Goyard St-Honore v. The Individuals, Partnerships, and Unincorporated Associations Identified on Schedule A ( 2019 )


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  • United States District Court for the Southern District of Florida Goyard St-Honore, Plaintiff, ) ) ) v. ) ) Civil Action No. 19-60168-Civ-Scola Goyy and others, Defendants. ) ) ) ) Order on Application for Preliminary Injunction This matter is before the Court on the Plaintiff’s Application for Entry of Preliminary Injunction (the “Application for Preliminary Injunction”) (ECF No. 6) and upon the Preliminary Injunction hearing held on September 23, 2019. Plaintiff Goyard St-Honore moves for entry of a preliminary injunction against the Defendants, the Individuals, Partnerships, or Unincorporated Associations identified on Schedule “A,” pursuant to 15 U.S.C. § 1116 and Fed. R. Civ. P. 65, and The All Writs Act, 28 U.S.C. § 1651(a), for alleged violations of the Lanham Act, 15 U.S.C. §§ 1114 and 1125(a), and Florida law. The Court has carefully reviewed the application, the pertinent portions of the Record, and is otherwise fully advised in the premises. The Court convened a hearing on September 23, 2019, at which only counsel for the Plaintiff was present and available to present evidence supporting the Application for Preliminary Injunction. The Defendants have not responded to the Application for Preliminary Injunction, nor made any filing in this case, nor has the Defendants appeared in this matter either individually or through counsel. Because the Plaintiff has satisfied the requirements for the issuance of a preliminary injunction, the Court grants Plaintiff’s Application for Preliminary Injunction (ECF No. 6). 1. Factual Background The Plaintiff is the registered owner of the following trademarks on the Principal Register of the United States Patent and Trademark Office (collectively, the “Goyard Marks”). Number Date IC 016 - Office requisites; namely, agendas and spare sheets therefor, repertories, desk pads, pen holders, stamp boxes for the storage of postage stamps, writing pads, address pads, pencil jars for desk use, ink wells, mail trays for desk use, note books, check cases and pen cases. IC 018 - Articles of fancy leather, leather, cloth and skin articles; \ August 25, |namely, valises, travel trunks, 1,709,953 1992 cosmetic cases, travelling bags, handbags, brief cases, attache cases, brief case type document cases, toilet cases sold empty, makeup cases sold empty, sewing cases, wallets, hat boxes for travel, business card cases, key cases, drawstring pouches, garment bags for travel, necktie cases, jewel cases, umbrellas, saddle covers, cloth carriers, articles for dogs; namely, dog collars, dog leashes, dog clothes and carrying bags. Number Date IC 016 - Office requisites; namely, agendas, repertories, note books, check cases and pen cases. IC 018 - Articles of fancy leather, leather, cloth and skin articles; namely, valises, travel trunks, cosmetic cases sold empty, traveling bags, handbags, February 15, |briefcases, attache cases, GOYARD 1,821,224 1994 briefcase type document cases, toilet cases sold empty, make-up cases sold empty, wallets, hat boxes for travel, business card cases, key cases, draw string pouches, garment bags for travel, necktie cases, umbrellas, saddlebags, saddle covers, and articles for dogs; namely, dog collars, dog leashes, dog clothes and carrying bags. IC 018 - Bags and traveling sets, □ namely, traveling bags; garment PS ee bags for travel; luggage trunks; re valises, vanity cases sold empty, fa April 29, rucksacks, handbags, beach es 3,418,288 bags, school bags; suitcases, Sa ee briefcases, pocket wallets, ‘Goyard Honore purses, not of precious metal, Paris) leather key cases; business card cases; umbrellas, parasols, walking sticks. a IC 003 - Toilet soap; perfumes; Dek Bek eau de toilette and eau de