Shenzhen Enyang Wisdom Technology Co Ltd

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TypeOperating Company
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Entered
Case
Description
10/09/24
ENTERED JUDGMENT Mailed notice(gel, ) (Entered: 10/09/2024)
10/08/24
MINUTE entry before the Honorable John Robert Blakey: On 10/1/24, this Court dismissed Plaintiffs' complaint for lack of venue and lack of personal jurisdiction over the named Defendant. See [7] . At that time, the Court granted Plaintiffs leave to amend, to the extent they could allege facts demonstrating that venue remains proper here and that this Court may properly exercise personal jurisdiction over Defendant based upon complaints made to Amazon about Plaintiffs' online sales activities. Id. Plaintiffs have amended, but their amended complaint still fails to provide a basis for exercising personal jurisdiction over Defendant and still fails to allege facts showing that venue is proper here. None of the named parties has any contact with Illinois or this District other than perhaps the maintenance of websites accessible here. And, at its core, Plaintiffs' case remains predicated about complaints made by a Chinese company to Amazon about sales from other foreign companies. None of the events giving rise to this action occurred in this district. As a result, the Court dismisses Plaintiffs' second amended complaint [8] , denies Plaintiffs' motion for a temporary restraining order, and strikes the 10/9/24 Notice of Motion date. Additionally, because further amendment would be futile, the Court dismisses this case. Civil case terminated. Mailed notice (gel, ) (Entered: 10/08/2024)
10/07/24
MOTION by Plaintiffs 360 PanoramaIma Solutions Inc., 360 Smart Photo Booth Inc., Dongguan Jinquan Hardware Products Co., Ltd., Dongguan Yangke Plastic Co., Ltd., Dongguan Yuande Trading Co., Ltd., Dongguan Yuanfu Trading Co., Ltd., Dongguan Yuanshu Trading Co., Ltd., KNOWLES MECHANICA, INC., PHO Moment Co., Ltd., RAIZ PRO LLC, Shenzhen Chitu Horse Technology Co., Ltd., Shenzhen Enyang Wisdom Technology Co., Ltd., Shenzhen Huanyusheng Technology Co., Ltd., Shenzhen Luoyan Technology Co., Ltd., Shenzhen Nike Technology Co., Ltd., Taiyuan Huabu Pinnan Trading Co., Ltd. for temporary restraining order (Attachments: # [1] Declaration of Yisheng Huang, # [2] Declaration of Zhongxiang Su, # [3] Declaration of Hong Xie, # [4] Declaration of Zenglan Yan, # [5] Declaration of Dehua Pan, # [6] Declaration of Naibing Zhang, # [7] Declaration of Jiaxiang Li, # [8] Declaration of Yufeng Yang, # [9] Declaration of Wenjuan Chen, # [10] Declaration of Huafei Du, # [11] Declaration of Xiaogang Liu, # [12] Declaration of Yan Luo, # [13] Declaration of Xiaomeng Shi, # [14] Declaration of Jun Yan, # [15] Declaration of Lu Yu, # [16] Declaration of Lin Lei)(Zhang, Jiyuan) (Entered: 10/07/2024)
10/07/24
Second AMENDED complaint by 360 PanoramaIma Solutions Inc., Dongguan Yuande Trading Co., Ltd., Shenzhen Nike Technology Co., Ltd., Shenzhen Huanyusheng Technology Co., Ltd., Shenzhen Enyang Wisdom Technology Co., Ltd., Shenzhen Chitu Horse Technology Co., Ltd., Dongguan Yuanshu Trading Co., Ltd., KNOWLES MECHANICA, INC., PHO Moment Co., Ltd., Shenzhen Luoyan Technology Co., Ltd., Dongguan Jinquan Hardware Products Co., Ltd., Dongguan Yuanfu Trading Co., Ltd., 360 Smart Photo Booth Inc., RAIZ PRO LLC, Taiyuan Huabu Pinnan Trading Co., Ltd., Dongguan Yangke Plastic Co., Ltd. against MAVIR (Attachments: # [1] Exhibit Schedule A: To Complaint, # [2] Exhibit A. Patent Registration, # [3] Exhibit B. Email to Defendant, # [4] Exhibit C. Defendant Email Reply 20240915, # [5] Exhibit D. Plaintiff Email Reply 20240915, # [6] Exhibit E. Plaintiff Email Reply 20240917)(Zhang, Jiyuan) (Entered: 10/07/2024)
10/07/24
NOTICE of Motion by Jiyuan Zhang for presentment of motion for temporary restraining order,,,, [9] before Honorable John Robert Blakey on 10/9/2024 at 11:00 AM. (Zhang, Jiyuan) (Entered: 10/07/2024)
10/01/24
