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Zuru Singapore PTE Ltd. v. The Individuals

United States District Court, S.D. New York
Oct 25, 2022
1:22-cv-02483 (S.D.N.Y. Oct. 25, 2022)

Opinion

1:22-cv-02483

10-25-2022

ZURU SINGAPORE PTE, LTD.; ZURU INC., Plaintiffs, v. THE INDIVIDUALS, CORPORATIONS, LIMITED LIABILITY COMPANIES, PARTNERSHIPS, AND UNINCORPORATED ASSOCIATIONS IDENTIFIED ON SCHEDULE A HERETO, Defendants.


PROPOSED DEFAULT JUDGMENT

LORNA G. SCHOFIELD, DISTRICT JUDGE

THIS CASE having been commenced by ZURU (SINGAPORE) PTE., LTD. and ZURU Third INC. (collectively “Plaintiffs”) against the Defendants identified on the Third Amended Schedule A (collectively, the “Defaulting Defendants”) and using at least the domain names Third identified in the Second Amended Schedule A (the “Defaulting Defendant Domain Names”) and Third the online marketplace accounts identified in the Second Amended Schedule A (the “Defaulting Online Marketplace Accounts”), and Plaintiffs having moved for entry of Default and Default Judgment against the Defaulting Defendants;

This Court having entered, upon a showing by Plaintiffs, a temporary restraining order and preliminary injunction against Defaulting Defendants that included a domain name disabling order and asset restraining order;
Plaintiffs having properly completed service of process on Defaulting Defendants, the combination of providing notice via electronic publication or email, along with any notice that Defaulting Defendants received from domain name registrars and payment processors, being notice reasonably calculated under all circumstances to apprise Defaulting Defendants of the
pendency of the action and affording them the opportunity to answer and present their objections; and email service being sufficient under Federal Rule of Civil Procedure 4(f)(3), for the reasons explained in the Court's memorandum opinion entered separately; and

None of the Defaulting Defendants having answered the Complaint or appeared in any way, and the time for answering the Complaint having expired;

THIS COURT FURTHER FINDS that it has personal jurisdiction over the Defaulting Defendants because the Defaulting Defendants directly target their business activities toward consumers in the United States, including New York, offering to sell and ship products into this Judicial District. Specifically, Defaulting Defendants are reaching out to do business with New York residents by operating one or more commercial, interactive Internet Stores through which New York residents can purchase products bearing counterfeit versions of products utilizing either one or both of the ROBO FISH Trademark, U.S. Trademark Registration No.: 4440702, and/or ROBO ALIVE Trademark, U.S. Trademark Registration No.: 5294215 (together, the “ROBO FISH Trademarks”) and/or copyrights covered by U.S. Copyright Office Registration Nos. VA 2249-214, VA 2-248-953, VA 2-253-391, VA 2-253-392, VA 2-253-394, and VA 2-253-396 (the “ROBO FISH Copyright Registrations”); and

THIS COURT FURTHER FINDS that Defaulting Defendants are liable for willful federal trademark infringement and counterfeiting (15 U.S.C. § 1114), false designation of origin (15 U.S.C. § 1125(a)), copyright infringement (17 U.S.C. § 101 et seq.), and/or violation of unfair competition under New York common law.

IT IS HEREBY ORDERED that Plaintiffs' Order to Show cause why Default Judgment and Per anent Injunction Should Not Be Entered is GRANTED in its entirety, that Defaulting Defendants are deemend in default and that this Default Judgemnt is entered against Defaulting

Plaintiff has judgment against Defaulting Defendants. The damages will be determined at Defendants.

an inquest. The inquest referral will follow separately.