ag ia cologne; cosmetic preparations; ne ie October 11, |essential oils for personal use; ES 4 □□ = 4,036,898 2011 cosmetic milks; lotions for face eee and body care; cosmetic creams; eae ea emulsions for cosmetic use; □ shampoos; gels to be used on the Registration Registration Trademark Class / Goods Number Date face and body for aesthetic purposes; deodorants for personal use. IC 009 – Spectacles; spectacle frames; sunglasses; spectacle cases; photographic apparatus, namely, cameras. IC 014 – Precious metals and their alloys, other than for dental use; goods made of precious metals and their alloys, other than for dental use, in the nature of jewelry, namely, rings, earrings, bracelets, charms, chains, watch chains, necklaces, pins, ornaments, fashion pins, ring bands; goods made of precious metals and their alloys, other than for dental use, namely, buckles of precious metal, hat ornaments of precious metal, jewellery cases of precious metal, jewellery caskets of precious metal; jewellery, precious stones, semi-precious stones, jewelry in the nature of pearls, horological and chronometric instruments; watches, watch straps, wristwatches; boxes for watches, jewelry boxes; cuff links. IC 018 – Goods of leather and imitations of leather, namely, travelling bags, travelling sets comprised of luggage, and garment bags for travel; trunks; suitcases; unfitted vanity cases; rucksacks; handbags; sports bags; beach bags; school bags; Registration Registration Trademark Class / Goods Number Date attaché cases; document cases; briefcases; school satchels; under-arm bags, namely, handbags; leather goods, namely, wallets, purses not of precious metal, leather key cases, card holders for wallets; umbrellas; parasols; sunshade parasols; walking sticks. IC 024 – Fabrics for textile use; textile goods, namely, bath linen not for clothing, household linen, bed linen, textile table linen, bathroom linen of textile, handkerchiefs of textile. IC 025 – Clothing for men, women and children, namely, dresses, skirts, petticoats, culottes, ladies' suits, trousers, shorts, Bermuda shorts, swimming drawers, shirts, ladies' shirts, blouses, tee-shirts, sweatshirts, waistcoats, jackets, cardigans, pullovers, sweaters, parkas, anoraks, coats, gaberdines, raincoats, furs, sashes for wear, shawls, scarf, gloves, neckties, belts, socks, stockings, tights, underwear, pajamas, dressing gowns, swimsuits, bath robes; footwear, except orthopedic footwear, namely, shoes, sandals, boots, half-boots, boot liners, slippers; hats, berets, caps. IC 028 – Games, namely, chess games; gymnastic and sporting articles not included in other classes, namely, baseball gloves, bats for games, boxing gloves, golf gloves, golf clubs, golf bags; decorations for Christmas trees. IC 009 - Spectacles, sunglasses, spectacle cases, spectacle frames, spectacle cords; protective cases for portable telephones, tablet computers, electronic diaries and computers; portable telephones shell cases, portable telephone straps; cases especially made for photographic apparatus and instruments; binoculars being optics; cases for binoculars; magnifying glasses being optics; cases for magnifying glasses; digital photo frames; blank USB flash drives; mouse pads; barometers; dog whistles, cases Bitty ate for dog whistles. ZS 9,932,309 2018 IC 014 — Jewelry, namely, finger HESS rings, key rings, earrings, cufflinks, cases for cuff links, bracelets, charms, brooches, jewelry chains, necklaces, presentation boxes for jewelry, ornaments being jewelry, medallions being jewelry, jewelry boxes; tie pins, tie clips; timepieces and chronometric apparatus and instruments, namely, watches, straps for wrist watches, presentation boxes for watches, cases being parts of watches, alarm clocks; boxes of precious metals, their alloys or coated therewith IC 016 - Printed matter, namely, posters, photo albums, greeting