Gaoxi E Commerce Co Ltd

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Entered
Case
Description
08/28/24
MINUTE entry before the Honorable Thomas M. Durkin: Telephone motion hearing held on 8/28/2024. Motion to withdraw as attorney for BYS Technology, Carbonline, Moose Store. 107 is granted. Attorney Steven G. Kalberg terminated. A telephone status hearing is set for 10/15/2024 at 9:00 a.m. To join the telephone conference, dial (650) 479-3207, Access Code 180 815 7648. Throughout the hearing, each speaker will be expected to identify themselves for the record before speaking. Counsel must be in a quiet area while on the line. Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting of court proceedings. Violation of these prohibitions may result in sanctions, including removal of court issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Mailed notice. (kp, ) (Entered: 08/28/2024)
08/21/24
SUPPLEMENT to motion to withdraw as attorney, 107 Notification of Party Contact Information for Defendants BYS Technology, Carbonline, and Moose Store (Kalberg, Steven) (Entered: 08/21/2024)
08/16/24
MINUTE entry before the Honorable Thomas M. Durkin: A telephone hearing as to Defendants' motion to withdraw 107 is set for 8/28/2024 at 9:00 a.m. Representatives of Mr. Kalberg's clients are to be present on the call. To join the telephone conference, dial (650) 479-3207, Access Code 180 815 7648. Throughout the hearing, each speaker will be expected to identify themselves for the record before speaking. Counsel must be in a quiet area while on the line. Please be sure to keep your phone on mute when you are not speaking. Persons granted remote access to proceedings are reminded of the general prohibition against photographing, recording, and rebroadcasting of court proceedings. Violation of these prohibitions may result in sanctions, including removal of court issued media credentials, restricted entry to future hearings, denial of entry to future hearings, or any other sanctions deemed necessary by the Court. Mailed notice. (ecw, ) (Entered: 08/16/2024)
08/15/24
MOTION by Attorney Steven G. Kalberg to withdraw as attorney for BYS Technology, Carbonline, Moose Store. New address information: BYS Technology - Email alliseeisyou@yahoo.com; Carbonline - Email joneslucas370@yahoo.com; Moose Store - Email mooseoo@outlook.com Presented before District Judge (Attachments: # 1 Exhibit A Notification of Party Contact Information Sheets)(Kalberg, Steven) (Entered: 08/15/2024)
08/05/24
MINUTE entry before the Honorable Jeannice W. Appenteng: The Court has reviewed the parties' joint status report and proposed discovery plan 103, and enters the following schedule. Parties to have exchanged Initial Disclosures required under FRCP 26(a)(1) and LPR 2.1 by 7/26/2024. Plaintiff to have served Initial Infringement Contentions under LPR 2.2 by 8/2/2024. Defendants shall serve their Initial Non-infringement, Unenforceability, and Invalidity Contentions and Documents under LPR 2.3 and LPR 2.4 by 8/16/2024. Plaintiff shall serve its response to the Initial Non-infringement, Unenforceability, and Invalidity Contentions under LPR 2.5 by 8/30/2024. Plaintiff shall serve their Final Infringement, Unenforceability, and Invalidity Contentions under LPR 3.1 by 12/27/2024. Defendants shall serve their Final Non-Infringement, Enforceability, and Validity Contentions and Documents under LPR 3.2 and LPR 3.3 by 1/24/2025. By 2/7/2025, the parties shall exchange Claim Terms Needing Construction under LPR 4.1. Part 1 of Fact Discovery shall close on 3/7/2025. Defendants shall file their Opening Claim Construction Brief and Joint Appendix under LPR 4.2(a) by 3/14/2025. Plaintiff shall file its Responsive Claim Construction Brief (by party asserting infringement) under LPR 4.2(c) by 4/11/2025. Defendants shall file their Reply Claim Construction Brief under LPR 4.2(d) by 4/25/2025. The parties shall file a Joint Claim Construction Chart under LPR 4.2(f) by 5/2/2025. The District Judge will set a Claim Construction Hearing based on the Court's availability. By 9/3/2024, the parties shall file a joint status report confirming their compliance with this schedule and setting forth any disputes that might require the Court's attention. Mailed notice. (kl, ) (Entered: 08/05/2024)
07/26/24
STIPULATION of Dismissal as to Defendants No. 4, 26, and 27 (Campbell, Benjamin) (Entered: 07/26/2024)
07/17/24
Pursuant to Local Rule 72.1, this case is hereby referred to the calendar of Honorable Jeannice W. Appenteng for the purpose of holding proceedings related to: discovery supervision and settlement. Mailed notice.(ecw, ) (Entered: 07/17/2024)
07/16/24
STATUS Report (Joint Initial) by CAO Group, Inc. (Haque, Sameeul) (Entered: 07/16/2024)
07/12/24
REPLY by haiyi_mall, newage-store to Response 96 (Attachments: # 1 Exhibit Declaration of Jianbin Li)(Cheng, He) (Entered: 07/12/2024)
07/09/24
MINUTE entry before the Honorable Thomas M. Durkin: Telephone status hearing held on 7/9/2024. Parties are to submit an agreed proposed discovery schedule for all remaining non-settling defendants, including related case CAO Group, Inc. v. GD-Whitening (24-cv-5129), by 7/16/2024. The next status hearing will be set when the discovery schedule is entered. Mailed notice. (ecw, ) (Entered: 07/09/2024)