Opinion
22 Civ. 6469 (KPF)
11-04-2022
NINGBO QINGE E-COMMERCE CO., LTD, Plaintiff, v. THE PARTNERSHIPS AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE “A”, Defendants. Defendant Online Marketplaces No. Defendant
PRELIMINARY INJUNCTION ORDER
KATHERINE POLK FAILLA United States District Judge
GLOSSARY
Term
Definition
Counterfeit Products
Unauthorized and unlicensed products using infringing and/or counterfeit versions of the GAOARA Mark
Defendants' Assets
Any and all money, securities, or other property or assets of Defendants (whether said assets are located in the U.S. or abroad)
Defendants' Financial Accounts
Any and all financial accounts associated with or utilized by any Defendants or any Defendants' User Accounts or Merchant Storefront(s) (whether said account is located in the U.S. or abroad)
Financial Institutions
Any banks, financial institutions, credit card companies, and payment processing agencies, such as Wish, Google Pay, PayPal, Inc., Payoneer, Inc., PingPong Global Solutions, Inc., and other companies or agencies that engage in the processing or transfer of money and/or real or personal property of Defendants
GAOARA Mark
Plaintiff's federally registered trademark, namely, U.S. Trademark Registration No. 6,389,174 for “GAOARA” for goods in Class 25
Merchant Storefronts
Any and all User Accounts through which Defendants, their respective officers, employees, agents, servants, and all persons in active concert or participation with any of them operate fully interactive e-commerce merchant storefronts using false names and/or seller aliases, as identified in Schedule A to the Complaint, via Third-Party Service Providers to manufacture, import, export, advertise, market, promote, distribute, display, offer for sale, sell, and/or otherwise deal in Counterfeit Products, which are held by or associated with Defendants, their respective officers, employees, agents, servants, and all persons in active concert or participation with any of them
Third-Party Service Providers
Online marketplace platforms, including without limitation those owned and operated, directly or indirectly, by Wish as well as any as yet undiscovered online marketplace platforms and/or entities through which Defendants, their respective officers, employees, agents, servants, and all persons in active concert or participation with any of them manufacture, import, export, advertise, market, promote, distribute, offer for sale, sell, and/or otherwise deal in Counterfeit Products which are later identified as a result of any order entered in this action or otherwise
User Accounts
Any and all seller and/or merchant accounts on any online marketplace platforms, such as Wish and including any as
yet undiscovered seller accounts on other online marketplaces, held by, operated by, or associated with Defendants, their respective officers, employees, agents, servants, and all persons in active concert or participation with any of them
Wish
Wish.com, a San Francisco-based, online marketplace and e commerce platform owned by ContextLogic, Inc., a Delaware corporation, that allows merchants, like Defendants, to advertise, distribute, offer for sale, sell, and ship their retail products, which, upon information and belief, primarily originate from China, directly to consumers worldwide and specifically to consumers residing in the U.S., including New York.
FINDINGS OF FACT AND CONCLUSIONS OF LAW
Where a capitalized term is used herein but is not otherwise defined, such term should be understood as it is defined in the Glossary.
On September 22, 2022, this Court granted Plaintiff's ex parte motion for, inter alia, a temporary restraining order (“the TRO”), which ordered Defendants to appear before the Court on October 6, 2022, at 4:30 p.m. to show cause as to why a preliminary injunction should not issue (the “OSC Hearing”) (Dkt. #15). On October 4, 2022, this Court granted Plaintiff's ex parte letter motion to, inter alia, extend the TRO and adjourn the OSC Hearing to October 28, 2022, at 11:00 a.m. (the “October 4, 2022 Order”) (Dkt. #18). On October 7, 2022, Plaintiff served Defendants with the Summons, Complaint, TRO, the October 4, 2022 Order, and other relevant documents pursuant to the alternative methods of service authorized by the TRO(See Dkt. #20). On October 28, 2022, Plaintiff appeared at the OSC Hearing, but no Defendant appeared at the OSC Hearing or filed opposition papers prior to such hearing.