Registration Registration Trademark Class / Goods Number Date cards, postcards; printed matter, namely, books, magazines, orientation manuals, photographs, periodicals in the field of leather goods, travel goods, leather accessories and bags, pet accessories, clothing and fashion accessories; checkbook holders; products made of cardboard or paper, namely, boxes of cardboard or paper, hat boxes of cardboard, bags being envelopes and pouches of cardboard or paper for packaging, paper table cloths, perfumed and non-pe1fumed drawer liners of paper, money clips, passport holders, table napkins of paper; office requisites excluding furniture, namely, diaries, stationery pads, notebooks, binders, cases for stamps, cases for stationery, paper knives, diary covers being stationery, letter trays, writing sets comprising inkstands and stationery, envelopes being stationery, shields being paper seals, writing paper, trays for sorting and counting money, document holders, paperweights, telephone indexes, desk pads, stamps, namely, sealing stamps; writing instruments, namely, pens, ball-point pens, propelling pencils, pencil holders, pencil cases. IC 018 – Products made of leather or imitations of leather, namely, straps of leather, leather leashes, boxes of leather or Registration Registration Trademark Class / Goods Number Date imitation leather, wallets of leather or imitation leather, briefcases of leather; traveling trunks, traveling bags, leather traveling sets, namely, leather cases and pouch sets for travel, garment bags for travel; trunks, attache cases, suitcases; unfitted vanity cases, backpacks, handbags, beach bags, sports bags, bags for carrying animals, briefcases, purses, wallets, coin purses, key cases being leather products, card cases being wallets, credit card holders being wallets; umbrellas, umbrella sticks, walking sticks, walking stick seats, collars for animals, animal leashes; clutch bags. IC 024 – Fabrics and textile products, namely, textile wall hangings, household linen, bed linen, table linen of textile, bath linen except clothing, handkerchiefs of textile, covers for cushions, unfitted fabric chair covers, traveling rugs, lap robes. IC 024 – Clothing, namely, suspenders, belts being clothing, neckties, socks, shawls, sashes for wear, scarves, gloves, bathing suits, bath robes, pocket squares being clothing; footwear, namely, sandals, boots, slippers; headgear, namely, hats, berets, caps being headwear. The Goyard Marks are used in connection with the manufacture and distribution of high quality luxury goods in the categories identified above. (See Thierry Decl. ¶¶ 4-5, ECF No. 6-1.) The Defendants, through the Internet based e-commerce stores operating under the seller identification names identified on Schedule “A” hereto (the “Seller IDs”), have advertised, promoted, offered for sale, or sold goods bearing what the Plaintiff has determined to be counterfeits, infringements, reproductions or colorable imitations of the Goyard Marks. (See id. at ¶¶ 9-13; Wiborg-Rodriguez Decl. ¶ 2, ECF No. 6-2; Burns Decl. ¶ 4, Ex. 1-3 ECF No. 6- 3.) Although each Defendant may not copy and infringe each of the Plaintiff’s trademarks for each category of goods protected, the Plaintiff has submitted sufficient evidence showing each Defendant has infringed, at least, one or more of the trademarks at issue. (See Thierry Decl., ECF No. 6-1 ¶¶ 12-13.) The Defendants are not now, nor have they ever been, authorized or licensed to use, reproduce, or make counterfeits, reproductions, or colorable imitations of the Goyard Marks. (See id. at ¶¶ 9, 12-13.) The Plaintiff retained Invisible Inc., a licensed private investigative firm, to investigate the promotion and sale of counterfeit and infringing versions of the Plaintiff’s branded products by the Defendants. (See id. at ¶¶ 10-11; see also Wiborg-Rodriguez Decl. ¶ 2, ECF