City of New York v. Arm Or Ally, LLC et al
Plaintiff: City of New York
Defendant: Arm Or Ally, LLC, Rainier Arms, LLC, Salvo Technologies, lnc, Rock Slide, LLC, lndie Guns, LLC, Salvo Technologies, lnc doing business as 80P Builder and Rock Slide USA, LLC
Not Classified By Court: UNITED STATES OF AMERICA
Case Number: 1:2022cv05525
Filed: June 29, 2022
Court: US District Court for the Southern District of New York
Presiding Judge: Jesse M Furman
Nature of Suit: Torts to Land
Cause of Action: 28 U.S.C. § 1332 Diversity Action
Jury Demanded By: None
Docket Report

This docket was last retrieved on March 28, 2023. A more recent docket listing may be available from PACER.

Date Filed Document Text
August 24, 2022 Opinion or Order Filing 49 STIPULATION AND ORDER OF SETTLEMENT. Parties shall take all necessary steps to obtain Court approval of this Settlement. Within three (3) business days of execution of the Settlement, (1) Plaintiff's Counsel shall submit the Settlement to the Court with a request that the Court so order it; and (2) Defendant Rainier Arms shall take steps to begin performance of the obligations set out below in paragraphs 9-12. Once the Settlement has been "So Ordered" by the Court, and Defendant Rainier Anns has completed the obligations set out in paragraphs 10-12, the Parties shall execute and Plaintiff shall file with the Court a Stipulation of Dismissal of the Action as against Defendant Rainier Arms, with prejudice. Upon the Court's entry of the Stipulation of Dismissal, this Action is dismissed as against Rainier Arms and all rights of appeal are waived. If the Court denies the request to "So Order" the Settlement, the Settlement shall be deemed null and void. to the date of this agreement, Defendant Rainier Arms has removed all unfinished frames or receivers from its website and has ceased the sale of unfinished frames or receivers. Nevertheless, Defendant Rainier Arms shall hereby agree to immediately permanently cease, and is hereby permanently enjoined from, selling or otherwise disposing of unfinished frames or receivers in the future to any resident of New York City and from shipping, causing to ship, delivering or causing to deliver unfinished frames or receivers in the future to any address located within New York City for as long as the NYC Administrative Code and/or New York Penal Law in any way prohibit the sale, transfer, lease, loan, offer for sale, disposition, and/or possession in New York City and/or New York State of unfinished frames or receivers and/or ghost guns. Defendant Rainier Arms shall continue to prohibit at all of its online or digital point-of-sale locations, including on its currently operational retail website (www.rainierarms.com) and on any future retail website operated by Rainier Arms and/or its members, the sale or disposition of unfinished frames or receivers to any resident of New York City and/or the shipping or delivery of them to any address located within New York City. Within two weeks (14 days) of execution of the Settlement, Defendant Rainier Arms shall implement a technological bar to the completion of any sales or deliveries described in paragraphs 9 and 10 by ensuring the coding or programming of its software and/or website, and/or the retrofitting of its hardware to prevent the completion of(1) any online, digital, or telephone sale or other disposal of unfinished frames or receivers to any resident of New York City and/or (2) any shipment and/or delivery of unfinished frames or receivers to any address located within New York City. Within two weeks (14 days) of execution of the Settlement, Defendant Rainier Arms shall provide the City with the following, all of which the parties acknowledge would have been obtainable in discovery: all documents in the possession or control of Rainier Arms and/or its members which evidence sales or other disposals of unfinished frames or receivers by Rainier Arms to a resident of New York City or deliveries of the same to a New York City address between February 23, 2020 and the date of execution of the Settlement; b. all identifying information about the purchasers and/or recipients of the unfinished frames or receivers from Rainier Arms described in paragraph a, whether contained in the documents described in paragraph a, or otherwise retained or retrievable