MINUTE entry before the Honorable John Robert Blakey: Plaintiffs filed this action jointly seeking a declaration that they do not infringe Defendant's patent. Of the 16 Plaintiffs, 11 are Chinese companies with their principal places of business in China; the other 5 have their principal places of business within the United States though none has any connection to Illinois or this district. See [4] , paragraphs 5-20. Plaintiffs sue based upon Defendant's initiation of Amazon Infringement Complaints, which led to Plaintiffs products being delisted from Amazon. Id. Plaintiffs also seek a temporary restraining order, [5] . Before turning to the motion, the Court must first satisfy itself that venue is proper here and that it may properly exercise personal jurisdiction over Defendant, a foreign company operating in China. See [4] , paragraph 22. 28 U.S.C. § 1391 provides that venue lies in "a judicial district in which any defendant resides, if all defendants are residents of the State in which the district is located"; in "a judicial district in which a substantial part of the events or omissions giving rise to the claim occurred, or a substantial part of property that is the subject of the action is situated"; or "if there is no district in which an action may otherwise be brought as provided in this section, any judicial district in which any defendant is subject to the court's personal jurisdiction with respect to such action." Defendant is not a resident of this district; nor does the complaint suggest that any of the events or omissions giving rise to Plaintiffs' claims occurred here. Nor is it clear that this Court can exercise personal jurisdiction over Defendant. Although this Court routinely exercises personal jurisdiction over foreign companies that, in fact, sell allegedly infringing products to residents of Illinois via fully interactive websites operating here, Plaintiffs do not allege such conduct here, and Plaintiffs' claims do not stem from any sales (or other conduct) by Defendant within this district or within the state. As a result, the Court denies without prejudice Plaintiffs' motion for entry of temporary restraining order [5] , strikes the 10/2/24 Notice of Motion date, and dismisses without prejudice Plaintiffs' amended complaint [4] . If Plaintiffs can, consistent with their obligations under Rule 11, amend their complaint to allege facts demonstrating that venue remains proper here and that this Court may properly exercise personal jurisdiction over Defendant based upon complaints made to Amazon about Plaintiffs' online sales activities, they may file an amended complaint by 10/30/24. If Plaintiffs fail to comply, the Court will dismiss this case. Mailed notice (gel, ) (Entered: 10/01/2024)
09/27/24
NOTICE of Motion by Jiyuan Zhang for presentment of motion for temporary restraining order,,,, [5] before Honorable John Robert Blakey on 10/2/2024 at 11:00 AM. (Zhang, Jiyuan) (Entered: 09/27/2024)
09/26/24
MOTION by Plaintiffs 360 PanoramaIma Solutions Inc., 360 Smart Photo Booth Inc., Dongguan Jinquan Hardware Products Co., Ltd., Dongguan Yangke Plastic Co., Ltd., Dongguan Yuande Trading Co., Ltd., Dongguan Yuanfu Trading Co., Ltd., Dongguan Yuanshu Trading Co., Ltd., KNOWLES MECHANICA, INC., PHO Moment Co., Ltd., RAIZ PRO LLC, Shenzhen Chitu Horse Technology Co., Ltd., Shenzhen Enyang Wisdom Technology Co., Ltd., Shenzhen Huanyusheng Technology Co., Ltd., Shenzhen Luoyan Technology Co., Ltd., Shenzhen Nike Technology Co., Ltd., Taiyuan Huabu Pinnan Trading Co., Ltd. for temporary restraining order (Attachments: # [1] Declaration of Yisheng Huang, # [2] Declaration of Zhongxiang Su, # [3] Declaration of Hong Xie, # [4] Declaration of Zenglan Yan, # [5] Declaration of Dehua Pan, # [6] Declaration of Naibing Zhang, # [7] Declaration of Jiaxiang Li, # [8] Declaration of Yufeng Yang, # [9] Declaration of Wenjuan Chen, # [10] Declaration of Huafei Du, # [11] Declaration of Xiaogang Liu, # [12] Declaration of Yan Luo, # [13] Declaration of Xiaomeng Shi, # [14] Declaration of Jun Yan, # [15] Declaration of Lu Yu, # [16] Declaration of Lin Lei)(Zhang, Jiyuan) (Entered: 09/26/2024)
09/26/24
First AMENDED complaint by 360 PanoramaIma Solutions Inc., Dongguan Yuande Trading Co., Ltd., Shenzhen Nike Technology Co., Ltd., Shenzhen Huanyusheng Technology Co., Ltd., Shenzhen Enyang Wisdom Technology Co., Ltd., Shenzhen Chitu Horse Technology Co., Ltd., Dongguan Yuanshu Trading Co., Ltd., KNOWLES MECHANICA, INC., PHO Moment Co., Ltd., Shenzhen Luoyan Technology Co., Ltd., Dongguan Jinquan Hardware Products Co., Ltd., Dongguan Yuanfu Trading Co., Ltd., 360 Smart Photo Booth Inc., RAIZ PRO LLC, Taiyuan Huabu Pinnan Trading Co., Ltd., Dongguan Yangke Plastic Co., Ltd. against MAVIR (Attachments: # [1] Exhibit Schedule A: To Complaint, # [2] Exhibit A. Patent Registration, # [3] Exhibit B. Email to Defendant, # [4] Exhibit C. Defendant Email Reply 20240915, # [5] Exhibit D. Plaintiff Email Reply 20240915, # [6] Exhibit E. Plaintiff Email Reply 20240917)(Zhang, Jiyuan) (Entered: 09/26/2024)
09/24/24
MAILED patent report to Patent Trademark Office, Alexandria VA. (rc, ) (Entered: 09/24/2024)