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Case number 1:20-cv-07180

Christian Dior Couture, S.A. v. The Partnerships and Unincorporated Associations Identified on Schedule "A" > Documents

Date Field Doc. No.Description (Pages)
May 13, 2021 59 satisfaction of judgment (2)
Docket Text: FULL SATISFACTION of Judgment regarding order[55] in the amount of $500,000 as to certain defendant (Martin, Allyson)
Feb 12, 2021 58 terminated case (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold:Civil case terminated. (rao, )
Feb 12, 2021 57 add and terminate parties (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: Defendant Guangzhou Welcomebeads Co., Ltd. is hereby dismissed with prejudice pursuant to the Notice of Voluntary Dismissal Under Rule 41(a)(1) [56] filed by Plaintiff on 2/12/2021. Guangzhou Welcomebeads Co.,Ltd terminated. (rao, )
Feb 12, 2021 56 notice of voluntary dismissal (1)
Docket Text: NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to a certain defendant (Gaudio, Justin)
Feb 8, 2021 55 order (19)
Docket Text: FINAL JUDGMENT ORDER Signed by the Honorable Martha M. Pacold on 2/8/2021:(rao, )
Feb 8, 2021 54 order on motion for entry of default (2)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: In the court's 1/29/2021 minute entry, it gave all defendants until 2/5/2021 to object to plaintiff's motion for entry of default and default judgment [40]. See [44]. Other than Defendant No. 18 Guangzhou Welcomebeads Co., Ltd, no other defendant has responded to plaintiff's motion for entry of default and default judgment [40]. Plaintiff's motion for entry of default and default judgment [40] is granted except as to Defendant Guangzhou Welcomebeads Co., Ltd. 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 as set forth in the Final Judgment Order, and that a permanent injunction should be entered. Plaintiff has shown that the infringement of its marks and copyrighted designs causes it irreparable harm in the form of consumer confusion, loss of customers' goodwill, and reputational harm; that monetary damages are inadequate to address these harms; and that the public interest would not be disserved by a permanent injunction. No defendants have appeared to argue otherwise (other than Defendant Guangzhou Welcomebeads Co., Ltd, which is not subject to this default judgment order); thus, the court also finds that the balance of the hardships favors an injunction. The ten thousand dollar ($10,000) surety bond posted by plaintiff is hereby released to plaintiff or its counsel, Greer, Burns & Crain, Ltd. The Clerk of the Court is directed to return the surety bond previously deposited with the Clerk of the Court to plaintiff or its counsel. Enter Final Judgment Order as to all defendants, except Defendant No. 18 Guangzhou Welcomebeads Co., Ltd, on Schedule A attached to the Final Judgment Order. (rao, )
Feb 8, 2021 53 text entry (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: In the court's 1/29/2021 minute entry, it gave all defendants until 2/5/2021 to object to plaintiff's motion for entry of default and default judgment [40]. See [44]. As indicated in prior minute entries, Defendant #18 Guangzhou Welcomebeads Co., Ltd, has been granted an extension of time until 2/19/2021 to allow defendant an opportunity to retain counsel and participate in this action. [49], [52]. No other defendant has responded to plaintiff's motion for entry of default and default judgment [40]. The court directs plaintiff to submit a revised draft order to the court's proposed order inbox that excludes Defendant #18 Guangzhou Welcomebeads Co., Ltd from the default judgment order as set forth above. (rao, )