by Rainier Arms through forensic means. Parties agree to submit all disagreements arising under or relating to this Stipulation to the Court, and hereby consent to the Court's exercise of jurisdiction over all such disagreements. City reserves all rights to pursue any and all available remedies for violation of the Settlement. Nothing herein shall limit the City's remedies in the event of breach of the Settlement by Rainier Arms. Any remedies specified herein are in addition to any and all remedies available at law or equity. IT IS HEREBY ORDERED that: This Stipulation is entered as an order of the Court and thereby takes effect immediately. (Signed by Judge Jesse M. Furman on 8/24/22) (yv)
August 24, 2022 Filing 48 PROPOSED STIPULATION AND ORDER. Document filed by City of New York..(Ash, Melanie)
August 22, 2022 Opinion or Order Filing 47 ORDER granting #46 Letter Motion for Extension of Time to Answer re #46 CONSENT LETTER MOTION for Extension of Time to File Answer re: #30 Amended Complaint, for Defendant Indie Guns LLC addressed to Judge Jesse M. Furman from Attorney Christian W. Waugh dated August 25, 2022., #30 Amended Complaint. For the sake of efficiency, the Court is inclined to adjourn August 22, 2022 the answer deadlines for all Defendants to the same date. If any party objects, it shall advise the Court by September 1, 2022. Absent any objection, the answer deadline for all Defendants will automatically be extended to September 9, 2022. The Clerk of Court is directed to terminate ECF No. 46. Arm Or Ally, LLC answer due 9/9/2022; Rainier Arms, LLC answer due 9/9/2022; Rock Slide USA, LLC answer due 9/9/2022; lndie Guns, LLC answer due 9/9/2022. (Signed by Judge Jesse M. Furman on 8/22/2022) (rro)
August 22, 2022 Filing 46 CONSENT LETTER MOTION for Extension of Time to File Answer re: #30 Amended Complaint, for Defendant Indie Guns LLC addressed to Judge Jesse M. Furman from Attorney Christian W. Waugh dated August 25, 2022. Document filed by lndie Guns, LLC..(Waugh, Christian)
August 19, 2022 Filing 45 AFFIDAVIT OF SERVICE of Summons and Complaint served on Arm or Ally, LLC on August 12, 2022. Service was accepted by Name Unkown, Employee. Document filed by City of New York..(Bernhardt, Doris)
August 19, 2022 Filing 44 AFFIDAVIT OF SERVICE of Summons and Complaint served on Arm or Ally, LLC on August 16, 2022. Service was accepted by Chelsey Kinney, Designated Agent. Document filed by City of New York. (Attachments: #1 Affidavit of Attempted Service, #2 Affidavit of Attempted Service, #3 Affidavit of attempted Service).(Bernhardt, Doris)
August 16, 2022 Opinion or Order Filing 43 ORDER with respect to #4 Motion for Preliminary Injunction. As stated on the record during the teleconference held earlier today: Any opposition to Plaintiff's Motion for Preliminary Injunction shall be filed within 30 days of the date of this Order; Any reply shall be filed within two weeks thereafter. The United States shall file any Statement of Interest by the reply deadline. The United States may seek an extension of the deadline if appropriate. SO ORDERED. (Signed by Judge Jesse M. Furman on 8/16/2022) (tg)
August 16, 2022 Opinion or Order Filing 42 STIPULATION AND ORDER OF SETTLEMENT. IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned Parties, as follows: Once the Settlement has been So Ordered by the Court, and Defendant Rock Slide has completed the obligations set out in paragraphs 10-12, the Parties shall execute and Plaintiff shall file with the Court a Stipulation of Dismissal of the Action as against Defendant Rock Slide, with prejudice. Upon the Court's entry of the Stipulation of Dismissal, this Action is dismissed as against Rock Slide and all rights of appeal are waived. If the Court denies the request to "So Order" the Settlement, the Settlement shall be deemed null and void. Defendant Rock Slide shall immediately permanently cease, and is hereby permanently enjoined from, selling or otherwise disposing of unfinished frames or receivers to any resident of New York City and from shipping, causing to ship, delivering or causing to deliver unfinished frames or receivers to any address located within New York City. Within two weeks (14 days) of execution of the Settlement, Defendant Rock Slide shall post or otherwise include prominent language at all of