Accordingly, this Court ORDERS that:

1. Defaulting Defendants, their affiliates, officers, agents, servants, employees, attorneys, confederates, and all persons acting for, with, by, through, under or in active concert with them be permanently enjoined and restrained from:
a. using Plaintiffs' ROBO FISH Trademarks, ROBO FISH Copyright Registration, or any reproductions, counterfeit copies, or colorable imitations thereof in any manner in connection with the distribution, marketing, advertising, offering for sale, or sale of any product that is not a genuine ROBO FISH product or not authorized by Plaintiffs to be sold in connection with Plaintiffs' ROBO FISH Trademarks and/or ROBO FISH Copyright Registration;
b. passing off, inducing, or enabling others to sell or pass off any product as a genuine ROBO FISH product or any other product produced by Plaintiffs, that is not Plaintiffs' or not produced under the authorization, control, or supervision of Plaintiffs and approved by Plaintiffs for sale under Plaintiffs' ROBO FISH Trademarks and/or ROBO FISH Copyright Registration;
c. committing any acts calculated to cause consumers to believe that Defendants' products are those sold under the authorization, control or supervision of Plaintiffs, or are sponsored by, approved by, or otherwise connected with Plaintiffs;
d. further infringing Plaintiffs' ROBO FISH Trademarks and/or ROBO FISH Copyright Registration and damaging Plaintiffs' goodwill;
e. otherwise competing unfairly with Plaintiffs in any manner;
f. shipping, delivering, holding for sale, transferring or otherwise moving, storing, distributing, returning, or otherwise disposing of, in any manner, products or inventory not manufactured by or for Plaintiffs, nor authorized by Plaintiffs to be sold or offered for sale, and which bear any of Plaintiffs' ROBO FISH Trademarks and/or
ROBO FISH Copyright Registration or any reproductions, counterfeit copies, or colorable imitations thereof;
g. using, linking to, transferring, selling, exercising control over, or otherwise owning the Online Marketplace Accounts, the Defendant Domain Names, or any other domain name or online marketplace account that is being used to sell or is the means by which Defendants could continue to sell counterfeit ROBO FISH products; and h. operating and/or hosting websites at the Defendant Domain Names and any other domain names registered or operated by Defendants that are involved with the distribution, marketing, advertising, offering for sale, or sale of any product bearing Plaintiffs' ROBO FISH Trademarks and/or ROBO FISH Copyright Registration or any reproductions, counterfeit copies, or colorable imitations thereof that is not a genuine ROBO FISH product or not authorized by Plaintiffs to be sold in connection with Plaintiffs' ROBO FISH Trademarks and/or ROBO FISH Copyright Registration.

2. The domain name registries for the Defaulting Defendant Domain Names, including, but not limited to, VeriSign, Inc., Neustar, Inc., Afilias Limited, CentralNic, Nominet, and the Public Interest Registry, within three (3) business days of receipt of this Order or prior to expiration of this Order, whichever date shall occur first, shall disable the Defaulting Defendant Domain Names and make them inactive and untransferable until further ordered by this Court.

3. Those in privity with Defaulting Defendants and with actual notice of this Order, including any online marketplaces such as Amazon, eBay, PayPal, Wish, or Payoneer, social media platforms, Facebook, YouTube, LinkedIn, Twitter, Internet search engines such as Google, Bing and Yahoo, web hosts for the Defaulting Defendant Domain Names, and domain name registrars, shall within three (3) business days of receipt of this Order: a. disable and cease providing services for any accounts through which Defaulting Defendants engage in the sale of counterfeit and infringing goods using the ROBO FISH Trademarks and/or Copyright Registration, including any accounts associated with the ThirdDefaulting Defendants listed on the Third Amended Schedule A;

b. disable and cease displaying any advertisements used by or associated with Defaulting Defendants in connection with the sale of counterfeit and infringing goods using the ROBO FISH Trademarks and/or Copyright Registration; and
c. take all steps necessary to prevent links to the Defaulting Defendant ThirdDomain Names identified on the First Amended Schedule A from displaying in search results, including, but not limited to, removing links to the Defaulting Defendant Domain Names from any search index.