Feb 8, 2021 52 order on motion for extension of time (2)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: Tan Ya, the sole owner of Defendant #18 Guangzhou Welcomebeads Co., Ltd, filed a motion for an extension of time [46] to respond to the complaint. The court struck the motion in its 2/4/2021 minute entry because the motion was "not a proper pleading filed by an attorney of record for a party." Wham-O Holding, Ltd., et al. v. The Partnerships, et al., No. 20-cv-03761, Dkt. 61 (N.D. Ill. Oct. 16, 2020). See [49]. The court also explained that because Guangzhou Welcomebeads Co., Ltd is a business entity, it may not represent itself in this action. See [49] (citing Scandia Down Corp. v. Euroquilt, Inc., 772 F.2d 1423, 1427 (7th Cir. 1985)). The court nevertheless extended the deadline for Guangzhou Welcomebeads Co., Ltd to oppose plaintiff's motion for entry of default and for default judgment to 2/19/2021, in order to allow Guangzhou Welcomebeads Co., Ltd an opportunity to retain counsel. After the court's 2/4/2021 minute entry, Guangzhou Welcomebeads Co., Ltd refiled the same motion for extension of time [50] to respond to the complaint, as well as a reply to plaintiff's response in opposition to the prior motion for extension of time [51]. The reply argues that under Chinese law Guangzhou Welcomebeads Co., Ltd is only a trade name (not a legal entity), and Tan Ya is personally responsible for all of its liabilities. See [51] at 1-2 & nn.1-3. The reply itself is not a proper pleading filed by an attorney of record for a party, and in any event, at this early stage, the limited authority cited in the reply does not sufficiently undermine that Guangzhou Welcomebeads Co., Ltd is a business entity. For the reasons stated above and in the court's 2/4/2021 minute entry, the motion for extension of time [50] and the reply to plaintiff's opposition to the prior motion for extension of time [51] are stricken. As stated in the 2/4/2021 minute entry [49], Guangzhou Welcomebeads Co., Ltd has until 2/19/2021 for counsel to file an appearance on the docket and any request for an extension of time to respond to the complaint. Failure to comply with this deadline may result in the entry of default and default judgment against Guangzhou Welcomebeads Co., Ltd. (rao, )
Feb 5, 2021 51 reply to response to motion (3)
Docket Text: REPLY by Guangzhou Welcomebeads Co.,Ltd to response in opposition to motion[47] and in support of motion for extension of time (Guangzhou Welcomebeads Co.,Ltd, )
Feb 4, 2021 50 extension of time (2)
Docket Text: MOTION by Defendant Guangzhou Welcomebeads Co.,Ltd for extension of time. (aee, )
Feb 4, 2021 49 order on motion for extension of time (2)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: The court's proposed order box received an email from Tan Ya, the sole owner of Defendant #18, Guangzhou Welcomebeads Co., Ltd, which the court has posted on the docket [48]; the email states that Guangzhou Welcomebeads Co., Ltd opposes Plaintiff's motion for entry of default and default judgment [40] and attaches a motion for a 60-day extension of time to respond to the complaint. In addition, Guangzhou Welcomebeads Co., Ltd has now filed on the docket a motion for a 90-day extension of time to respond to the complaint. [46]. Plaintiff has filed a response. [47]. As a business entity, Guangzhou Welcomebeads Co., Ltd may not represent itself. See, e.g., Scandia Down Corp. v. Euroquilt, Inc., 772 F.2d 1423, 1427 (7th Cir. 1985). Guangzhou Welcomebeads Co., Ltd must therefore retain counsel if it wishes to participate in this action and counsel must file an appearance on the docket. The motion [46] is stricken, as it "is not a proper pleading filed by an attorney of record for a party." Wham-O Holding, Ltd., et al. v. The Partnerships, et al., No. 20-cv-03761, Dkt. 61 (N.D. Ill. Oct. 16, 2020). Nonetheless, the court extends the deadline to oppose Plaintiff's motion for entry of default and for default judgment [40] in part, only as to defendant Guangzhou Welcomebeads Co., Ltd and not as to any other defendant, in order to allow Guangzhou Welcomebeads Co., Ltd an opportunity to retain counsel and participate in this action. Guangzhou Welcomebeads Co., Ltd has until 2/19/2021 for counsel to file an appearance on the docket and any request for an extension of time to respond to the complaint. Failure to comply with this deadline may result in the entry of default and default judgment against Guangzhou Welcomebeads Co., Ltd. (rao, )