Accordingly, this Court finds that the injunctive relief previously granted in the TRO should remain in place through the pendency of this litigation and that issuing such preliminary injunction is warranted under Federal Rule of Civil Procedure 65 and the Lanham Act. Evidence submitted in support of Plaintiff's previously-granted TRO establishes that Plaintiff has demonstrated a likelihood of success on the merits; that no remedy at law exists; and that Plaintiff will suffer irreparable harm if the injunction is not granted. Specifically, Plaintiff has proved a prima facie case of trademark infringement because: (1) the GAOARA Mark is valid, subsisting and in full force and effect, and Plaintiff is the exclusive owner of said mark; (2) Defendants are not licensed or authorized to use the GAOARA Mark; and (3) Defendants' use of the GAOARA Mark is causing a likelihood of confusion as to the origin or sponsorship of Defendants' products with Plaintiff. Furthermore, Defendants' continued and unauthorized use of the GAOARA Mark has caused and continues to cause Plaintiff irreparable harm through diminished goodwill, damage to Plaintiff's reputation, and/or lost sales. Monetary damages fail to address such damage and, therefore, Plaintiff has an inadequate remedy at law. Moreover, public interest is served by entry of this preliminary injunction by way of dispelling any public confusion created by Defendants' actions, preventing the public from being defrauded or deceived by Defendants' offer and/or sale of Counterfeit Products, and by protecting Plaintiff's interests in and to its GAOARA Mark.
ORDER
IT IS HEREBY ORDERED THAT:
1. The injunctive relief previously granted in the TRO shall remain in place throughout the pendency of this litigation as to all Defendants, and that issuing this Order is warranted under Federal Rule of Civil Procedure 65 and Section 34 of the Lanham Act.
2. Defendants, their affiliates, officers, agents, servants, employees, attorneys, confederates, and all persons acting for, with, by, through, under, or in active concert with them are enjoined and restrained from engaging in any of the following acts or omissions pending the final hearing and determination of this action or until further order of the Court:
a. manufacturing, importing, exporting, advertising, marketing, promoting, distributing, displaying, offering for sale, selling, and/or otherwise dealing in Counterfeit Products, or any other products bearing the GAOARA Mark, and/or marks that are confusingly similar to, identical to, and constitute a counterfeiting or infringement of the GAOARA Mark;
b. directly or indirectly infringing in any manner on the GAOARA Mark;
c. using any reproduction, counterfeit, copy, or colorable imitation of the GAOARA Mark to identify any goods or services not authorized by Plaintiff;
d. using the GAOARA Mark and/or any other marks that are confusingly similar to the GAOARA Mark on or in connection with Defendants' manufacturing, importing, exporting, advertising, marketing, promoting, distributing, offering for sale, selling, and/or otherwise dealing in Counterfeit Products;
e. using any false designation of origin or false description or engaging in any action which is likely to cause confusion, cause mistake, and/or to deceive members of the trade, and/or the public as to the affiliation, connection, or association of any product manufactured, imported, exported, advertised, marketed, promoted, distributed, displayed, offered for sale, or sold by Defendants with Plaintiff, and/or as to the origin, sponsorship, or approval of any product manufactured, imported, exported, advertised,
marketed, promoted, distributed, displayed, offered for sale, or sold by Defendants and Defendants' commercial activities and Plaintiff;
f. secreting, concealing, destroying, altering, selling off, transferring, or otherwise disposing of and/or dealing with: (i) Counterfeit Products and/or (ii) any computer files, data, business records, documents or any other records or evidence relating to their User Accounts, Merchant Storefronts, or Defendants' Assets and the manufacture, importation, exportation, advertising, marketing, promotion, distribution, display, offering for sale, and/or sale of Counterfeit Products;
g. effecting assignments or transfers, forming new entities or associations, or creating and/or utilizing any other platform, User Account, Merchant Storefront, or any other means of importation, exportation, advertising, marketing, promotion, distribution, display, offering for sale, and/or sale of Counterfeit Products for the purposes of circumventing or otherwise avoiding the prohibitions set forth in this Order; and
h. knowingly instructing any other person or business entity to engage in any of the activities referred to in subparagraphs 2(a) through 2(g) above and subparagraphs 3(a) through 3(b) and 4(a) through 4(b) below.
