Chanel, Inc. v. replicachanelproduct.com et al
Chanel, Inc. |
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0:2022cv61939 |
October 19, 2022 |
US District Court for the Southern District of Florida |
Rodolfo A Ruiz |
Trademark |
15 U.S.C. § 1114 Trademark Infringement |
None |
Docket Report
This docket was last retrieved on November 9, 2022. A more recent docket listing may be available from PACER.
Document Text |
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Filing 19 ORDER GRANTING MOTION FOR ENTRY OF PRELIMINARY INJUNCTION re #5 Plaintiff's EX PARTE MOTION for Entry of Temporary Restraining Order and Preliminary Injunction and Memorandum of Law in Support Thereof filed by Chanel, Inc. Signed by Judge Rodolfo A. Ruiz, II on 11/9/2022. See attached document for full details. (cqs) |
Filing 18 PAPERLESS Minute Entry for proceedings held before Judge Rodolfo A. Ruiz, II: Telephonic Hearing on Motion for Preliminary Injunction held on 11/9/2022 re #5 Plaintiff's EX PARTE MOTION for Preliminary Injunction and Memorandum of Law in Support Thereof filed by Chanel, Inc. Attorney Appearance(s): T. Raquel Wiborg-Rodriguez, Court Reporter: Quanincia Hill, 305-523-5634 / Quanincia_Hill@flsd.uscourts.gov. (gp) |
Filing 17 CERTIFICATE OF SERVICE by Chanel, Inc. re 13 Order on Motion for Miscellaneous Relief, upon Defendants via Electronic Mail and via Website Posting (Gaffigan, Stephen) |
Filing 16 CERTIFICATE OF SERVICE by Chanel, Inc. re #5 Plaintiff's EX PARTE MOTION for Entry of Temporary Restraining Order and Preliminary Injunction and Memorandum of Law in Support Thereof, #4 Certificate of Other Affiliates/Corporate Disclosure Statement, #6 Plaintiff's EX PARTE MOTION for Order Authorizing Alternate Service of Process on Defendants Pursuant to Federal Rule of Civil Procedure 4(f)(3) and Memorandum of Law in Support Thereof, #8 Order on Ex Parte Motion, #11 Bond, #3 Form AO 120/121, #9 Notice of Filing Proposed Summons(es), #1 Complaint, 2 Clerk's Notice of Judge Assignment, #7 Order on Ex Parte Motion, #12 Plaintiff's MOTION to Extend Temporary Restraining Order Dated October 27, 2022 upon Defendants via website posting (Gaffigan, Stephen) |
Filing 15 CERTIFICATE OF SERVICE by Chanel, Inc. re #5 Plaintiff's EX PARTE MOTION for Entry of Temporary Restraining Order and Preliminary Injunction and Memorandum of Law in Support Thereof, #6 Plaintiff's EX PARTE MOTION for Order Authorizing Alternate Service of Process on Defendants Pursuant to Federal Rule of Civil Procedure 4(f)(3) and Memorandum of Law in Support Thereof, #1 Complaint, #7 Order on Ex Parte Motion, upon Defendants via Registrar (Gaffigan, Stephen) |
Filing 14 NOTICE by Chanel, Inc. re #1 Complaint, #7 Order on Ex Parte Motion, upon Defendants via Electronic Mail (Attachments: #1 Exhibit Certificate of Sevice) (Gaffigan, Stephen) |
Filing 13 PAPERLESS ORDER granting #12 Plaintiff's Motion to Extend Temporary Restraining Order Dated October 27, 2022. The Temporary Restraining Order issued October 27, 2022, is extended and shall remain in effect until November 9, 2022 to preserve the status quo until the Court conducts the Preliminary Injunction Hearing scheduled for November 9, 2022. Signed by Judge Rodolfo A. Ruiz, II on 11/2/2022. (pw) |
Filing 12 Plaintiff's MOTION to Extend Temporary Restraining Order Dated October 27, 2022 by Chanel, Inc.. (Attachments: #1 Text of Proposed Order Granting Motion to Extend Temporary Restraining Order)(Gaffigan, Stephen) |
Filing 10 Summons Issued as replicachanelproduct.com and all other Defendants identified in Schedule A hereto.. (cqs) |
Filing 9 NOTICE of Filing Proposed Summons(es) by Chanel, Inc. (Attachments: #1 Summon(s)) (Gaffigan, Stephen) |
Filing 11 PLAINTIFF'S NOTICE OF FILING BOND, BOND in the amount of $10,000.00 posted by Chanel, Inc. Approved by Judge Rodolfo A. Ruiz, II (cqs) |
Filing 8 ORDER granting #6 Ex Parte Motion for Order Authorizing Alternate Service of Process. Signed by Judge Rodolfo A. Ruiz, II on 10/27/2022. See attached document for full details. (gp) Modified/Unsealed on 11/2/2022 (gp). |
Filing 7 ORDER granting #5 Ex Parte Application for Entry of Temporary Restraining Order. Telephonic Hearing on Motion for Preliminary Injunction set for 11/9/2022 11:30 AM before Judge Rodolfo A. Ruiz II. Signed by Judge Rodolfo A. Ruiz, II on 10/27/2022. See attached document for full details. (gp) Modified/Unsealed on 11/2/2022 (gp). |
Filing 6 Plaintiff's EX PARTE MOTION for Order Authorizing Alternate Service of Process on Defendants Pursuant to Federal Rule of Civil Procedure 4(f)(3) and Memorandum of Law in Support Thereof by Chanel, Inc.. (Attachments: #1 Declaration of Stephen M. Gaffigan in Support Thereof, #2 Exhibit 1 to the Gaffigan Declaration, #3 Text of Proposed Order Granting Motion for Order Authorizing Alternate Service of Process) (Gaffigan, Stephen) Modified/Unsealed per ECF No. #7 Order on 11/2/2022 (gp). |
Filing 5 Plaintiff's EX PARTE MOTION for Entry of Temporary Restraining Order and Preliminary Injunction and Memorandum of Law in Support Thereof by Chanel, Inc.. (Attachments: #1 Declaration of Elizabeth Han in Support Thereof, #2 Declaration of Stephen M. Gaffigan in Support Thereof, #3 Exhibit 1 to the Gaffigan Declaration, #4 Text of Proposed Order Granting Application for Temporary Restraining Order) (Gaffigan, Stephen) Modified/Unsealed per ECF No. #7 on 11/2/2022 (gp). |
Filing 4 Plaintiff's Corporate Disclosure Statement by Chanel, Inc. (Gaffigan, Stephen) |
Filing 3 FORM AO 120 SENT TO DIRECTOR OF U.S. PATENT AND TRADEMARK (swr) |
Filing 2 Clerks Notice of Judge Assignment to Judge Rodolfo A. Ruiz, II. Pursuant to 28 USC 636(c), the parties are hereby notified that the U.S. Magistrate Judge Jared M. Strauss is available to handle any or all proceedings in this case. If agreed, parties should complete and file the Consent form found on our website. It is not necessary to file a document indicating lack of consent. (swr) |
Filing 1 COMPLAINT FOR INJUNCTIVE RELIEF AND DAMAGES against All Defendants. Filing fees $ 402.00 receipt number AFLSDC-16033936, filed by Chanel, Inc.. (Attachments: #1 Civil Cover Sheet, #2 Exhibit 1 to Complaint Certificates of Registration for the Chanel Trademarks, #3 Exhibit 2 to Complaint Website Captures)(Gaffigan, Stephen) |
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