No. 6-2; Burns Decl. ¶ 3, ECF No. 6-3.) Invisible Inc. accessed the Defendants’ e-commerce stores operating under their respective Seller IDs, placed an order for the purchase of a product bearing counterfeits of, at least, one of the Goyard Marks at issue in this action, and requested each product be shipped to the firm’s addresses in the Southern District of Florida. (See Burns Decl. ¶ 4, ECF No. 6-3.) Following the submission of each order, Invisible Inc. finalized payment for the products ordered from Defendant Numbers 1-16 via Amazon,1 finalized payment from Defendant Numbers 17-22 via PayPal, Inc. (“PayPal”) to Defendants’ respective PayPal accounts, and finalized payment from Defendant Numbers 23-67 via Defendants’ respective payee,2 as identified on Schedule “A” hereto. (See id.) At the 1 Amazon is an e-commerce marketplace that allows Defendants to conduct their commercial transactions privately via Amazon’s payment processing and retention service, Amazon Payments, Inc. As such, Defendants’ payment information is not publicly disclosed. (See Wiborg-Rodriguez Decl. ECF No. 6-2 ¶ 4; Burns Decl. ECF No. 6-3 ¶ 4 n.1.) 2 “PayPal * Wish” was identified as the payee for each of Invisible’s orders from Defendant Numbers 23-67’s Wish.com Seller IDs. Kathleen Burns, an officer of Invisible Inc, has personal knowledge from past investigations that “WISH conclusion of the process, the detailed web page captures reflecting the Plaintiff’s branded products Invisible Inc ordered via each Defendant’s Seller ID were sent to the Plaintiff’s representative for inspection. (Thierry Decl. ¶ 11, ECF No. 6-1; Wiborg-Rodriguez Decl. ¶ 2, ECF No. 6-2; Burns Decl. ¶ 4, ECF No. 6-3.) The Plaintiff’s representative reviewed and visually inspected the Plaintiff’s branded items purchased by Invisible through the Defendants’ Internet based e- commerce stores operating under the Seller IDs and determined the products were non-genuine, unauthorized versions of the Plaintiff’s products. (See Thierry Decl. ¶¶ 12-13, ECF No. 6-1.) 2. Legal Standard To obtain a preliminary injunction, a party must demonstrate “(1) a substantial likelihood of success on the merits; (2) that irreparable injury will be suffered if the relief is not granted; (3) that the threatened injury outweighs the harm the relief would inflict on the non-movant; and (4) that the entry of the relief would serve the public interest.” Schiavo ex. rel Schindler v. Schiavo, 403 F.3d 1223, 1225–26 (11th Cir. 2005) (per curiam); see also Levi Strauss & Co. v. Sunrise Int’l. Trading Inc., 51 F.3d 982, 985–86 (11th Cir. 1995) (applying the test to a preliminary injunction in a Lanham Act case). 3. Analysis The declarations and exhibits that the Plaintiff submitted in support of its Application for Preliminary Injunction support the following conclusions of law: A. The Plaintiff has demonstrated a substantial likelihood of success on the merits. The Plaintiff has a very strong probability of proving at trial that consumers are likely to be confused by the Defendants’ advertisement, promotion, sale, offer for sale, or distribution of products bearing counterfeits, reproductions, or colorable imitations of the Goyard Marks, and that the products the Defendants are selling and promoting are copies of the Plaintiff’s products that bear copies of the Goyard Marks. B. Because of the infringement of the Goyard Marks, the Plaintiff is likely to suffer immediate and irreparable injury if a preliminary injunction is not granted. It clearly appears from the following specific facts, as set forth in the Complaint, Application for Preliminary Injunction, and accompanying declarations on file, that immediate and irreparable loss, (ContextLogic Inc.)” is the named PayPal recipient for individual transactions conducted with the respective Seller IDs. (See Burns Decl., ECF No. 6-3 ¶ 4 n.2.) damage, and