Opinion
2:24-cv-01083-TL
12-31-2024
AMAZON.COM, INC., a Delaware corporation, AMAZON.COM SERVICES LLC, a Delaware limited liability company, and AMAZON TECHNOLOGIES, INC., a Nevada corporation, Plaintiffs, v. Does 1-20, unknown parties doing business as “CHIN CHOPA,” and the following individuals Justin Cook, Timothy Rodgers, Sai Parvathareddy, Danielle Lantz, Brandon Wong, Bharath Kumar Gandhe, Berkcan Turkmenoglu, and Mike Ahlert, Defendants.
Davis Wright Tremaine LLP Attorneys for Plaintiffs Bonnie MacNaughton, WSBA #36110 Tim Cunningham, WSBA #50224 Macaulay Ivory, WSBA #57858 Mike Ahlert Pro Se, Mike Ahlert
Davis Wright Tremaine LLP
Attorneys for Plaintiffs
Bonnie MacNaughton, WSBA #36110
Tim Cunningham, WSBA #50224
Macaulay Ivory, WSBA #57858
Mike Ahlert Pro Se, Mike Ahlert
STIPULATED PERMANENT INJUNCTION AS TO DEFENDANT MIKE AHLERT AND PROPOSED ORDER
Tana Lin, United States District Judge
STIPULATION
Plaintiffs Amazon.com, Inc., Amazon.com Services LLC, and Amazon Technologies, Inc. (together, “Amazon”), and Defendant Mike Ahlert and (collectively “Settling Parties”), by and through Amazon and Ahlert's respective counsel of record, notify the Court that the Settling Parties have reached a settlement of all claims between them in this matter. Pursuant to the terms of that settlement, the Settling Parties stipulate and agree to entry of the permanent injunction below.
PERMANENT INJUNCTION
Pursuant to the above stipulation of the parties, IT IS HEREBY ORDERED that Defendant Mike Ahlert, and his respective employees, agents, successors and assigns, and all others in active concert or participation with him, are permanently enjoined and restrained from:
1. Accessing and using, whether directly or indirectly via a third party, intermediary, or proxy, Amazon.com, or any other Amazon online store around the world;
2. Exploiting or abusing Amazon's ordering or return services;
3. Making false statements or misrepresentations to Amazon;
4. Engaging in any activity that defrauds Amazon into paying money or providing replacement products for illegitimate returns;
5. Engaging in any scheme or malicious activity that interacts with Amazon; and
6. Knowingly and materially assisting or engaging any other person or business entity in engaging in or performing any of the activities listed above.
The Court shall retain continuing jurisdiction over this matter for the limited purposes of enforcing the terms of the Settling Parties' settlement agreement and this Stipulated Permanent Injunction.
IT IS SO ORDERED.