Living Style (BVI) LTD

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Recent Dockets

Entered
Case
Description
09/01/22
JUDGMENT is entered by the Clerk and this case is dismissed in its entirety. (lgib, ) (Entered: 09/01/2022)
09/01/22
ORDER: Plaintiffs' Corrected Motion for Default Judgment, ECF No. 98 , is GRANTED, and Plaintiffs' prior and since corrected (via ECF No. 98 ) Motion for Default Judgment, ECF No. 95 , is denied as moot. Signed by the Honorable Sherri A Lydon on 9/1/2022. (lgib, ) (Entered: 09/01/2022)
09/01/22
Final Civil Docket 09-01-2022
08/23/22
FORM AO 120 SENT TO DIRECTOR OF U.S. PATENT AND TRADEMARK (Attachments: # 1 Supplement Order Closing Case and Dismissing with prejudice) (ls) (Entered: 08/23/2022)
08/23/22
ORDER CLOSING CASE and Dismissing with prejudice re 32 Joint Stipulation of Dismissal; Dismissing Case (With Prejudice) ; Closing Case. Signed by Judge Aileen M. Cannon on 8/23/2022. See attached document for full details. (ls) (Entered: 08/23/2022)
08/22/22
STIPULATION of Dismissal With Prejudice (Joint) by Living Style (B.V.I.) Limited, Whalen, Ltd. (Bain, Joseph) (Entered: 08/22/2022)
07/05/22
Amended MOTION for Default Judgment as to Global Furniture (Zhejiang) Co., LTD., INC. by James E Grove(an individual), LF Products Pte Ltd(a Singapore Limited Company), Living Style (BVI) Limited(a British Virgin Islands Company). Response to Motion due by 7/19/2022. Add an additional 3 days only if served by mail or otherwise allowed under Fed. R. Civ. P. 6 or Fed. R. Crim. P. 45. (Attachments: # 1 Affidavit of Nathaniel Dilger, # 2 Exhibit A to the Declaration of Nathaniel Dilger (Invoices), # 3 Exhibit B to the Declaration of Nathaniel Dilger (Notice of Infringement), # 4 Exhibit C to the Declaration of Nathaniel Dilger (Proof of Service), # 5 Exhibit D to the Declaration of Nathaniel Dilger (Proof of Service), # 6 Exhibit E to the Declaration of Nathaniel Dilger (Proof of Service), # 7 Affidavit of Dan Tacheny, # 8 Proposed Order)Proposed order is being emailed to chambers with copy to opposing counsel.(Shaw, Scott) (Entered: 07/05/2022)
06/23/22
PAPERLESS NOTICE of Hearing: Status Conference is Reset for 9/21/2022 10:45 AM in Fort Pierce Division before Judge Aileen M. Cannon via the Zoom platform. The Zoom link and information will be emailed to the parties of record. The status conference set for August 24, 2022 is canceled. (tgs) (Entered: 06/23/2022)
06/23/22
ORDER Scheduling Mediation before Mark E. Stein. Mediation Hearing set for 8/24/2022 09:00 AM. Signed by Judge Aileen M. Cannon on 6/23/2022. See attached document for full details. (jas) (Entered: 06/23/2022)
06/22/22
TEXT ORDER: The Court orders Plaintiff to correct and/or supplement its Motion for Default Judgment Against Defendant Global Furniture (Zhejiang) Co., Ltd., Inc. [ECF 95 -1 through ECF 95 -4] (the "Motion") in fourteen days (no extensions will be granted absent exceptional circumstances) as follows: (1) regarding the reference on page 9 of the Motion [ECF 95 -1] and in Paragraph 4 of the Motion's attached Declaration of Dan Tacheny [ECF 95 -3] to "the '531" patent, confirm whether the reference to a '531 patent is a typographical error and was intended to reference the '553 patent and update, supplement, and/or correct the Motion and Declaration accordingly if so; (2) supplement Mr. Dilger's statement in Paragraph 15 of his Declaration [ECF 95 -2] that "[s]ince the withdrawal of Mr. Perkins, all papers in this matter have been properly served on the Chinese Defendant using the contact information provided by Mr. Perkins" by filing supporting documentation evidencing proof of service; (3) supplement the Motion and supporting Declaration of Mr. Dilger at ECF 95 -2 with invoice documentation to support the requested fees and costs amounts by clearly showing and evidencing hours worked by task and by individual (noting the individual's role and relevant dates), the associated hourly rates, the amount of fees as separated from the amount of costs, and what the requested costs are for (with supporting receipt documentation where available); (4) provide the requested amount of prejudgment interest along with the date from which Plaintiff asserts prejudgment interest should begin accruing and Plaintiff's proposed calculation supporting the requested prejudgment interest amount; and (5) submit the proposed permanent injunction referenced in Plaintiff's proposed order at ECF 95 -4. Signed by the Honorable Sherri A Lydon on 6/22/2022. (lgib, ) (Entered: 06/22/2022)