injury will result to the Plaintiff and to consumers because it is more likely true than not that: a. The Defendants own or control Internet websites, domain names, or website businesses which advertise, promote, offer for sale, or sell products bearing counterfeit and infringing trademarks in violation of the Plaintiff’s rights; and b. There is good cause to believe that more counterfeit and infringing products bearing the Plaintiff’s trademarks will appear in the marketplace; that consumers are likely to be misled, confused, and disappointed by the quality of these products; and that the Plaintiff may suffer loss of sales for its genuine products. C. The balance of potential harm to the Defendants in restraining its trade in counterfeit and infringing branded products if a preliminary injunction is issued is far outweighed by the potential harm to the Plaintiff, its reputation, and its goodwill if such relief is not issued. D. The public interest favors issuance of the preliminary injunction to protect the Plaintiff’s trademark interests and protect the public from being defrauded by the palming off of counterfeit products as the Plaintiff’s genuine products. E. Under 15 U.S.C. § 1117(a), the Plaintiff may be entitled to recover, as an equitable remedy, the illegal profits gained through the Defendants’ distribution and sales of goods bearing counterfeits and infringements of the Goyard Marks. See Reebok Int’l, Ltd. v. Marnatech Enters., Inc., 970 F.2d 552, 559 (9th Cir. 1992) (quoting Fuller Brush Products Co. v. Fuller Brush Co., 299 F.2d 772, 777 (7th Cir. 1962) (“An accounting of profits under § 1117(a) is not synonymous with an award of monetary damages: ‘[a]n accounting for profits . . . is an equitable remedy subject to the principles of equity.’”)). F. Requesting equitable relief “invokes the district court’s inherent equitable powers to order preliminary relief, including an asset freeze, in order to assure the availability of permanent relief.” Levi Strauss & Co., 51 F.3d at 987 (11th Cir. 1995) (citing Federal Trade Commission v. United States Oil and Gas Corp., 748 F.2d 1431, 1433-34 (11th Cir. 1984)). G. In light of the inherently deceptive nature of the counterfeiting business, and the likelihood that the Defendants have violated federal trademark laws, the Plaintiff has good reason to believe the Defendants will hide or transfer their ill-gotten assets beyond the jurisdiction of this Court unless those assets are restrained. 4. Conclusion For the foregoing reasons, it is ordered and adjudged that the Plaintiff’s Application for Preliminary Injunction (ECF No. 6) is granted as follows: (1) Each Defendant, its officers, directors, employees, agents, subsidiaries, distributors, and all persons in active concert or participation with any Defendant having notice of this Order are hereby restrained and enjoined until further order of this Court: a. From manufacturing, importing, advertising, promoting, offering to sell, selling, distributing, or transferring any products bearing the Goyard Marks, or any confusingly similar trademarks, other than those actually manufactured or distributed by the Plaintiff; and b. From keeping secret, concealing, destroying, selling off, transferring, or otherwise disposing of: (i) any products, not manufactured or distributed by the Plaintiff, bearing the Goyard Marks, or any confusingly similar trademarks; (ii) any evidence relating to the manufacture, importation, sale, offer for sale, distribution, or transfer of any products bearing the Goyard Marks, or any confusingly similar trademarks; or (iii) any assets or other financial accounts subject to this Order, including inventory assets, in the actual or constructive possession of, or owned, controlled, or held by, or subject to access by, any Defendant, including, but not limited to, any assets held by or on behalf of any