Feb 4, 2021 48 letter (3)
Docket Text: LETTER in Opposition and Motion for Extension of Time from Tan Ya dated 2/1/2021. (rao, )
Feb 4, 2021 47 response in opposition to motion (4)
Docket Text: RESPONSE by Christian Dior Couture, S.A.in Opposition to MOTION by Defendant Guangzhou Welcomebeads Co.,Ltd for extension of time [46] (Martin, Allyson)
Feb 4, 2021 46 extension of time (2)
Docket Text: MOTION by Defendant Guangzhou Welcomebeads Co.,Ltd for extension of time (Guangzhou Welcomebeads Co.,Ltd, )
Jan 29, 2021 45 order (1)
Docket Text: ORDER: Defendants Ivt Store at Line No. 57 and Shop910685011 Store at Line No. 108 are hereby dismissed with leave to reinstate within one hundred eighty (180) days pursuant to the Notice of Dismissal Under Rule 41(a)(1) [38] filed by Plaintiff on 1/28/2021. Signed by the Honorable Martha M. Pacold on 1/29/2021. Mailed notice (aee, )
Jan 29, 2021 44 set motion and R&R deadlines/hearings (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold:The court has received Plaintiff's motion for entry of default and default judgment[40]. Any defendant objecting to Plaintiff's motion for entry of default and for default judgment [40] must enter an appearance and file a written objection by 2/5/2021. If no objections are filed, the court will consider the motion unopposed. Plaintiff shall serve defendants with this notice. (rao, )
Jan 29, 2021 43 add and terminate parties (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: Defendant deluxesneakers.com at Line No. 14 is hereby dismissed without prejudice pursuant to the Notice of Dismissal Under Rule 41(a)(1) [39] filed by Plaintiff on 1/28/2021. deluxesneakers.com terminated. (rao, )
Jan 28, 2021 42 notice of filing (2)
Docket Text: NOTICE by Christian Dior Couture, S.A. re MOTION by Plaintiff Christian Dior Couture, S.A. for entry of default MOTION by Plaintiff Christian Dior Couture, S.A. for default judgment as to all Defendants[40] (Gaudio, Justin)
Jan 28, 2021 41 Exhibit 1 (83)
Jan 28, 2021 41 Declaration of Justin R. Gaudio (2)
Jan 28, 2021 41 Main Document (16)
Docket Text: MEMORANDUM by Christian Dior Couture, S.A. in support of motion for entry of default, motion for default judgment[40] (Attachments: # (1) Declaration of Justin R. Gaudio, # (2) Exhibit 1)(Gaudio, Justin)
Jan 28, 2021 40 motion for entry of default (2)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A. for entry of default , MOTION by Plaintiff Christian Dior Couture, S.A. for default judgment as to all Defendants (Gaudio, Justin)
Jan 28, 2021 39 notice of voluntary dismissal (1)
Docket Text: NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to a Certain Defendant (Gaudio, Justin)
Jan 28, 2021 38 notice of voluntary dismissal (1)
Docket Text: NOTICE of Voluntary Dismissal by Christian Dior Couture, S.A. as to Certain Defendants (Gaudio, Justin)
Jan 6, 2021 37 order (1)
Docket Text: ORDER: The Clerk of Court is directed to unseal any previously sealed documents in this matter. The Clerk of Court is directed to issue a single original summons in the name of "The Partnerships and all other Defendants identified in the Complaint" that shall apply to all Defendants. Signed by the Honorable Martha M. Pacold on 1/6/2021. Mailed notice (rp, )
Jan 6, 2021 36 preliminary injunction (20)
Docket Text: PRELIMINARY INJUNCTION ORDER Signed by the Honorable Martha M. Pacold on 1/6/2021:(rao, )
Jan 6, 2021 35 order on motion for preliminary injunction (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: No defendant has filed an objection to the entry of a preliminary injunction. For the same reasons the TRO was granted, a preliminary injunction is appropriate, and is unopposed. Plaintiff's motion for preliminary injunction [31] is granted. Enter Preliminary Injunction. The Clerk of Court is directed to unseal any previously sealed documents in this matter. 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. (rao, )
Jan 6, 2021 N/A summons issued (0)
Docket Text: SUMMONS Issued as to Defendant The Partnerships and Unincorporated Associations Identified on Schedule "A" (rp, )