its online or digital point-of-sale locations, including on its currently operational retail website (www.rockslideusa.com) and on any future retail website operated by Rock Slide and/or its owner, Ian O. Frampton, providing notice that it will not sell or otherwise dispose of unfinished frames or receivers to any resident of New York City or ship or deliver them to any address located within New York City. Within two weeks (14 days) of execution of the Settlement, Defendant Rock Slide shall implement a technological bar to the completion of any sales or deliveries described in paragraphs 9 and 10 by ensuring the coding or programming of its software and/or website, and/or the retrofitting of its hardware to prevent the completion of (1) any online, digital, or telephone sale or other disposal of unfinished frames or receivers to any resident of New York City and/or (2) any shipment and/or delivery of unfinished frames or receivers to any address located within New York City. Within two weeks (14 days) of execution of the Settlement, Defendant Rock Slide shall provide the City with the following, all of which the parties acknowledge would have been obtainable in discovery as further set forth in this Stipulation. IT IS HEREBY ORDERED that: This Stipulation is entered as an order of the Court and thereby takes effect immediately. (Signed by Judge Jesse M. Furman on 8/15/22) (yv)
August 15, 2022 Filing 41 PROPOSED STIPULATION AND ORDER. Document filed by City of New York..(Ash, Melanie)
August 15, 2022 Filing 40 LETTER addressed to Judge Jesse M. Furman from Jeannette A. Vargas dated August 15, 2022 re: Potential Filing of a Statement of Interest by the United States of America. Document filed by UNITED STATES OF AMERICA..(Vargas, Jeannette)
August 9, 2022 Filing 39 AFFIDAVIT OF SERVICE. Rainier Arms, LLC served on 8/2/2022, answer due 8/23/2022. Service was accepted by Troy Turner, Director of Government Sales and Compliance. Document filed by City of New York..(Ash, Melanie)
August 9, 2022 Opinion or Order Filing 38 ORDER granting #36 Letter Motion for Extension of Time to Answer re #36 CONSENT LETTER MOTION for Extension of Time to File Answer or otherwise respond to the Amended Complaint addressed to Judge Jesse M. Furman from David H. Thompson dated 08/08/2022., #1 Complaint. Application GRANTED. The Clerk of Court is directed to terminate ECF No. 36. Salvo Technologies, lnc answer due 9/9/2022. (Signed by Judge Jesse M. Furman on 8/9/2022) (ate)
August 8, 2022 Filing 37 AFFIDAVIT OF SERVICE. lndie Guns, LLC served on 8/4/2022, answer due 8/25/2022. Service was accepted by Lawrence Destefano, Registered Agent. Document filed by City of New York..(Ash, Melanie)
August 8, 2022 Filing 36 CONSENT LETTER MOTION for Extension of Time to File Answer or otherwise respond to the Amended Complaint addressed to Judge Jesse M. Furman from David H. Thompson dated 08/08/2022. Document filed by Salvo Technologies, lnc..(Thompson, David)
July 28, 2022 Opinion or Order Filing 35 ORDER granting #29 Motion for Christian W. Waugh to Appear Pro Hac Vice (HEREBY ORDERED by Judge Jesse M. Furman)(Text Only Order) (Furman, Jesse)
July 28, 2022 Filing 34 CERTIFICATE OF SERVICE of Court Order served on Rock Slide USA, LLC on July 28, 2022. Service was made by Electronic Mail. Document filed by City of New York..(Ash, Melanie)
July 28, 2022 Opinion or Order Filing 33 MEMO ENDORSEMENT on re: (30 in 1:22-cv-06124-JMF) Letter filed by The People of The State of New York. ENDORSEMENT: The parties' proposed briefing schedule for the State's anticipated motion to remand is hereby adopted. Any such motion shall be filed no later than August 17, 2022. Any opposition shall be filed no later than September 7, 2022. Any reply shall be filed no later than September 21, 2022. The Court will defer the question of consolidation and/or coordination between the City and State cases until the motion for remand is resolved. Plaintiff shall, within one business day of the date of this Order, serve a copy of this Order electronically on any Defendant who has not yet entered a notice of appearance (or counsel for that Defendant) and, within two business days of this Order, file proof of such service on the docket. SO ORDERED. (Motions due by 8/17/2022., Responses due by 9/7/2022, Replies due by 9/21/2022.) (Signed by Judge Jesse M. Furman on 7/28/2022) (jca)
