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2026-cv-07739

Superhype Tapes Limited v. The Partnerships and Unincorporated Associations Identified On Schedule A

法院:伊利诺伊州北法院
发案日期:2026-07-01
原告:Superhype Tapes Limited
代理律所:TME
诉讼类型:商标
# Date Description
[+] 1 2026-07-01 COMPLAINT filed by Superhype Tapes Limited; Filing fee $ 405, receipt number AILNDC-25327699.
2 2026-07-01 SEALED EXHIBIT by Plaintiff Superhype Tapes Limited Schedule A regarding complaint[1]
3 2026-07-01 MOTION by Plaintiff Superhype Tapes Limited for Leave to File Certain Documents Under Seal
4 2026-07-01 CIVIL Cover Sheet
5 2026-07-01 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Superhype Tapes Limited
6 2026-07-01 Notice of Claims Involving Trademarks by Superhype Tapes Limited
7 2026-07-01 ATTORNEY Appearance for Plaintiff Superhype Tapes Limited by Martin Francis Trainor
[+] 8 2026-07-01 ATTORNEY Appearance for Plaintiff Superhype Tapes Limited by Victor Benjamin Chahin, Jr
9 2026-07-01 ATTORNEY Appearance for Plaintiff Superhype Tapes Limited by Alexander Whang
10 2026-07-02 MINUTE entry before the Honorable Thomas M. Durkin: Motion for leave to file certain documents under seal [3] is granted. Mailed notice.
11 2026-07-02 MAILED trademark report to Patent Trademark Office, Alexandria VA
12 2026-07-02 MAILED to plaintiff(s) counsel Lanham Mediation Program materials
13 2026-07-08 MOTION by Plaintiff Superhype Tapes Limited for Entry of a Temporary Restraining Order, Including a Temporary Injunction and a Temporary Asset Restraint, as to Certain Defendants
[+] 14 2026-07-08 MEMORANDUM by Superhype Tapes Limited in support of motion for miscellaneous relief[13]
[+] 15 2026-07-08 DECLARATION of Robert Johns regarding memorandum in support of motion[14]
16 2026-07-08 MINUTE entry before the Honorable Thomas M. Durkin: The Court requires that any motion for a temporary restraining order and/or asset freeze is accompanied by a declaration from an attorney of record that provides the following information. First, to demonstrate the immediate harm necessary to grant the drastic remedy of an ex parte temporary restraining order, the declaration must confirm that each named defendant has sold or offered to sell the allegedly infringing product(s) within the last two months and describe the evidence supporting this confirmation. Generally, evidence that a defendant has sold or offered to sell the infringing products within the last two months may include: (1) screenshots of the listings collected within the last two months; (2) screenshots older than two months with an attestation that the listings reflected in the screenshots have been checked within the last two months and were active; or (3) evidence of a purchase by a customer in Illinois within the last two months. Second, as relevant to personal jurisdiction, without which any temporary restraining order or asset freeze would be invalid, the declaration must confirm that each named defendant sold at least one allegedly infringing product to a customer in Illinois and describe the evidence supporting this confirmation. Here, "sold" means that the defendant accepted an order and payment for an allegedly infringing product to be shipped to Illinois. Third, to assure that Court that the rights of defendants who have not yet been served are being appropriately protected, the declaration must identify the case number(s) and assigned judge(s) for any pending case(s) brought by the plaintiff(s) against any of the named defendants, noting whether the intellectual property at issue was the same or different than in this case. If it is the same, the declaration should describe the disposition of the other case. The Court will address any motion for a temporary restraining order only after receipt of the described declaration, which can be filed contemporaneously with the motion. Additionally, to the extent Plaintiff also makes a motion for expedited discovery or for an order permitting electronic service of process, Plaintiff should submit a proposed order for that relief that is separate from the proposed order for the TRO and asset restraint. The proposed order for the TRO and asset restraint should name the relevant defendants directly in the order, without reference to Schedule A. Mailed notice.
[+] 17 2026-07-08 DECLARATION of Robert Johns regarding memorandum in support of motion[14] (CORRECTED)
18 2026-07-08 SEALED EXHIBIT by Plaintiff Superhype Tapes Limited Exhibit 2, Parts 1-14 regarding declaration[17]
[+] 19 2026-07-08 MOTION by Plaintiff Superhype Tapes Limited for Expedited Discovery
20 2026-07-08 MOTION by Plaintiff Superhype Tapes Limited for Authorization to Provide Electronic Notice of Any Forthcoming Motion for Entry of a Preliminary Injunction
21 2026-07-10 MINUTE entry before the Honorable Thomas M. Durkin: Ex parte motion for entry of a temporary restraining order, including a temporary injunction and a temporary asset restraint, as to certain defendants [13] is granted. Motion for expedited discovery [19] is granted. Ex parte motion for authorization to provide electronic notice of any forthcoming motion for entry of a preliminary injunction [20] is granted. Mailed notice.
22 2026-07-10 SEALED Temporary Restraining Order. Signed by the Honorable Thomas M. Durkin on 7/10/2026. Mailed notice.
23 2026-07-10 SEALED Order Authorizing Expedited Discovery. Signed by the Honorable Thomas M. Durkin on 7/10/2026. Mailed notice.
24 2026-07-17 SURETY BOND in the amount of $ 39,000.00 posted by Superhype Tapes Limited. (Document not imaged)
25 2026-07-21 MOTION by Plaintiff Superhype Tapes Limited to Extend the Temporary Restraining Order
[+] 26 2026-07-21 MEMORANDUM by Superhype Tapes Limited in support of motion for miscellaneous relief[25]
27 2026-07-21 MINUTE entry before the Honorable Thomas M. Durkin: Ex parte motion to extend the Temporary Restraining Order [25] is granted. The Temporary Restraining Order entered on 7/10/2026 is extended by a period of fourteen (14) days until 8/7/2026. Mailed notice.
[+] 28 2026-08-04 MOTION by Plaintiff Superhype Tapes Limited for preliminary injunction as to certain Defendants
[+] 29 2026-08-04 MEMORANDUM by Superhype Tapes Limited in support of motion for preliminary injunction[28]