3. Third-Party Service Providers and Financial Institutions are hereby restrained and enjoined from engaging in any of the following acts or omissions pending the final hearing and determination of this action or until further order of the Court:
a. secreting, concealing, transferring, disposing of, withdrawing, encumbering, or paying Defendants' Assets from or to Defendants' Financial Accounts;
b. secreting, concealing, destroying, altering, selling off, transferring, or otherwise disposing of and/or dealing with any computer files, data, business records, documents or any other records or evidence relating to Defendants' Assets and Defendants' Financial Accounts; and
c. knowingly instructing, aiding, or abetting any person or business entity in engaging in any of the activities referred to in subparagraphs 2(a) through 2(g) and 3(a) through 3(b) above.
4. Third-Party Service Providers are hereby restrained and enjoined from engaging in any of the following acts or omissions pending the final hearing and determination of this action or until further order of the Court:
a. Providing services to Defendants, Defendants' User Accounts and Defendants' Merchant Storefronts, including, without limitation, continued operation of Defendants' User Accounts and Merchant Storefronts;
b. secreting, concealing, destroying, altering, selling off, transferring, or otherwise disposing of and/or dealing with any computer files, data, business records, documents or any other records or evidence relating to the Defendants' User Accounts, Merchant Storefronts, Defendants' Assets and the manufacture, importation, exportation, advertising, marketing,
promotion, distribution, display, offering for sale and/or sale of Counterfeit Products; and
c. knowingly instructing, aiding, or abetting any other person or business entity in engaging in any of the activities referred to in subparagraphs 2(a) through 2(g) above, 3(a) through 3(b) above, and 4(a) to 4(b) above.
5. The asset restraint granted in the TRO shall remain in place throughout the pendency of this litigation, including that within ten (10) days of receipt of notice of this Order, any newly discovered Financial Institutions that are served with this Order shall locate and attach Defendants' Financial Accounts and Defendants' Assets, shall provide Plaintiff's counsel with written confirmation of such attachment along with a summary report containing account details for any and all such accounts, which shall, at a minimum, include (i) identifying information for Defendants and Defendants' User Accounts; (ii) contact information for Defendants (including all mailing addresses and email addresses); (iii) account numbers; and (iv) account balances for any and all of Defendants' Financial Accounts.
6. The expedited discovery previously granted in the TRO shall remain in place through the pendency of this litigation, including that:
a. Plaintiff may serve interrogatories pursuant to Fed.R.Civ.P. 26 and 33 and Defendants shall provide written responses to Plaintiff's counsel within fourteen (14) days of service.
b. Plaintiff may serve document production requests pursuant to Fed. R. Civ.P. 26 and 34 and Defendants, their respective officers, employees, agents,
servants, and attorneys and all persons in active concert or participation with any of them shall respond to such requests and produce all documents to Plaintiff's counsel within fourteen (14) days of service.
c. Within fifteen (15) days of service, all Third-Party Service Providers shall provide Plaintiff's counsel with all documents and records in its possession, custody, or control relating to Defendants' User Accounts and Defendants' Merchant Storefronts, including, without limitation, documents and records relating to:
i. any and all User Accounts and Defendants' Merchant Storefronts and account details, including, without limitation, identifying information and account numbers for any and all User Accounts and Defendants' Merchant Storefronts that Defendants have ever had and/or currently maintain with the Third-Party Service Providers;
ii. the identities and locations of Defendants, their agents, servants, employees, confederates, attorneys, and any persons acting in concert or participation with them, including all known contact information, including any and all associated email addresses; and
iii. Defendants' operations and all associated sales, methods of payment for services and financial information, including, without limitation, identifying information associated with the Merchant Storefronts and Defendants' Financial Accounts, as well as
providing a full accounting of Defendants' sales and listing history related to their respective Merchant Storefronts;
iv. any financial accounts owned or controlled by Defendants, including their agents, servants, employees, confederates, attorneys, and any persons acting in concert or participation with them, including such accounts residing with or under the control of any banks, savings and loan associations, payment processors, other financial institutions, other merchant account providers, payment providers, third party processors, and credit card associations; and
v. Defendants' manufacturing, importing, exporting, advertising, marketing, promoting, distributing, displaying, offering for sale and/or selling of Counterfeit Products, or any other products bearing the GAOARA Mark and/or marks that are confusingly similar to, identical to and constitute an infringement of the GAOARA Mark.