July 28, 2022 Opinion or Order Filing 32 MEMO ENDORSEMENT on re: (31 in 1:22-cv-05525-JMF) Letter filed by City of New York. ENDORSEMENT: The Court is not available for a conference on August 10, 2022. It is hereby ORDERED that the parties appear for a telephone conference on August 16, 2022, at 2:45 p.m. The parties should follow the procedures for teleconferences described in the Courts Individual Rules and Practices for Civil Cases, available at https://nysd.uscourts.gov/honjessem-furman. In accordance with that Rule, counsel shall, at least twenty-four hours before the conference, email to the Court the names and telephone numbers of those who will have speaking roles at the conference. The Court will thereafter provide call-in information to those counsel. All others counsel who will not have speaking roles and members of the public may listen to the conference by calling the Court's dedicated conference call line at (888) 363-4749 and using access code 542-1540 followed by the pound (#) key. The Court will defer the question of consolidation and/or coordination between the City and State cases until the motion for remand in the State case is resolved. Plaintiff shall, within one business day of the date of this Order, serve a copy of this Order electronically on any Defendant who has not yet entered a notice of appearance (or counsel for that Defendant) and, within two business days of this Order, file proof of such service on the docket. SO ORDERED. (Telephone Conference set for 8/16/2022 at 02:45 PM before Judge Jesse M. Furman.) (Signed by Judge Jesse M. Furman on 7/28/2022) (jca)
July 28, 2022 >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. #29 AMENDED MOTION for Christian W. Waugh to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (sgz)
July 27, 2022 Filing 31 JOINT LETTER addressed to Judge Jesse M. Furman from All Parties dated July 27, 2022 re: Status Update and Proposed Next Steps. Document filed by City of New York..(Ash, Melanie)
July 27, 2022 Filing 30 AMENDED COMPLAINT amending #1 Complaint against Arm Or Ally, LLC, Rainier Arms, LLC, Rock Slide USA, LLC, Salvo Technologies, lnc, lndie Guns, LLC.Document filed by City of New York. Related document: #1 Complaint. (Attachments: #1 Exhibit Track Changes Version of Amended Complaint).(Bernhardt, Doris)
July 27, 2022 Filing 29 AMENDED MOTION for Christian W. Waugh to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by lndie Guns, LLC. (Attachments: #1 Exhibit 1 - Affidavit, #2 Exhibit 2 - Proposed Order, #3 Exhibit 3 - FL Supreme Court Certificate).(Waugh, Christian)
July 22, 2022 Filing 28 AFFIDAVIT OF SERVICE. Rock Slide USA, LLC served on 7/15/2022, answer due 8/5/2022. Service was accepted by David Thompson, Programmer/Manager. Document filed by City of New York..(Ash, Melanie)
July 22, 2022 Opinion or Order Filing 27 ORDER. As discussed in the conference held on July 13, 2022, the parties in the City Case are required to submit a letter addressing the status of the case and proposed next steps by July 27, 2022. The parties in the State Case shall file a similar letter by the same date. (If the parties are able to do so and prefer to file a single joint letter addressing both cases, they may do so.) The parties' letters should include the parties' views, if any, on consolidation and/or coordination of the two cases. Defendants in the State Case shall, within one business day of the date of this Order, serve a copy of this Order electronically on Plaintiff (or counsel for Plaintiff) and, within two business days of this Order, file proof of such service on the docket. SO ORDERED. (Signed by Judge Jesse M. Furman on 7/22/22) (yv)
July 22, 2022 Filing 26 NOTICE OF APPEARANCE by Jessica Maria Carroll on behalf of Rainier Arms, LLC..(Carroll, Jessica)
July 22, 2022 Filing 25 CERTIFICATE OF SERVICE. Salvo Technologies, lnc served on 7/15/2022, answer due 8/5/2022. Service was accepted by Brian W. Barnes, Esq., Counsel. Document filed by City of New York..(Ash, Melanie)
July 18, 2022 Filing 24 NOTICE OF APPEARANCE by Steven Jay Harfenist on behalf of Arm Or Ally, LLC..(Harfenist, Steven)
July 14, 2022 Opinion or Order Filing 23 ORDER granting #20 Motion for Brian Wesley Barnes to Appear Pro Hac Vice (HEREBY ORDERED by Judge Jesse M. Furman)(Text Only Order) (Furman, Jesse)
