Prepared Food Photos, Inc. v. Long Island Media Group, LLC
PREPARED FOOD PHOTOS, INC. and ADLIFE MARKETING & COMMUNICATIONS CO., INC. |
LONG ISLAND MEDIA GROUP, LLC |
2:2022cv02853 |
May 16, 2022 |
US District Court for the Eastern District of New York |
Gary R Brown |
Steven I Locke |
Copyright |
17 U.S.C. ยง 501 Copyright Infringement |
Plaintiff |
Docket Report
This docket was last retrieved on July 6, 2022. A more recent docket listing may be available from PACER.
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Filing 14 Request for Refund of Fees Paid Electronically approved by Lisa Florio, Operations Manager, on 7/6/2022. (Florio, Lisa) |
ORDER granting #11 Motion for Pre Motion Conference. A pre-motion telephone conference is scheduled for August 19, 2022 at 10:30 AM before Judge Gary R. Brown, at which time the parties should be prepared to address Defendant's anticipated motion pursuant to Rule 12 of the Federal Rules of Civil Procedure, DE 11. The parties are to call (888) 363-4734 using ACCESS CODE 4132441 five minutes prior to the designated time.The parties are on notice that in appropriate cases, the pre-motion letter and the response, along with the parties' arguments made at the pre-motion conference, may be construed at the discretion of the Court as the motion itself. Arguments not raised in the pre-motion letters or during the pre-motion conference shall be deemed waived. See In re Best Payphones, Inc., 450 F. App'x 8, 15 (2d Cir. 2011).The Court reserves the right to deem the motion made and convert it to one for summary judgment, if appropriate. Counsel for plaintiff is directed to fully investigate and be prepared to answer the contention that a license had been purchased by defendant. Before requesting an adjournment, the parties shall meet and confer and submit a joint letter with several proposed dates. The parties and other attendees to the conference are also reminded that the recording of any proceeding of the Court, including this conference, is prohibited under Local Rule 1.8. Ordered by Judge Gary R. Brown on 7/5/2022. c/ecf (Tahbaz, Joseph) |
Filing 13 RESPONSE in Opposition re #11 Letter MOTION for pre motion conference re Motion to Dismiss filed by Prepared Food Photos, Inc.. (Desouza, Daniel) |
Filing 12 MOTION for Refund of Fees Paid Electronically by Prepared Food Photos, Inc.. (Attachments: #1 Proposed Order Proposed Order) (Desouza, Daniel) |
Filing 11 Letter MOTION for pre motion conference re Motion to Dismiss by Long Island Media Group, LLC. (Steger, Michael) |
Electronic ORDER granting DE #10 Motion for Extension of Time to File. On consent, the deadline for Defendant to answer or otherwise respond to the Complaint is extended to and including 7/1/2022. Ordered by Magistrate Judge Steven I. Locke on 6/16/2022. (Pincsak, Lydia) |
Filing 10 MOTION for Extension of Time to File Response to Complaint by Long Island Media Group, LLC. (Steger, Michael) |
Filing 9 SUMMONS Returned Executed by Prepared Food Photos, Inc.. Long Island Media Group, LLC served on 5/27/2022, answer due 6/17/2022. (Desouza, Daniel) |
Filing 8 NOTICE of Appearance by Michael Douglas Steger on behalf of Long Island Media Group, LLC (aty to be noticed) (Steger, Michael) |
Filing 7 RESPONSE TO ORDER TO SHOW CAUSE by Prepared Food Photos, Inc. (Desouza, Daniel) |
SHOW CAUSE ORDER - WHEREAS plaintiff has filed a certification of interested parties and have identified Daniel DeSouza, Esq., E. James DLoughy, Esq. and Copycat Legal PLLC as having "a financial interest in the outcome of this case," counsel for plaintiff is hereby directed, within seven days of the date of this Order, to file a declaration describing the nature of said financial interests, including, as appropriate, documentary exhibits, along with a letter brief detailing counsel's position as to whether such interests comport with NY Judiciary Law Sec. 489 and DR5-103. Plaintiff's counsel is to serve a copy of this Order upon defendant's counsel, who may file a responsive letter brief within five days of the receipt of plaintiff's papers. Ordered by Judge Gary R. Brown on 5/25/2022. (Brown, Gary) |
Filing 6 Corporate Disclosure Statement by Prepared Food Photos, Inc. identifying Other Affiliate Copycat Legal PLLC for Prepared Food Photos, Inc.. (Desouza, Daniel) |
Filing 5 Summons Issued as to Long Island Media Group, LLC. (Jakubowski, Laura) |
Filing 4 Notice of Report on the Filing of an Action Regarding a Copyright. C/M to Register of Copyrights. (Attachments: #1 Complaint) (Jakubowski, Laura) |
Filing 3 In accordance with Rule 73 of the Federal Rules of Civil Procedure and Local Rule 73.1, the parties are notified that if all parties consent a United States magistrate judge of this court is available to conduct all proceedings in this civil action including a (jury or nonjury) trial and to order the entry of a final judgment. Attached to the Notice is a blank copy of the consent form that should be filled out, signed and filed electronically only if all parties wish to consent. The form may also be accessed at the following link: #http://www.uscourts.gov/uscourts/FormsAndFees/Forms/AO085.pdf. You may withhold your consent without adverse substantive consequences. Do NOT return or file the consent unless all parties have signed the consent. (Jakubowski, Laura) |
Filing 2 This attorney case opening filing has been checked for quality control. See the attachment for corrections that were made. (Jakubowski, Laura) |
Filing 1 COMPLAINT against Long Island Media Group, LLC filing fee $ 402, receipt number ANYEDC-15576412 Was the Disclosure Statement on Civil Cover Sheet completed -NO,, filed by Prepared Food Photos, Inc. (Attachments: #1 Civil Cover Sheet Civil Cover Sheet, #2 Proposed Summons Summons on Long Island Media Group, LLC) (Desouza, Daniel) Modified on 5/18/2022 (Jakubowski, Laura). |
Case Assigned to Judge Gary R. Brown and Magistrate Judge Steven I. Locke. Please download and review the Individual Practices of the assigned Judges, located on our #website. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. (Jakubowski, Laura) |
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