d. Within fifteen (15) days days of service, Financial Institutions shall provide Plaintiff's counsel with all documents and records in their possession, custody, or control relating to any and all of Defendants' Financial Accounts, User Accounts, and Merchant Storefronts, including, without limitation, any documents and records relating to:
i. account numbers;
ii. current account balances;
iii. any and all deposits and withdrawals from each and every of Defendants' Financial Accounts and any and all supporting documentation, including, but not limited to, deposit slips, withdrawal slips, cancelled checks, and account statements;
iv. any and all wire transfers into each and every of Defendants' Financial Accounts, including, but not limited to, documents sufficient to show the identity of the destination of the transferred funds, the identity of the beneficiary's bank and the beneficiary's account number;
v. any and all User Accounts and account details, including, without limitation, identifying information and account numbers for any and all User Accounts that Defendants have ever had and/or currently maintain;
vi. any and all account opening documents and records, including, but not limited to, account applications, signature cards, identification documents, and if a business entity, any and all business documents provided for the opening of each and every of Defendants' Financial Accounts;
vii. any and all identifying information for Defendants and Defendants' User Accounts, including names, addresses and contact information; and
viii. the identities, location and contact information, including any and all email addresses, of Defendants, their respective officers,
employees, agents, servants and all persons in active concert or participation with any of them.
e. Plaintiff may issue any such expedited discovery requests via email.
7. The alternative means of service previously authorized in the TRO pursuant to Fed.R.Civ.P. 4(f)(3) shall remain in place throughout the pendency of this litigation, including that:
a. Service on Defendants may be made, and shall be deemed effective, by sending an email containing a PDF copy of this Order, or a link to a site from which a PDF copy of this Order can be securely downloaded, to Defendants at the email addresses provided for them pursuant to the TRO.
b. The combination of providing notice via electronic means, along with any notice that Defendants receive from payment processors, shall constitute notice reasonably calculated under all circumstances to apprise Defendants of the pendency of the action and afford them the opportunity to present their objections.
c. Service on Third-Party Service Providers and Financial Institutions may be made, and shall be deemed effective, by sending an email containing a PDF copy of this Order, or a link to a site from which a such PDF copy may be securely downloaded, to them or their attorneys.
d. Plaintiff may continue to use such alternative methods of service to serve Defendants, Third-Party Service Providers and Financial Institutions with this Order, and any future motions or Orders, and such alternative service
shall be deemed effective as to Defendants, Third-Party Service Providers, and Financial Institutions throughout the pendency of this litigation.
8. Defendants are hereby given notice that they may be deemed to have actual notice of the terms of this Order and any act by them or anyone of them in violation of this Order may be considered and prosecuted as in contempt of this Court.
9. Any Defendant that is subject to this Order may appear and move to dissolve or modify the Order with notice to Plaintiff's counsel and as permitted by and in compliance with the Federal Rules of Civil Procedure and the local rules of the Southern District of New York.
10. The $5,000 bond posted by Plaintiff shall remain with the Court until a final disposition of this case or until this preliminary injunction order is terminated.
SO ORDERED.
Schedule A
Defendant Online Marketplaces
No.
