Case details

Court: nysd
Docket #: 1:12-cv-02951
Case Name: Malibu Media, LLC v. John Does 1-5
PACER case #: 394950
Date filed: 2012-04-13
Assigned to: Judge Thomas P. Griesa
Case Cause: 17:101 Copyright Infringement
Nature of Suit: 820 Copyright
Jury Demand: Plaintiff
Jurisdiction: Federal Question

Parties

Represented Party Attorney & Contact Info
Malibu Media, LLC
Plaintiff
Jason Aaron Kotzker
Kotzker Law Group 96095 University Blvd # 632134 Highlands Ranch, CO 80163 (303) 875-5386 Email: kotzkerj@wemed.com
ATTORNEY TO BE NOTICED

John Does 1-5
Defendant

Documents

Date Filed Document # Attachment # Short Description Long Description Upload date SHA1 hash
2012-04-13 1 0 COMPLAINT against John Does 1-5. (Filing Fee $ 350.00, Receipt Number 46540107003090)Document filed by Malibu Media, LLC.(rdz) (Additional attachment(s) added on 4/20/2012: # 1 Ex a, # 2 ex b, # 3 ex c, # 4 ex d) (ama). (Entered: 04/17/2012)
2012-04-23 2 0 NOTICE OF CHANGE OF ADDRESS by Jason Aaron Kotzker on behalf of Malibu Media, LLC. New Address: Kotzker Law Group, 9609 S. University Blvd., #632134, Highlands Ranch, CO, US 80163, 303-875-5386. (Kotzker, Jason) (Entered: 04/23/2012)
2012-04-25 3 0 MOTION FOR LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE. Document filed by Malibu Media, LLC. (Attachments: # 1 Text of Proposed Order)(Kotzker, Jason) (Entered: 04/25/2012)
2012-04-25 4 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MEMORANDUM OF LAW in Support re: 3 MOTION FOR LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE.. Document filed by Malibu Media, LLC. (Attachments: # 1 Exhibit A: DECLARATION OF TOBIAS FIESER, # 2 Exhibit A TO DECLARATION OF FIESER, # 3 Exhibit B TO DECLARATION OF FIESER)(Kotzker, Jason) Modified on 4/26/2012 (ldi). (Entered: 04/25/2012)
2012-04-30 5 0 ORDER ON MOTION FOR LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE granting 3 Motion for LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE. 1. Plaintiff established that "good cause" exists for it to serve third party subpoenas on the Internet Service Providers listed on Exhibit A to the Motion (the "ISPs"). See UMG Recording, Inc. v. Doe, 2008 WL 4104214, *4 (N.D. Cal. 2008); and Arista Records LLC v. Does 1-19,551 F. Supp. 2d 1, 6-7 (D.D.C. 2008). 2. Plaintiff may serve each of the ISPs with a Rule 45 subpoena commanding each ISP to provide Plaintiff with the true name, address, telephone number, e-mail address and Media Access Control ("MAC") address of the Defendant to whom the ISP assigned an IP address as set forth on Exhibit A to the Motion. Plaintiff shall attach to any such subpoena a copy of this Order. 3. Plaintiff may also serve a Rule 45 subpoena in the same manner as above on any service provider that is identified in response to a subpoena as a provider of internet services to one of the Defendants and as further set forth in this order. (Signed by Judge Thomas P. Griesa on 4/30/2012) (lmb) (Entered: 05/01/2012)
2012-05-08 6 0 MEMORANDUM OF LAW in Support re: 3 MOTION FOR LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE.. Document filed by Malibu Media, LLC. (Kotzker, Jason) (Entered: 05/08/2012)
2012-05-08 7 0 DECLARATION of Tobias Fieser in Support re: 3 MOTION FOR LEAVE TO SERVE THIRD PARTY SUBPOENAS PRIOR TO A RULE 26(f) CONFERENCE.. Document filed by Malibu Media, LLC. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Kotzker, Jason) (Entered: 05/08/2012)