Defendant. (2) Each Defendant, its officers, directors, employees, agents, subsidiaries, distributors, and all persons in active concert or participation with any Defendant having notice of this Order shall immediately discontinue the use of the Goyard Marks or any confusingly similar trademarks, on or in connection with all Internet based e-commerce stores owned and operated, or controlled by them, including the Internet based e-commerce stores operating under the Seller IDs; (3) Each Defendant, its officers, directors, employees, agents, subsidiaries, distributors, and all persons in active concert or participation with any Defendant having notice of this Order shall immediately discontinue the use of the Goyard Marks, or any confusingly similar trademarks within metatags or other markers within website source code, from use on any webpage (including as the title of any web page), from any advertising links to other websites, from search engines’ databases or cache memory, and any other form of use of such terms which is visible to a computer user or serves to direct computer searches to Internet based e-commerce stores registered, owned, or operated by each Defendant, including the Internet based e-commerce stores operating under the Seller IDs; (4) Each Defendant shall not transfer ownership of the Internet based e-commerce stores operating under their Seller IDs during the pendency of this Action, or until further order of the Court; (5) Each Defendant shall continue to preserve copies of all computer files relating to the use of any of the Internet based e-commerce stores operating under their Seller IDs and shall take all steps necessary to retrieve computer files relating to the use of the Internet based e-commerce stores operating under the Seller IDs that may have been deleted before the entry of this Order; (6) Upon receipt of notice of this Order, Defendants and all financial institutions, payment processors, banks, escrow services, money transmitters, or marketplace platforms, including but not limited to, Amazon Payments, Inc. (“Amazon”), PayPal, Inc. (“PayPal”), ContextLogic, Inc., which operates the Wish.com website (“ContextLogic”), and their related companies and affiliates shall (i) immediately identify all financial accounts and/or sub-accounts associated with the Internet based e-commerce stores operating under the Seller IDs, the store URLs, and/or the e-mail addresses identified on Schedule “A” hereto, as well as any other accounts of the same customer(s); (ii) identify all other accounts which transfer funds into the same financial institution account(s) or any of the other financial accounts subject to this Order; (iii) restrain the transfer of all funds, as opposed to ongoing account activity, held or received for their benefit or to be transferred into their respective financial accounts, and any other financial accounts tied thereto; and (iv) immediately divert those restrained funds to a holding account for the trust of the Court; (7) Upon receipt of notice of this Order, Defendants and all financial institutions, payment processors, bank, escrow services, money transmitters, or marketplace platforms receiving notice of this Order, including but not limited to, Amazon, PayPal, ContextLogic, and their related companies and affiliates, shall further, within five business days of receiving this Order, provide Plaintiffs’ counsel with all data that details (i) an accounting of the total funds restrained and identifies the financial account(s) and sub-account(s) which the restrained funds are related to, and (ii) the account transactions related to all funds transmitted into the financial account(s) and sub-account(s) which have been restrained. Such restraining of the funds and the disclosure of the related financial institution account information shall be made without notice to the account