Defendant
Merchant Storefront URL
1
88WW0011
https://www.wish.com/merchant/5a54b3d2edd44248bdb8a1b6
2
16535373575
https://www.wish.com/merchant/5d54d6f33db43e5248358525
3
16535373610
https://www.wi sh.com/merchant/ 5d5f8caabd01a85e7d39bca8
4
ada electric mosquito swater
https://www.wish.com/merchant/5d55261c41ed5156a4cd5e0c
5
agykeluosi
https://www.wish.com/merchant/5d54bd60dfe13531d728f9a7
6
ANG YO Ladies'Underwear Shop
https://www.wish.com/merchant/5d561ec833f0b456b0f70293
7
anshuangyi5902
https://www.wish.com/merchant/5b9744095fd9450801ce2503
8
APINUNU
https://www.wish.com/merchant/5d5f8d8f40defd611a023d23
9
arrjjun
https://www.wish.com/merchant/5e69d8ee290ddd0700359b28
10
automoviles ligeros
https://www.wish.com/merchant/5f8e3c82ab096eec145a15cf
11
Buglionegerardus
https://www.wish.com/merchant/5f7357b81bbd827c6ff763a4
12
Cartega
https://www.wish.com/merchant/5dca260029e7861b08c9d50c
13
cdubsok
https://www.wish.com/merchant/5b8e0e907b65be4f5946635b
14
chenminkeluosi
https://www.wish.com/merchant/5d55035e41ed51473dcd5de7
15
Clock envelope
https://www.wish.com/merchant/5d5383a61d9a8e612bfe8779
16
comandocompany
https://www.wish.com/merchant/5f7de214ce8b08004a4c64a0
17
DAVCO
https://www.wish.com/merchant/5f766f5f5810050050f7dd8d
18
dbtkeluosi
https://www.wish.com/merchant/5d4facb4933fb16bdeb86ef7
19
Deep love gril
https://www.wish.com/merchant/5d5791b61d862959ab42ec27
20
dhyuq
https://www.wish.com/merchant/5d55338141ed515b8acd6270
21
Diaoys baby inner
https://www.wish.com/merchant/5d5662771d86295dab377e18
22
dpcq200
https://www.wish.com/merchant/5d4fa3ec152754483bad4f28
23
Dreamming foot bath
https://www.wish.com/merchant/5d552c5a560eca4602d3ee6f
24
dwj3f0tu
https://www.wish.com/merchant/5f7ef0e2acc4bc859cb267b2
25
Easing coffee machine
https://www.wish.com/merchant/5d560b350ed6962b0e876f6f
26
el ectrocoagul ati on
https://www.wish.com/merchant/5f9066e58e4f021206354986
27
fengmingkun
https://www.wish.com/merchant/5d60ba5a40defd5e5f888265
28
Flavored tip
https://www.wish.com/merchant/5d56055b560eca2b2202a0b3
29
Funny blonde
https://www.wish.com/merchant/5d5510a0a7c373402f4dd19b
30
gerhxcop
https://www.wish.com/merchant/ 5b9219590757f116461 cee6f
31
gjlkeluosi
https://www.wish.com/merchant/5d54baa01527545c8cb922d8
32
GO go go world
https://www.wish.com/merchant/5d5601e60ed6962a37875cde
33
guanxiaoting
https://www.wish.com/merchant/5d54f16940defd3ed7ab6a74
34
guomeilxl
https://www.wish.com/merchant/5aa38a814f6b4931a51f942a
35
guzhengmao
https://www.wish.com/merchant/596dafa9905fdb3146b169af
36
historia contada
https://www.wish.com/merchant/5f8def471c8085ffcbf16487
37
hjinfw
https://www.wish.com/merchant/5d550b4433f0b45ce2457905
38
HTGR Men's Clothing Shop
https://www.wish.com/merchant/5d63d10344b36e1c4123de22
39
huajiaosi
https://www.wish.com/merchant/5d55448d7ad2422af8849869
40
huangjiam
https://www.wish.com/merchant/5d60c87e07cc8d32c4fc5fd7
41
huiduhuijin
https://www.wish.com/merchant/5d567030560eca5643029fc0
42
hyifg6df
https://www.wish.com/merchant/5d553841a7c3734ff34dd227
43