4. Amazon.com and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts, or Defaulting Defendants' Third

websites identified in the First Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

5. ContextLogic, Inc. (“Wish”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts, or ThirdDefaulting Defendants' websites identified in the First Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

6. DHgate and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts, or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

7. PayPal, Inc. (“PayPal”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts, or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

8. Payoneer, Inc. (“Payoneer”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

9. eBay, Inc. (“eBay”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

10. Ping Pong Global Solutions, Inc. (“Ping Pong”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

11. Coinbase Global, Inc. (“Coinbase”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

12. LianLian Global t/as LL Pay U.S., LLC (“LianLian”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

13. AllPay Limted (“AllPay”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

14. Union Mobile Financial Technology Co., Ltd. (“Union Mobile”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

15. Aliexpress and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

16. Alibaba and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

17. Bank of China and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

18. Hyperwallet and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in theist mended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

19. JD.com (“JD”) and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Third Defendants' websites identified in the irst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

20. Joom and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in the First Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

21. Lakala and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in the First Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

22. OFX and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

23. Paxful and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

24. PayEco and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' websites identified in the Third Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

25. SellersFunding and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Third Defendants' websites identified in theirst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

26. Shopify and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in the First Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

27. Stripe and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in the irst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

28. Walmart and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in theirst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

29. Wise/TransferWise and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Third Defendants' websites identified in theirst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

30. World First and its related companies and affiliates shall, within two (2) business days of receipt of this Order, permanently restrain and enjoin any accounts connected to Defaulting Defendants, Defaulting Defendants' Online Marketplace Accounts or Defaulting Defendants' Third websites identified in theirst Amended Schedule A from transferring or disposing of any money or other of Defaulting Defendants' assets.

31. Pursuant to 15 U.S.C. § 1117 and 17 U.S.C. § 504, Plaintiffs are awarded statutory damages from each of the Defaulting Defendants in the amount of one hundred fifty thousand dollars ($150,000.00).

32. All monies currently restrained in Defaulting Defendants' financial accounts, including onies held by Aliexpress, A azon, PayPal, eBay, Wish, Hgate, Payoneer, Ping Pong, Coinbase, LianLian, AllPay, Union obile, Alibaba, Bank of China, Hyperwallet, JD.com, Joom, Lakala, OF, Paxful, PayEco, SellersFunding, Shopify, Stripe, almart, ise/TransferWise, and/or orld First are hereby released to Plaintiffs as partial payment of the above-identified damages, and Aliexpress, A azon, PayPal, eBay, Wish, DHgate, Payoneer, Ping Pong, Coinbase, LianLian, AllPay, Union obile, Alibaba, Bank of China, Hyperwallet, J .com, Joom, Lakala, X, Paxful, PayEco, SellersFunding, Shopify, Stripe, almart, ise/TransferWise, and/or

World First are ordered to release to Plaintiffs the a ounts from Defaulting Defendants' accounts within ten (10) business days of receipt of this Order.

33. ntil Plaintiffs have recovered full payment of monies owed by any Defaulting Defendant, Plaintiffs shall have the ongoing authority to serve this Order on Aliexpress, azon, PayPal, eBay, Wish, DHgate, Payoneer, Ping Pong, Coinbase, LianLian, AllPay, Union Mobile, Alibaba, ank of hina, yperwallet, JD.com, Joo, Lakala, FX, Paxful, PayEco, SellersFunding, Shopify, Stripe, Walmart, se/TransferWise, and/or World First in the event that any new accounts controlled or operated by Defaulting Defendants are identified. Upon receipt of this Order, Aliexpress, Amazon, PayPal, eBay, sh, DHgate, Payoneer, Ping Pong, Coinbase, LianLian, AllPay, Union obile, Alibaba, Bank of China, Hyperwallet, JD.com, Joo, Lakala, OF, Paxful, PayEco, SellersFunding, Shopify, Stripe, Walmart, ise/TransferWise, and/or orld First shall within two (2) business days:

a. Locate all accounts and funds connected to Defaulting Defendants, Defaulting Defendants' Online arketplace ccounts, o Defaulting Defendants' websites, including, but not limited to, any accounts;
b. Restrain and enjoin such accounts or funds from transferring or disposing of any money or other of Defaulting Defendants' assets; and
c. Release all monies restrained in Defaulting Defendants' accounts to Plaintiffs as partial payment of the above-identified damages within ten (10) business days of receipt of this Order.