Jan 6, 2021 N/A party added (0)
Docket Text: NEW PARTIES: diorreplicas.com, copybagssale.com, vlixco.net, dioroutletsale.com, replicahandbagsstore.com, luxebagsaa.com, fakeswatchessale.com, luxuryhandbagsreplica.com, bagstorevip.com, luxurytaste.net, decentluxury.com, fecebook86.com, 2020designerbag.com, deluxesneakers.com, zapasuniverse.com, bagsarts.com, folklore Store, Guangzhou Welcomebeads Co.,Ltd, Shop5875777 Store, 273685 Store, A keep Store, Abmos Online Store, ALTINDOLABIM Store, Ampush Store, BabeBcBd Official Store, Baby Boom Store, Barda Cos Factory Store, Bendi Store, Berrybenka Official Store, BEWEY Store, Bicyclefans Store, cagrigumus Store, CharmShoes Store, Companion store for friends Store, Congratulations on making money Store, Dancing JL Ants Dropshipping Store, Dionier Women Bag Store, Dropshopping easygo Store, DUKLUCAK Official Store, FoolCat Store, FSVOLHA Store, GGgirls17 Store, Global Boutique Store, Gmcoco Store, happyscarf Store, Hi Taxus Store, HIBODY Jewel Store, High Quality Bags Selection Store, huggle Blanket Store, iliang shoe Store, Kasure Store, LAISUMK 369 Store, LanYiKe Store, Li sa women's shoe's Store, Little-Loach Offcial Store, LSF3298 Store, lvt Store, MengOuqi Inc Store, Meteor Garden Store, MetU Store, miac Store, Mobetty Store, MomBaby Fairylands Store, Myfeeling Store, NewRainbowCraftShop Store, PP Sales Store, QINROVE Bags Store, Romantic girl Store, RoMeetSe Shoe Store, SG KI Store, Shaming Store, Shop1424319 Store, Shop1490273 Store, Shop2834121 Store, Shop3216119 Store, Shop5365225 Store, Shop5488162 Store, Shop5504074 Store, Shop5566177 Store, Shop5704104 Store, Shop5718149 Store, Shop5734182 Store, Shop5748288 Store, Shop5777653 Store, Shop5788888 Store, Shop5791474 Store, Shop5882441 Store, Shop5974335 Store, Shop900238250 Store, Shop900241125 Store, Shop900247110 Store, Shop910319046 Store, Shop910321253 Store, Shop910326392 Store, Shop910332176 Store, Shop910352179 Store, Shop910354038 Store, Shop910430108 Store, Shop910439027 Store, Shop910442170 Store, Shop910453018 Store, Shop910554304 Store, Shop910558352 Store, Shop910561402 Store, Shop910562149 Store, Shop910647023 Store, Shop910670041 Store, Shop910685011 Store, Shop910713071 Store, Shop910724157 Store, Shop910734156 Store, Shop910796025 Store, Shop910815016 Store, Shop910912032 Store, Shop910925059 Store, Shop910927037 Store, Shop910936015 Store, Shop910937005 Store, Shop910945002 Store, Shop910972027 Store, Shop910979033 Store, Shop910981050 Store, Shop910984032 Store, Shop910990014 Store, Shop910994034 Store, Shop911023036 Store, Shop911033050 Store, Shop911038052 Store, Tang Far Children World Store, The global children's clothes Store, The New World Store, tidefree Store, Tideshoe factory Store, Titame Luggage global 666666 Store, TrueNice Store, VAZN Sexy Club Third Store, VAZN Sexy Club Two Store, Vefadisa Official Store, Wonder Women Store, Wong's Kids Store, WONTIVE Store, XIANGCAO Store, xiaoxiao0509 Store, XITAO Official Store, YI MING XIE YE Store, Yinuoda Company Store, ZARAlice shoe Store, Zoe's Daily Accessories Store, Zoorose Store, qqafdbd, 500 y pico, BJKFGYRYTR, KaerSho, lamoda534sop, marissacieri78, mercedez,carlo, QWEASDZXCIOP, Souvenirparker, thomasexpressshopping, bagbager.ru, eluxurybag.ru, fashionend.ru and shoeaddict.ru added to case caption. (Ziegler, Amy)
Dec 30, 2020 34 set motion and R&R deadlines/hearings (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: Plaintiff shall serve defendants with this notice. The court has taken plaintiff's motion for preliminary injunction [31] under advisement and will consider the motion unopposed if no defendant appears and objects by 1:00 p.m. on 1/5/2021. (rao, )
Dec 29, 2020 33 notice of filing (2)
Docket Text: NOTICE by Christian Dior Couture, S.A. re MOTION by Plaintiff Christian Dior Couture, S.A. for preliminary injunction [31] (Gaudio, Justin)
Dec 29, 2020 32 Exhibit 1 (32)
Dec 29, 2020 32 Declaration of Justin R. Gaudio (2)
Dec 29, 2020 32 Main Document (7)