July 14, 2022 Opinion or Order Filing 22 ORDER granting #18 Motion for David Henry Thompson to Appear Pro Hac Vice (HEREBY ORDERED by Judge Jesse M. Furman)(Text Only Order) (Furman, Jesse)
July 13, 2022 Opinion or Order Filing 21 ORDER: The parties should be prepared to discuss this issue during the conference scheduled for later this afternoon. Unless and until the Court orders otherwise, no later than July 27, 2022, the City shall amend its Complaint to allege the citizenship of each constituent person or entity comprising the Defendant LLCs. If, by that date, the City is unable to amend the Complaint to truthfully allege complete diversity of citizenship, then the Complaint will be dismissed for lack of subject-matter jurisdiction without further notice to any party. SEE ORDER. (Signed by Judge Jesse M. Furman on 7/13/2022) (ab)
July 13, 2022 >>>NOTICE REGARDING DEFICIENT MOTION TO APPEAR PRO HAC VICE. Notice to RE-FILE Document No. #19 MOTION for Christian W. Waugh to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26400120. Motion and supporting papers to be reviewed by Clerk's Office staff. The filing is deficient for the following reason(s): missing Certificate of Good Standing from Supreme Court of Florida; Re-file the motion as a Motion to Appear Pro Hac Vice - attach the correct signed PDF - select the correct named filer/filers - attach valid Certificates of Good Standing issued within the past 30 days - attach Proposed Order. (sgz)
July 13, 2022 >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. #20 MOTION for Brian Wesley Barnes to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26402013. Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (sgz)
July 13, 2022 >>>NOTICE REGARDING PRO HAC VICE MOTION. Regarding Document No. #18 MOTION for David Henry Thompson to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26399083. Motion and supporting papers to be reviewed by Clerk's Office staff.. The document has been reviewed and there are no deficiencies. (sgz)
July 12, 2022 Filing 20 MOTION for Brian Wesley Barnes to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26402013. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Salvo Technologies, lnc. (Attachments: #1 Affidavit Declaration of Brian W. Barnes, #2 Text of Proposed Order Proposed PHV Order, #3 Exhibit Certificate of Good Standing CO, #4 Exhibit Certificate of Good Standing DC).(Barnes, Brian)
July 12, 2022 Filing 19 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Christian W. Waugh to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26400120. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by lndie Guns, LLC. (Attachments: #1 Exhibit 1 - Affidavit, #2 Exhibit 2 - FL Bar Certificate, #3 Text of Proposed Order Proposed Order Granting Motion).(Waugh, Christian) Modified on 7/13/2022 (sgz).
July 12, 2022 Filing 18 MOTION for David Henry Thompson to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number ANYSDC-26399083. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Salvo Technologies, lnc. (Attachments: #1 Affidavit Declaration of David H. Thompson, #2 Text of Proposed Order Proposed PHV Order, #3 Exhibit Certificate of Good Standing NY, #4 Exhibit Certificate of Good Standing DC).(Thompson, David)
July 8, 2022 Filing 17 AFFIDAVIT OF SERVICE of Scheduling Order served on Arm or Ally LLC, Rainier Arms, LLC, Salvo Technologies, Inc., Rock Slide USA, and Indie Guns LLC on July 8, 2022. Service was made by Electronic Mail. Document filed by City of New York..(Ash, Melanie)
July 8, 2022 Opinion or Order Filing 16 SCHEDULING ORDER: The teleconference currently scheduled for July 12, 2022, is hereby RESCHEDULED to July 13, 2022, at 2:15 p.m. SO ORDERED. (Signed by Judge Jesse M. Furman on 7/7/2022) Telephone Conference set for 7/13/2022 at 02:15 PM before Judge Jesse M. Furman. (ks)
July 5, 2022 Filing 15 CERTIFICATE OF SERVICE of Scheduling Order served on Arm or Ally LLC, Rainier Arms, LLC, Salvo Technologies, Inc., Rock Slide USA, LLC, Indie Guns LLC on July 1, 2022. Service was made by Email. Document filed by City of New York..(Ash, Melanie)