34. ntil Plaintiffs have recovered full payment of monies owed by any Defaulting Defendant, Plaintiffs shall have the ongoing authority to serve this Order on any banks, savings and loan associations, or other financial institutions (collectively, the “Financial Service Providers”) in the event that any new financial accounts controlled or operated by Defaulting

Defendants are identified. Upon receipt of this Order, the Financial Service Providers shall within two (2) business days:

a. Locate all accounts and funds connected to Defaulting Defendants, Defaulting Defendants' nline Marketplace ccounts, or Defaulting Defendants' websites, including, but not limited to, any accounts;
b. Restrain and enjoin such accounts or funds from transferring or disposing of any money or other of Defaulting Defendants' assets; and
c. Release all onies restrained in Defaulting Defendants' accounts to Plaintiffs as partial payment of the above-identified da ages within ten (10) business days of receipt of this Order.

35. In the event that Plaintiffs identify any additional online marketplace accounts, do ain names, or financial accounts owned by Defaulting Defendants, Plaintiffs may send notice of any supplemental proceeding to Defaulting Defendants by email at the e ail addresses identified by Plaintiffs and any e ail addresses provided for efaulting Defendants by third parties.

36. The five thousand-dollar ($5,000) bond posted by Plaintiffs, including any interest inus the registry fee, will be released to Plaintiffs or their counsel upon notice to the Court that all non-defaulting defendants have been dismissed from the case. The Clerk of the Court is directed to return the bond previously deposited with the Clerk of the Court to Plaintiffs or its counsel once such notice is provided.

THIRD AMENDED SCHEDULE A

No.

Defendants

Defendants Online Marketplace(s)

1.

A home-loving you Store

https://www.aliexpress.com/store/912028050

2.

All for the children Store

https://www.aliexpress.com/store/912689931

3.

ALL-IN-ONE- Store

https://www.aliexpress.com/store/539708

4.

AYDAYAN Store

https://www.aliexpress.com/store/912576182

5.

Beavertoy Store

https://www.aliexpress.com/store/912616149

6.

Bert-01 Store

http s: //www.aliexpress.com/store/4524025

7.

Bluskyer Store

https://www.aliexpress.com/store/4496025

9.

Charlie Luna Store

https://www.aliexpress.com/store/912584414

10.

Children 777 Store

https://www.aliexpress.com/store/912680914

11.

cn1059961580qxxae Store

https://www.aliexpress.com/store/912720131

12.

cn1059961626hasae Store

https://www.aliexpress.com/store/912718162

13.

cn86852lxtx Store

https://www.aliexpress.com/store/912725103

14.

Cosima and Kira Store

https://www.aliexpress.com/store/911791141

16.

Ding Ding Pet Store

https://www.aliexpress.com/store/1100133073

17.

Dingding Pets Life Store

https://www.aliexpress.com/store/912247002

No.

Defendants

Defendants Online Marketplace(s)

18

Dream-heaven Store

https://www.aliexpress.com/store/912304290

20.

Elewelt Store

https://www.aliexpress.com/store/ 912619141

21.

Factory RGB LED Light Store

https://www.aliexpress.com/store/911079030

22.

faina's Store

https://www.aliexpress.com/store/5484036

24.

General merchandise store Store

https://www.aliexpress.com/store/912663914

25.

ggxxttxs Store

https://www.aliexpress.com/store/911195190

26.

Good Life Homes Store

https://www.aliexpress.com/store/912750146

27.

HappyCWCW Store

https://www.aliexpress.com/store/5637122

28.

Hiri Store

https://www.aliexpress.com/store/5383082

29.

HOSPORT Lighting Store

https://www.aliexpress.com/store/3393015

30.

JSXuan Official Store

https://www.aliexpress.com/store/3257118

32.

K-K Building Block Store

https://www.aliexpress.com/store/4478101

34.