Docket Text: MEMORANDUM by Christian Dior Couture, S.A. in support of motion for preliminary injunction[31] (Attachments: # (1) Declaration of Justin R. Gaudio, # (2) Exhibit 1)(Gaudio, Justin)
Dec 29, 2020 31 motion for preliminary injunction (3)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A. for preliminary injunction (Gaudio, Justin)
Dec 29, 2020 30 Declaration of Abby M. Nue (2)
Dec 29, 2020 30 Main Document (2)
Docket Text: SUMMONS Returned Executed by Christian Dior Couture, S.A. as to The Partnerships and Unincorporated Associations Identified on Schedule "A" on 12/29/2020, answer due 1/19/2021. (Attachments: # (1) Declaration of Abby M. Nue)(Neu, Abby)
Dec 18, 2020 N/A summons issued (0)
Docket Text: SUMMONS Issued as to Defendant The Partnerships and Unincorporated Associations Identified on Schedule "A." (lxk, )
Dec 17, 2020 29 order (2)
Docket Text: EXTENSION OF TEMPORARY RESTRAINING ORDER Signed by the Honorable Martha M. Pacold on 12/17/2020:(rao, )
Dec 17, 2020 28 order on motion for extension of time (1)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold: Plaintiff's ex parte motion to extend the temporary restraining order [25] is granted. For the reasons set forth in plaintiff's supporting memorandum of law [26] and in the court's prior order granting the temporary restraining order [23], good cause for a 14-day extension exists under Federal Rule of Civil Procedure 65(b)(2). The Temporary Restraining Order is extended to and including 1/5/2021. (rao, )
Dec 17, 2020 27 notice of filing (1)
Docket Text: NOTICE by Christian Dior Couture, S.A. re MOTION by Plaintiff Christian Dior Couture, S.A. for extension of time of Temporary Restraining Order[25] (Gaudio, Justin)
Dec 17, 2020 26 Declaration of Justin R. Gaudio (1)
Dec 17, 2020 26 Main Document (2)
Docket Text: MEMORANDUM by Christian Dior Couture, S.A. in support of extension of time[25] (Attachments: # (1) Declaration of Justin R. Gaudio)(Gaudio, Justin)
Dec 17, 2020 25 extension of time (1)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A. for extension of time of Temporary Restraining Order (Gaudio, Justin)
Dec 17, 2020 N/A bond (0)
Docket Text: BOND in the amount of $ 10,000.00, Receipt no. 4624250178 posted by Christian Dior Couture, S.A. (jn, )
Dec 8, 2020 24 SEALED Order (20)
Docket Text: SEALED TEMPORARY RESTRAINING ORDER Signed by the Honorable Martha M. Pacold on 12/8/2020:(rao, )
Dec 8, 2020 23 order on motion for leave to file (2)
Docket Text: MINUTE entry before the Honorable Martha M. Pacold:For the reasons set forth in plaintiff's motions [3], [11], [17], the supporting memoranda [12], [18] and the temporary restraining order, plaintiff's motions for leave to file under seal [3], for a temporary restraining order, including a temporary injunction, a temporary transfer of the defendant domain names, a temporary asset restraint, expedited discovery [11], and for electronic service of process [17] are 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 (which plaintiff asserts as justification for an asset freeze), but at this preliminary stage, the court is persuaded that 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 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. Enter Sealed Temporary Restraining Order. (rao, )
Dec 7, 2020 22 other (9)
Docket Text: Notice of Claims Involving Trademarks by Christian Dior Couture, S.A. (Gaudio, Justin)
Dec 7, 2020 21 notification of affiliates pursuant to local rule 3.2 (1)
Docket Text: NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Christian Dior Couture, S.A. (Gaudio, Justin)
Dec 7, 2020 20 notice of filing (2)
Docket Text: NOTICE by Christian Dior Couture, S.A. re MOTION by Plaintiff Christian Dior Couture, S.A. for temporary restraining order including a Temporary Injunction, a Temporary Transfer of the Defendant Domain Names, a Temporary Asset Restraint, and Expedited Discovery[11], MOTION by Plaintiff Christian Dior Couture, S.A.for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) [17], MOTION by Plaintiff Christian Dior Couture, S.A. for leave to file Under Seal[3] (Gaudio, Justin)