July 1, 2022 Opinion or Order Filing 14 SCHEDULING ORDER: It is hereby ORDERED that all parties appear for a telephone conference with the Court on July 12, 2022, at 4:15 p.m. The parties should be prepared to discuss how to proceed with respect to: (1) the pending motion for preliminary injunction (including the possibility of consolidating any hearing with trial on the merits under Rule 65(a)(2) of the Federal Rules of Civil Procedure), see ECF No. 4, and (2) coordination with the parallel case filed by the New York State Office of the Attorney General in New York State Supreme Court. Plaintiff shall, within one business day of the date of this Order, serve a copy of this Order electronically on Defendants (or counsel for Defendants) and, within two business days of this Order, file proof of such service on the docket. SO ORDERED. ( Telephone Conference set for 7/12/2022 at 04:15 PM before Judge Jesse M. Furman.) (Signed by Judge Jesse M. Furman on 7/1/22) (yv)
July 1, 2022 Filing 13 NOTICE OF APPEARANCE by Melanie Calandra Teresa Ash on behalf of City of New York..(Ash, Melanie)
July 1, 2022 Filing 12 ELECTRONIC SUMMONS ISSUED as to Arm Or Ally, LLC, Rainier Arms, LLC, Rock Slide USA, LLC, Salvo Technologies, lnc, lndie Guns, LLC..(lal)
June 30, 2022 Filing 11 CIVIL COVER SHEET filed..(Proshansky, Eric)
June 30, 2022 Filing 10 REQUEST FOR ISSUANCE OF SUMMONS as to Arm Or Ally, LLC, Rainier Arms LLC, Salvo Technologies, Inc. d/b/a "80P Builder," Rock Slide USA, LLC, Indie Guns, LLC, re: #1 Complaint. Document filed by City of New York..(Proshansky, Eric)
June 30, 2022 ***NOTICE TO ATTORNEY REGARDING DEFICIENT CIVIL COVER SHEET. Notice to attorney Eric Proshansky to RE-FILE Document No. #3 Civil Cover Sheet. The filing is deficient for the following reason(s): the PDF attached to the docket entry for the civil cover sheet is not correct. Re-file the document using the event type Civil Cover Sheet found under the event list Other Documents and attach the correct PDF. Use civil cover sheet issued by S.D.N.Y. dated October 1, 2020. The S.D.N.Y. Civil Cover Sheet dated October 1, 2020 is located at#http://nysd.uscourts.gov/file/forms/civil-cover-sheet.. (sj)
June 30, 2022 ***NOTICE TO ATTORNEY REGARDING CIVIL. CASE OPENING STATISTICAL ERROR CORRECTION: Notice to attorney Eric Proshansky. The following case opening statistical information was erroneously selected/entered: Citizenship Defendant code 2 (Citizen of Another State); Fee Status code due (due). The following correction(s) have been made to your case entry: the Citizenship Defendant code has been modified to 5 (Incorporated/Principal Place of Business-Other State); the Fee Status code has been modified to pd (paid). (sj)
June 30, 2022 ***NOTICE TO ATTORNEY REGARDING PARTY MODIFICATION. Notice to attorney Eric Proshansky. The party information for the following party/parties has been modified: Salvo Technologies, Inc., Rock Slide, LLC. The information for the party/parties has been modified for the following reason/reasons: party name contained a typographical error; alias party name was omitted. (sj)
June 30, 2022 ***NOTICE TO ATTORNEY REGARDING DEFICIENT REQUEST FOR ISSUANCE OF SUMMONS. Notice to Attorney Eric Proshansky to RE-FILE Document No. #2 Request for Issuance of Summons,. The filing is deficient for the following reason(s): the PDF attached to the docket entry for the issuance of summons is not correct; party name error, party name must match exactly as pleading on PDF and in docket entry. Re-file the document using the event type Request for Issuance of Summons found under the event list Service of Process - select the correct filer/filers - and attach the correct summons form PDF. (sj)
June 30, 2022 Case Designated ECF. (sj)
June 30, 2022 CASE OPENING INITIAL ASSIGNMENT NOTICE: The above-entitled action is assigned to Judge Jesse M. Furman. Please download and review the Individual Practices of the assigned District Judge, located at #https://nysd.uscourts.gov/judges/district-judges. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. Please download and review the ECF Rules and Instructions, located at #https://nysd.uscourts.gov/rules/ecf-related-instructions..(sj)
June 30, 2022 Magistrate Judge Katharine H. Parker is so designated. Pursuant to 28 U.S.C. Section 636(c) and Fed. R. Civ. P. 73(b)(1) parties are notified that they may consent to proceed before a United States Magistrate Judge. Parties who wish to consent may access the necessary form at the following link: #https://nysd.uscourts.gov/sites/default/files/2018-06/AO-3.pdf. (sj)