KOSIMIA GAMIA Store

https://www.aliexpress.com/store/912272918

35.

Laugh laugh toy store

http s://www.aliexpress.com/store/3014001? spm=a2 g0o.detail.1000007.1.65737337RNQqZU

36.

lclanyifeng Store

https://www.aliexpress.com/store/912719151

37.

lcxfumengqing Store

https://www.aliexpress.com/store/912726114

38.

lcxmailizhu Store

https://www.aliexpress.com/store/912724091

39.

lcxtongyoushuang Store

https://www.aliexpress.com/store/912719148

40.

LIUXDIV Pets Store

https: //www.aliexpres s .com/store/912157338

41.

Luck2022 Store

https://www.aliexpress.com/store/912632015

42.

lvse life Store

https://www.aliexpres s .com/store/3616160

43.

Mbaby Store

https://www.aliexpress.com/store/1100090053

44.

Meow Meow Bark Bark Store

https://www.aliexpress.com/store/912690632

46.

Nan Rui Store

https://www.aliexpress.com/store/5087046

47.

Pets Warm Homes Store Store

https://www.aliexpress.com/store/1100087103

50.

Riro Ding Dang Store

https://www.aliexpress.com/store/910452094

51.

RSea Store

https://www.aliexpress.com/store/910319029

52.

sfhOme Store

https://www.aliexpress.com/store/912660342

53.

Shop1100007062 Store

https://www.aliexpress.com/store/1100007062

54.

Shop1100032055 Store

https://www.aliexpress.com/store/1100032055

55.

Shop4046058 Store

https://www.aliexpress.com/store/4046058

No.

Defendants

Defendants Online Marketplace(s)

56.

Shop5431295 Store

https://www.aliexpress.com/store/5431295

57.

Shop911068087 Store

https://www.aliexpress.com/store/911068087

58.

Shop912624065 Store

https://www.aliexpress.com/store/912624065

60.

SPAKOGY Store

https://www.aliexpress.com/store/912679650

61.

tchomeandstationary Store

https://www.aliexpress.com/store/605769

62.

THE SPRING BLOSSOMS Store

https://www.aliexpress.com/store/5602351

63.

Toy Encyclopedia Store

https://www.aliexpress.com/store/912074094

64.

University Store

https: //www.aliexpres s .com/store/1189807

65.

Unswervingly Store

https://www.aliexpress.com/store/912059197

66.

Warm Animal Supplies Retail Store

https://www.aliexpress.com/store/4504019

67.

XIAO-Glittering Store

https://www.aliexpress.com/store/2088031

68.

XiuYaoGai Store

https://www.aliexpress.com/store/911130113

69.

Yan0214 Store

https://www.ali expres s .com/store/912392088

70.

YeeYoo Store

https://www. aliexpress.com/store/912661751

71.

Yg Trece Daily Need Store

https://www.aliexpress.com/store/912654806

72.

Your House Light Store

https://www.aliexpress.com/store/912222047

73.

Your Kitchen Supplies Good Store

https://www.aliexpress.com/store/912365289

74.

Your Little House Store

https://www.aliexpress.com/store/911327179

75.

[intentionally omitted]

[intentionally omitted]

76.

CAOYUEY

https://www.amazon.com/sp?seller=A3TI88FODTH OGN

78.

CuiZhuShangMao

https://www.amazon.com/sp?seller=A3IG881TGL1 46L

79.

Dasanito3089

https://www.amazon.ca/sp?seller=A25LCJW7DOL5 BR

81.

FeetBu

https://www.amazon.fr/sp?seller=AIRFEQU3BWU VL

82.

Fuccus

https://www.amazon.com/sp?seller=A2IIF8I94O0Q QP

83.

Gnudo1511

http s://www.amazon.ca/ sp? seller=A33GPXHSK4E3 OL

85.

HeNanGuRuanShangMaoY ouXia nGongSi

https://www.amazon.com/sp?seller=A25PDDCB57 NHCH

No.

Defendants

Defendants Online Marketplace(s)

86.