incantation
https://www.wish.com/merchant/5f906051fa517f9ca5168b0b
44
Inversies Tecno G
https://www.wish.com/merchant/5f79e254cd233df592f87776
45
inversiones 85
https://www.wish.com/merchant/5f6bd97440e7a2fe61db7e8b
46
jinchengs
https://www.wish.com/merchant/5f16754da5524b848811954f
47
jins5s
https://www.wish.com/merchant/5d60c77a07cc8d39acfc314e
48
jius5x
https://www.wish.com/merchant/5d60c796560eca1726637a89
49
jkbnjkui
https://www.wish.com/merchant/5fa278301908972337368175
50
Joanna's marketplace
https://www.wish.com/merchant/5f761dff7736b595ff1f4fdb
51
jonnhlao
https://www.wish.com/merchant/5d5525e90447504d55a7548b
52
j uahuangyiuduon
https://www.wish.com/merchant/5a1d5d7b7a4f3b6af6ba0745
53
keluosimagic
https://www.wish.com/merchant/5d3ea24472b0c927cb1ea4f0
54
kool kool beef
https://www.wish.com/merchant/5d55e65e560eca1ab98bc135
55
LiKai Student Goods Shop
https://www.wish.com/merchant/5d4cd8dc5575bf150ab5f918
56
liminkeluosi
https://www.wish.com/merchant/5d550b5541ed514aabcd5f90
57
Lisa's love cabin
https://www.wish.com/merchant/5b7654d1b60999243327657c
58
Lisbeth nails
https://www.wish.com/merchant/5f6bdd5bd2741900455fb0a8
59
liyiliyi
https://www.wish.com/merchant/596a033dd4cc347910778478
60
lizhonghao
https://www.wish.com/merchant/5a757ce0823a3e70273203e3
61
llysh457
https://www.wish.com/merchant/5e69df52d8fefc3342624aa4
62
lshstrong
https://www.wish.com/merchant/5d54c5ecddfca77434aeb27a
63
luis12
https://www.wish.com/merchant/5f6f3f32c4fbcd949ffed863
64
lukingyousi
https://www.wish.com/merchant/5d43f02083889754403dd2fb
65
luozhiwei
https://www.wish.com/merchant/5d5538c040defd3782ac952a
66
lwrbeauty
https://www.wish.com/merchant/5d4cd6ea5a315742216cd46e
67
maopei
https://www.wish.com/merchant/5d55416a33f0b474824575fe
68
Maries Market Shop
https://www.wish.com/merchant/5f7b888c2b925b04e53d1b4b
69
Market Global Crys
https://www.wish.com/merchant/5f7ce5b3a59b115c60cdf114
70
Marmoleria Jhony
https://www.wish.com/merchant/5f68b576026deeef8940448a
71
MASTERMIG
https://www.wish.com/merchant/5f7b7dcfa587ae003d4a1c00
72
MMJR BBB Women's Shoe Shop
https://www.wish.com/merchant/5d639438ec136c2dba25f34f
73
MMNBH Ladies'Clothing Shop
https://www.wish.com/merchant/5d564a9440defd51913d56fe
74
Moon And Sun Pen Store
https://www.wish.com/merchant/5d427dc783889708242904ca
75
Night dress hat
https://www.wish.com/merchant/5d5769ac4dd91b3e806a7772
76
nikhe
https://www.wish.com/merchant/5d5500b840defd444cab6cee
77
Noyse peetle
https://www.wish.com/merchant/5d57a72b560eca4265edb897
78
obligatory
https://www.wish.com/merchant/5b8a2bcb2eb51f43742fe82c
79
pangyuhuan
https://www.wish.com/merchant/577b852b5f096a4060286ceb
80
Pearson Dental supply
https://www.wish.com/merchant/5f76a01473eb9a4ae019aa83
81
phim712354
https://www.wish.com/merchant/5f7436a6f8f856a678c7a733
82
Pocoler Werdanfor enafuy
https://www.wish.com/merchant/5d63b10cec136c381a25f413
83
podsopiern
https://www.wish.com/merchant/5e6487fe9828651e1e847853
84
Powder image cloud moon
https://www.wish.com/merchant/5b8a2ba89996c872379a5bd4
85