June 29, 2022 Filing 9 MEMORANDUM OF LAW in Support re: #4 MOTION for Preliminary Injunction Against all Defendants. . Document filed by City of New York..(Bernhardt, Doris)
June 29, 2022 Filing 8 DECLARATION of Assistant Corporation Counsel Eric Proshansky in Support re: #4 MOTION for Preliminary Injunction Against all Defendants.. Document filed by City of New York. (Attachments: #1 Exhibit 1 People of the State of New York v. Rene Loyola, Indictment No. 71721-22, #2 Exhibit 2 United States v. Gary Brown, Criminal Docket No. 20-352 (E.D.N.Y.) (ECF No. 26)).(Bernhardt, Doris)
June 29, 2022 Filing 7 DECLARATION of Sergeant Richard LeBlond, Deputy Sheriff in the Office of the New York City Sheriff in Support re: #4 MOTION for Preliminary Injunction Against all Defendants.. Document filed by City of New York. (Attachments: #1 Exhibit Exhibit 1 Photographs of AoA Delivery 1, #2 Exhibit Exhibit 2 Photographs of AoA Delivery 2, #3 Exhibit Exhibit 3 Photographs of Rainier Delivery 1, #4 Exhibit Exhibit 4 Photographs of Rainier Delivery 2, #5 Exhibit Exhibit 5 Photographs of Rainier Delivery 3, #6 Exhibit Exhibit 6 Photographs of Rainier Delivery 4, #7 Exhibit Exhibit 7 Photographs of 80P Builder Delivery, #8 Exhibit Exhibit 8 Photographs of Rock Slide Delivery 1, #9 Exhibit Exhibit 9 Photographs of Rock Slide Delivery 2, #10 Exhibit Exhibit 10 Photographs of Indie Guns Delivery 10).(Bernhardt, Doris)
June 29, 2022 Filing 6 DECLARATION of Francesca Rosa, Deputy Sheriff in the Office of the New York City Sheriff in Support re: #4 MOTION for Preliminary Injunction Against all Defendants.. Document filed by City of New York. (Attachments: #1 Exhibit Exhibit 1 Photographs and Evidence Cards, #2 Exhibit Exhibit 2 Instruction Manual, #3 Exhibit Exhibit 3 Photographs of Jig, #4 Exhibit Exhibit 4 Photograph of Ghost Gun, #5 Exhibit Exhibit 5 Photograph of Ghost Gun at the Range).(Bernhardt, Doris)
June 29, 2022 Filing 5 DECLARATION of Inspector Courtney Nilan, Commanding Officer of the NYPDs Field Intelligence Program in Support re: #4 MOTION for Preliminary Injunction Against all Defendants.. Document filed by City of New York..(Bernhardt, Doris)
June 29, 2022 Filing 4 MOTION for Preliminary Injunction Against all Defendants. Document filed by City of New York..(Bernhardt, Doris)
June 29, 2022 Filing 3 FILING ERROR - DEFICIENT CIVIL COVER SHEET - PDF ERROR CIVIL COVER SHEET filed..(Proshansky, Eric) Modified on 6/30/2022 (sj).
June 29, 2022 Filing 2 FILING ERROR - DEFICIENT SUMMONS REQUEST - PDF ERROR REQUEST FOR ISSUANCE OF SUMMONS as to Arm Or Ally, LLC, Rainier Arms LLC, Salvo Technologies, Inc., Rock Slide, LLC, Indie Guns, LLC, re: #1 Complaint. Document filed by City of New York..(Proshansky, Eric) Modified on 6/30/2022 (sj).
June 29, 2022 Filing 1 COMPLAINT against Arm Or Ally, LLC, Rainier Arms, LLC, Rock Slide, LLC, Salvo Technologies, lnc, lndie Guns, LLC. (Filing Fee $ 402.00, Receipt Number ANYSDC-26344451)Document filed by City of New York..(Proshansky, Eric)

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Search for this case: City of New York v. Arm Or Ally, LLC et al
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Plaintiff: City of New York
Represented By: Doris F. Bernhardt
Represented By: Eric Proshansky
Represented By: Melanie Calandra Teresa Ash
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Defendant: Arm Or Ally, LLC
Represented By: Steven Jay Harfenist
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Defendant: Rainier Arms, LLC
Represented By: Jessica Maria Carroll
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Defendant: Salvo Technologies, lnc
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Defendant: Rock Slide, LLC
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Defendant: lndie Guns, LLC
Represented By: Christian Waugh, I
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Defendant: Salvo Technologies, lnc doing business as 80P Builder
Represented By: David H Thompson
Represented By: Brian W Barnes
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Defendant: Rock Slide USA, LLC
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Not classified by court: UNITED STATES OF AMERICA
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