Hobby-Japan

https://www.amazon.com/sp?seller=A29OGUEZDN 3VDN

87.

HTHAU

https://www.amazon.com/sp?seller=A35Y6QOILD8 4L8

88.

HUIWI

https://www.amazon.com/sp?seller=A11MZA18IA EJ9O

89.

Huo Fei Shop

https://www.amazon.com/sp?seller=A2LW1TB6NY BBHQ

93.

Landsee

https://www.amazon.com/sp?seller=AH6QQUJMA TS5T

94.

LinDiDa

https://www.amazon.com/sp?seller=A2ZKO4UCNR 07QY

95.

LOVELY KID'S HOUSE

http s://www.amazon.com/ sp? seller=A2P551AY 126 GWK

97.

Mai Ruimei

https://www.amazon.com/sp?seller=A3RTJW5EOG U0VS

102.

PlatinumG [7-15 Fast Delivery]

https://www.amazon.com/sp?seller=AW3Q351NVR MH1

105.

THJKT-STORE

https://www.amazon.com/sp?seller=AATSE4C2UC PQO

107.

YangheDuoDuo

https://www.amazon.com/sp?seller=ANDBHNB60 NAMH

No.

Defendants

Defendants Online Marketplace(s)

108.

yanmeirenshangmao

https://www.amazon.com/sp?seller=A1CJ6FT9WJE O3E

109.

yingchenmaoyi

https://www.amazon.com/sp?seller=A39CER70OD HRVM

110.

ziboshihengjitaizhi di anzi shangwu youxiangongs

https://www.amazon.com/sp?seller=A2RNXMNMU UZLCO

111.

ck1999ak

http s://www.dhgate .com/store/ab out-us/21224987.html

113.

exchangeyes

http s://www.dhgate .com/store/ab out-usZ21715111.html

119.

missyoungs

http s://www.dhgate .com/store/ab out-us/21572698.html

126.

ahaamu0

https://www.ebay.com/usr/ahaamu0

127.

anything you want seller

https://www.ebay.com/usr/anything_you_want_selle r

128.

dr7642

https://www.ebay.com/usr/dr7642

130.

godayalagechathguna_ 0

https://www.ebay.com/usr/godayalagechathguna_0

No.

Defendants

Defendants Online Marketplace(s)

131.

laxstore 99

https://www.ebay.com/usr/laxstore 99

132.

madura819

https://www.ebay.com/usr/madura819

133.

one two shop17

https://www.ebay.com/usr/one two shop17

134.

pixo shop

https://www.ebay.com/usr/pixo shop

135.

ranravi-76

https://www.ebay.com/usr/ranravi-76

136.

sandasan 180rfl3zr

https://www.ebay.com/usr/sandasan 180rfl3zr

137.

uniqueoneshop

https://www.ebay.com/usr/uniqueoneshop

138.

11755994 CANADA CORPORATION

https://www.wish.com/merchant/6130fa13f51e5522 b7adb38e

139.

fqlg

https://www.wish.com/merchant/5eda5abfa9a45429 002a51c9

140.

pomona

https://www.wish.com/merchant/564098a842ebd824 29737518

141.

QWQQ

https://www.wish.com/merchant/5985d27e3eb22a39 fd2f95e3

142.

Red Pen

https://www.wish.com/merchant/5d46a83d56a2605f c01bd65d

144.

Wenhaojia Books

https://www.wish.com/merchant/5dcfd48aaf8da419 15e9d417


Summaries of

Zuru Singapore PTE Ltd. v. The Individuals

United States District Court, S.D. New York
Oct 25, 2022
1:22-cv-02483 (S.D.N.Y. Oct. 25, 2022)
Case details for

Zuru Singapore PTE Ltd. v. The Individuals

Case Details

Full title:ZURU SINGAPORE PTE, LTD.; ZURU INC., Plaintiffs, v. THE INDIVIDUALS…

Court:United States District Court, S.D. New York

Date published: Oct 25, 2022

Citations

1:22-cv-02483 (S.D.N.Y. Oct. 25, 2022)