owners or the financial institutions until after those accounts are restrained. No funds restrained by this Order shall be transferred or surrendered by any financial institution, payment processor, bank, escrow service, money transmitter, or marketplace website, including but not limited to, Amazon, PayPal, ContextLogic and their related companies and affiliates for any purpose (other than pursuant to a chargeback made pursuant to their security interest in the funds) without the express authorization of this Court; (8) Any Defendant or financial institution account holder subject to this Order may petition the Court to modify the asset restraint set out in this Order; (9) This Order shall apply to the Seller IDs, associated e-commerce stores, and any other seller identification names, e-commerce stores, or financial accounts which are being used by the Defendants for the purpose of counterfeiting the Goyard Marks at issue in this action and/or unfairly competing with the Plaintiff; (10) Pursuant to 15 U.S.C. § 1116(d)(5)(D) and Fed. R. Civ. P. 65(c), the Plaintiff shall post a bond in the amount of Ten Thousand Dollars and Zero Cents ($10,000.00), as payment of damages to which the Defendants may be entitled for a wrongful injunction or restraint, during the pendency of this action, or until further Order of the Court. In the Court’s discretion, the bond may be subject to increase should an application be made in the interest of justice; (11) This Order is subject to the jurisdictional constraints of the Lanham Act. See Steele v. Bulova Watch Co., 344 U.S. 280 (1952); Int'l Café, S.A.L. v. Hard Rock Café Int'l (U.S.A.), Inc., 252 F.3d 1274, 1278-79 (11th Cir. 2001). (12) Additionally, for the purpose of providing additional notice of this proceeding, and all other pleadings, orders, and documents filed herein, the owners, operators and/or administrators of the Internet marketplace website platforms, including but not limited to Amazon.com, eBay.com, Wish.com, PayPal, and ContextLogic, shall, at the Plaintiffs request, provide the Plaintiffs counsel with any e-mail address known to be associated with the Defendants’ respective Seller IDs. (13) This Order shall remain in effect during the pendency of this action, or until further order of this Court; Done and ordered, in chambers, in Miami, Florida, on September 23, 2019. United States District Judge SCHEDULE “A” DEFENDANTS BY NUMBER, SELLER ID, AND PAYMENT ACCOUNT Amazon Seller ID Goyard Branded Def. Defendant / Number / Item’s ASIN / No. Seller ID PayPal Account Store URL 1 Goyy A3318L7C2X8Y0L B07DYNTMKM 2 0ZaEMbMBv6MPU30 A2YMGFO4ZEUEQE B074YGPZQK 3 Balence A29GN74BM38AXE B07DL5WZZM 4 DVRTKM AJ5LR4K9R066Y B07F1F82HW 5 Icream A26ED2E99PRXTF B07DWSRNHV 6 JacyJewelry A3L3ODQBASVGDT B07DYRL138 7 Jecsic Store AS135YJ3Q4GTK B07KM4DH1Q 8 Joomsy A21AO2PNML2YLG B07GJFN1M3 9 Leo Sung A3VVXKNYI9WZJ4 B074YJLSH3 10 LOYEOY Whole&Sale A3UXE4BYPYKPRJ B0755C4DN3 11 Mybagg AYO9UBBKM36HQ B07KXD5221 12 PinchPeace A3NJSYFSE7E118 B016B43GO0 13 Rosvin fashion bag A1S78BXTPH04JU B074YJLSH3 14 sardal AO99GHXI8ZW38 B07BJ56KMV B07K8LM315 15 XiShuangJi A2MIU9PD4GZ06O B07K8NP1Y4 16 YtmYAN manufacturer A1O4D90WRDL621 B0795QSKKS 17 01jinbao 2178431695@qq.com unique_queen168@outlook 18 deal_ideal .com unique_queen168@outlook 18 global_cooperation .com 19 fge8866 wp3253705huis@163.com 20 firm-faith*top2 shop2top@outlook.com 21 upbing stagerpbpay@hotmail.com 22 wlingpin_0 m15797778690@163.com https://www.wish.com 23 2018yanbing PayPal * Wish /merchant/590b4ca92f 098f220869e217 https://www.wish.com 24 actionnow Inc PayPal * Wish /merchant/55ee457d8 8bbc24260dab099 https://www.wish.com 25 aioniya my love PayPal * Wish /merchant/58d91af91 bfb9554135eff27 https://www.wish.com 26 allyouwantiave PayPal * Wish /merchant/5a6f49c514 9ff877826e7928 Amazon Seller ID Goyard Branded Def. Defendant / Number / Item’s