propenylbenzene
https://www.wish.com/merchant/5f906cef9a66968552f0b76c
86
Qander Victer niaery
https://www.wish.com/merchant/5d6374a7283abc523f4ddf50
87
QINQINXIAOBAOBEI
https://www.wish.com/merchant/5a55fa846839ea112be83dea
88
qinseshengshengxiao
https://www.wish.com/merchant/5aa394fbaac71f3f60976f5f
89
qiuqiunikk
https://www.wish.com/merchant/5a7b10e8c989493b3d2e1c49
90
qonglong
https://www.wish.com/merchant/5b966f961e9eea3a61ee42e2
91
quanyajun
https://www.wish.com/merchant/5a9e935fc989491b5023a9ee
92
quartzsshoppp
https://www.wish.com/merchant/5b8e3b31c604cd1eb64ed2f0
93
Quisthedwinsdes
https://www.wish.com/merchant/5e58c8a26fa77905c30371b5
94
Randow Safu Celary Mitee
https://www.wish.com/merchant/5d63b333df79dd6201dd08fd
95
Rosefed
https://www.wish.com/merchant/5f8ea0f96406b850d808933f
96
Sepple sheely
https://www.wish.com/merchant/5d57811740defd4c80acc7fe
97
shengbinsaiyarensas
https://www.wish.com/merchant/5a9bc1e89c15ff29f6137314
98
Small Lukapei Telida
https://www.wish.com/merchant/5f5c6fc841512a9a860bc712
99
SMYOU
https://www.wish.com/merchant/5b30ced76119344ec8962686
100
sngwg
https://www.wish.com/merchant/5d5534797ad24224988499c9
101
snkgne
https://www.wish.com/merchant/5d552cb540defd56b7ab6a2b
102
Sport boat
https://www.wish.com/merchant/5d563a2a40defd41c03d97c9
103
sulihong
https://www.wish.com/merchant/5a631246edd4421885e01cd0
104
Taiyang92
https://www.wish.com/merchant/5b7a8ba315294c157d6a2774
105
TimothyWFolsom
https://www.wish.com/merchant/5f75d994a844ab41840d95f0
106
TTosg
https://www.wish.com/merchant/5b7e2a8a940ae11fdb575594
107
tudinguilin
https://www.wish.com/merchant/5d562d6740defd46f93d557c
108
unbaptized
https://www.wish.com/merchant/5f904e0261c72253ffe84d4b
109
Wall Crosk Market
https://www.wish.com/merchant/5f6ae32e463481418c7a16d5
110
WEI WEI Ladies'Underwear Shop
https://www.wish.com/merchant/5d4ba57b7ad2422c4146d767
111
xiaoyanyanstore
https://www.wish.com/merchant/5a75ad64ccf0c873bdd7f427
112
xlkeluosi
https://www.wish.com/merchant/5d54bc0eddfca770f7aeb158
113
xtuanzi
https://www.wish.com/merchant/5f18fcbb025aa4e17df21469
114
yankuistore
https://www.wish.com/merchant/5a33a745b72a6b5f7e9a5095
115
Yerf AKw
https://www.wish.com/merchant/5f6fd4af90acca085a9a6c01
116
yinzhoushowtime
https://www.wish.com/merchant/5d4fa429933fb16bdeb85fbb
117
YouqingTianhou
https://www.wish.com/merchant/5a26a5929fbc5174df3b94b8
118
Yuky cooking machine
https://www.wish.com/merchant/5d565670a7c37349f473cbef
119
yuntuyuelian
https://www.wish.com/merchant/5d56962640defd6d063d5bd0
120
yuyanshi
https://www.wish.com/merchant/5b7b7fc091d00445d30763ca
121
zhangwei046
https://www.wish.com/merchant/5992fe7f0ec30f4d80993744
122
zhongliyan
https://www.wish.com/merchant/5d5639de40defd4b713d55b6
123
zhouxukeluosi
https://www.wish.com/merchant/5d54df1a41ed5139bdcd5d57
124
zhuzhuabcd
https://www.wish.com/merchant/5d4fa490933fb16bb3b8468b
125
zwdboy
https://www.wish.com/merchant/5d54cb713db43e4e863580a5
126
ZZXEE Women's clothing store
https://www.wish.com/merchant/5d6369e540defd6c76888244