzhangmaifuzhuang, hicooy, hldfc, hlgff, holeanaimo, hongchaodong, hongtao-1, huanglingzhu002, huangqile, huizuqubaipinjiubaihuodian, hulibin, ihshop, jiangtaofangzhi, jiayouwuhan, jilinshengkaifafashangmaodiangerenduzi, jinrushuang, jmcsy, juguangfushi, kengsuishangmaoyouxiangongsi, kingpan, larioja, lha2022, lianghongbing12, lonely soy milk, longxiang0801, lookenia, luanguo, lunjixianmaoyi, lxooo, maosuguoji, meiyazhen, menghaiyan01, mingletongshangmao, mingxuanjingmi, mrmian, muishibaby, niutech, pingluzhimindianzishangwuyouxiangongsi, putianshichengxiangquhaoyuxiaoshangmaoyouxiangongs, qihaixiaodian1778, qikongshangmao, qinheng002, qinshisheng, qiranmaoyiyouxingongsi, qtuccy, quanzhoushilichengqukuabadianzishangwuLtd, redorange, shanghaijincanmaoyiyouxiangongsi, shanxishasijinkejiyouxiangongsi, shanxiyunlongdianzishangwuyouxiangongsi, shen yang shi shen he qu gao guan bai huo mao yi d, shenzhenshixindarongjiancaiyouxiangongsi, silichee shop, siyxyb, small cabin, songsongabc, stasup, sunhaichuan01, sunnytech, tianjing002, tiannai, top four, wangfengweiC, wangfengweiP, wangfengweiR, wangjingguangzhouwaitaishangmao, wangxianying01, wangxuee1, wangzhao668, weiji, wenlinruiwangluokeji, wizard H, wozo, xavierdeng, xiamenshihuliqulianghuishuichanpinjingyingbu, xiaotuA, xiaotuB, ximoYYDS, xuemeiliu1991, xunlix, xxshaocongxx, yeliyingguangzhousiyushangmao, yiyefa, yuyutiantiankaixin, zanlin, zhangchaodong, zhangguoxin01, zhanghe01, zhangxiaochuag, zhangxiaoqinstore, zhangzhuandeng756455, zhaochenmeibaihuodian, zhasohaiyang, zhengzhiqi2299, zhijiangzuoxian, zhongjikeji, zhongpeikeji, zhoulongkejius, zhusiyi123, zldxd0068, zydiagxu 翻译 |
1 |
05/16/2025
|
PRAECIPE to Issue Summons by OLGA DROZDOVA 翻译 |