ASIN / No. Seller ID PayPal Account Store URL https://www.wish.com 27 apexcostumes PayPal * Wish /merchant/576224e3e 0953c5e5f51e6a5 https://www.wish.com 28 bagsworld2046 PayPal * Wish /merchant/57ff7a0a8b f5da3015bf0d88 https://www.wish.com 29 Baodanxiamen PayPal * Wish /merchant/5a1d7a377 ce75c6d09f2a678 https://www.wish.com 30 Caco PayPal * Wish /merchant/59dc91b08 8dd762ed0b1201a https://www.wish.com 31 cheryl1223 PayPal * Wish /merchant/584975faef 56286bc1b42ba7 https://www.wish.com 32 chuDAY PayPal * Wish /merchant/583444896 339b451f5934e09 https://www.wish.com 33 czp PayPal * Wish /merchant/5a9fcaeadb 5f1f3b60043388 https://www.wish.com 34 Egeskov PayPal * Wish /merchant/57e0e888d 55f3b32ccb766ec https://www.wish.com 35 Elear PayPal * Wish /merchant/596e06425 dd45b146594fa9e https://www.wish.com 36 fashionnew678 PayPal * Wish /merchant/5a1fd5b67 276532120466c15 https://www.wish.com 37 favourable PayPal * Wish /merchant/5a9f64994 215953c807bc0cb https://www.wish.com 38 fengtin PayPal * Wish /merchant/5965e9663 66c065f9efdc799 https://www.wish.com 34 hanzhaoyang PayPal * Wish /merchant/592d2470e de5f60e1e8aa4c6 https://www.wish.com 40 huazhiyun PayPal * Wish /merchant/58ec983fd2 812f143fa139a9 Amazon Seller ID Goyard Branded Def. Defendant / Number / Item’s ASIN / No. Seller ID PayPal Account Store URL https://www.wish.com 41 huozhifa PayPal * Wish /merchant/5a9fa16f70 cf6928a0ba5fb0 https://www.wish.com 42 jinxing fashion PayPal * Wish /merchant/54118add9 acad808dc7248a8 https://www.wish.com 43 KassandraTrevino PayPal * Wish /merchant/59c48f7a86 96be145b50a803 https://www.wish.com 44 keeptime PayPal * Wish /merchant/59c48f7a86 96be145b50a803 https://www.wish.com 45 lCON PayPal * Wish /merchant/5601653ed a7c895306aeb216 https://www.wish.com 46 liyaxing PayPal * Wish /merchant/598c3cb62 351347694d74c64 https://www.wish.com 47 minx2828 PayPal * Wish /merchant/5aeed7ce5c e18017964fbd3a https://www.wish.com 48 mynewsaleworld PayPal * Wish /merchant/582da9c82f 28c9429abda404 https://www.wish.com One thousand years 49 PayPal * Wish /merchant/5a082a8bf later d9db80ddb92fd78 https://www.wish.com 50 qiaoxinlnig PayPal * Wish /merchant/5917f93eb 3ee2b0a5865da5e https://www.wish.com 51 shine day PayPal * Wish /merchant/5978726b4 39a985ac86fe882 https://www.wish.com 52 Shiningbuy PayPal * Wish /merchant/57d2acb22 41d453e23f7568c https://www.wish.com 53 Siliu PayPal * Wish /merchant/59a4052f4 b913a4b47048cab https://www.wish.com 54 something of dog PayPal * Wish /merchant/5a37b7918 7c25b3511f4b12d Amazon Seller ID Goyard Branded Def. Defendant / Number / Item’s ASIN / No. Seller ID PayPal Account Store URL https://www.wish.com 55 songkay PayPal * Wish /merchant/5ad30ac4c 3911a3505dd2ca9 https://www.wish.com 56 T_Store PayPal * Wish /merchant/591330c23 bf9672b5e2f24e9 https://www.wish.com 57 themariashop PayPal * Wish /merchant/5a9109019 c15ff2160a014e7 https://www.wish.com 58 wdx16888 PayPal * Wish /merchant/5883092c8 721004cb3ef524e https://www.wish.com 59 winnerseller PayPal * Wish /merchant/58e6f9d9df 0aa110413ba699 https://www.wish.com 60 WZBPG888 PayPal * Wish /merchant/579dcf442 1933e5e98ea502a https://www.wish.com 61 xiaoshanfuzhuang PayPal * Wish /merchant/599958ddf 628f56f91979a3b https://www.wish.com 62 yueyuemama1314 PayPal * Wish /merchant/5858d5dcf 6f47751e4e74752 https://www.wish.com 63 YuYao fashion shoes PayPal * Wish /merchant/596f42039 05fdb5a44ae3b3b https://www.wish.com 64 ZarrinHandmade PayPal * Wish /merchant/5815cdf8df 52b11b7f306ace https://www.wish.com 65 zhh724 PayPal * Wish /merchant/584c2599fe f409606e39c03c https://www.wish.com 66 zhihaoxiezi PayPal * Wish /merchant/5884d4331 8b9ed60e45dc62f https://www.wish.com 67 zwyouth40 PayPal * Wish /merchant/58a1923d7 477cb5101740afa

Document Info

Docket Number: 0:19-cv-60168

Filed Date: 9/24/2019

Precedential Status: Precedential

Modified Date: 6/21/2024