Dec 7, 2020 19 Exhibit 3 (23)
Dec 7, 2020 19 Exhibit 2 (11)
Dec 7, 2020 19 Exhibit 1 (35)
Dec 7, 2020 19 Main Document (4)
Docket Text: DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[18] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3)(Gaudio, Justin)
Dec 7, 2020 18 memorandum in support of motion (6)
Docket Text: MEMORANDUM by Christian Dior Couture, S.A. in support of motion for miscellaneous relief[17] (Gaudio, Justin)
Dec 7, 2020 17 motion for miscellaneous relief (1)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A.for Electronic Service of Process Pursuant to Fed. R. Civ. P. 4(f)(3) (Gaudio, Justin)
Dec 7, 2020 16 exhibit (30)
Docket Text: SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Exhibit 6 regarding declaration[14] (Gaudio, Justin)
Dec 7, 2020 15 Exhibit 5-5 (229)
Dec 7, 2020 15 Exhibit 5-4 (304)
Dec 7, 2020 15 Exhibit 5-3 (277)
Dec 7, 2020 15 Exhibit 5-2 (332)
Dec 7, 2020 15 Exhibit 5-1 (332)
Dec 7, 2020 15 Main Document (1)
Docket Text: SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Exhibit 5 - Parts 1 - 5 regarding declaration[14] (Attachments: # (1) Exhibit 5-1, # (2) Exhibit 5-2, # (3) Exhibit 5-3, # (4) Exhibit 5-4, # (5) Exhibit 5-5)(Gaudio, Justin)
Dec 7, 2020 14 Exhibit 4 (21)
Dec 7, 2020 14 Exhibit 3 (6)
Dec 7, 2020 14 Exhibit 2 (9)
Dec 7, 2020 14 Exhibit 1 (29)
Dec 7, 2020 14 Main Document (18)
Docket Text: DECLARATION of Nicolas Lambert regarding memorandum in support of motion[12] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(Gaudio, Justin)
Dec 7, 2020 13 Exhibit 4 (64)
Dec 7, 2020 13 Exhibit 3 (62)
Dec 7, 2020 13 Exhibit 2 (3)
Dec 7, 2020 13 Exhibit 1 (6)
Dec 7, 2020 13 Main Document (5)
Docket Text: DECLARATION of Justin R. Gaudio regarding memorandum in support of motion[12] (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4)(Gaudio, Justin)
Dec 7, 2020 12 memorandum in support of motion (18)
Docket Text: MEMORANDUM by Christian Dior Couture, S.A. in support of motion for temporary restraining order[11] (Gaudio, Justin)
Dec 7, 2020 11 motion for temporary restraining order (2)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A. for temporary restraining order including a Temporary Injunction, a Temporary Transfer of the Defendant Domain Names, a Temporary Asset Restraint, and Expedited Discovery (Gaudio, Justin)
Dec 7, 2020 10 lanham notification (10)
Docket Text: MAILED to plaintiff counsel Lanham Mediation Program materials (daj, )
Dec 7, 2020 9 Patent/Trademark report (28)
Docket Text: MAILED trademark report to Patent Trademark Office, Alexandria VA (daj, )
Dec 4, 2020 8 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Abby Marie Neu (Neu, Abby)
Dec 4, 2020 7 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Allyson M. Martin (Martin, Allyson)
Dec 4, 2020 6 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Amy Crout Ziegler (Ziegler, Amy)
Dec 4, 2020 5 attorney appearance (1)
Docket Text: ATTORNEY Appearance for Plaintiff Christian Dior Couture, S.A. by Justin R. Gaudio (Gaudio, Justin)
Dec 4, 2020 4 civil cover sheet (1)
Docket Text: CIVIL Cover Sheet (Gaudio, Justin)
Dec 4, 2020 3 motion for leave to file (2)
Docket Text: MOTION by Plaintiff Christian Dior Couture, S.A. for leave to file Under Seal (Gaudio, Justin)
Dec 4, 2020 2 exhibit (5)
Docket Text: SEALED EXHIBIT by Plaintiff Christian Dior Couture, S.A. Schedule A regarding complaint[1] (Gaudio, Justin)
Dec 4, 2020 1 Exhibit 5 (55)
Dec 4, 2020 1 Exhibit 4 (48)
Dec 4, 2020 1 Exhibit 3 (6)
Dec 4, 2020 1 Exhibit 2 (21)
Dec 4, 2020 1 Exhibit 1 (27)
Dec 4, 2020 1 Main Document (24)
Docket Text: COMPLAINT filed by Christian Dior Couture, S.A.; Filing fee $ 402, receipt number 0752-17707241. (Attachments: # (1) Exhibit 1, # (2) Exhibit 2, # (3) Exhibit 3, # (4) Exhibit 4, # (5) Exhibit 5)(Gaudio, Justin)
Dec 4, 2020 N/A case assigned (0)
Docket Text: CASE ASSIGNED to the Honorable Martha M. Pacold. Designated as Magistrate Judge the Honorable Jeffrey Cole. Case assignment: Random assignment. (acm, )
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