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Case 2:14-cv-05097-GW-AGR Document 20 Filed 11/05/15 Page 1 of 5 Page ID #:97

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Tommy SF Wang SBN: 272409


Leontyne Fan SBN: 285042
Yang & Wang, P.C.
355 S. Grand Ave., Ste. #2450
Los Angeles, CA 90071
Telephone: (888) 827-8880
Fax: (888) 827-8880
Email: twang@yangwanglaw.com; lfan@yangwanglaw.com
Attorneys for Plaintiff
JAT Wheels, Inc.
UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA

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JAT Wheels, Inc., a California


Corporation d/b/a/ STR Racing,
Plaintiff,
vs.
DB Motoring Group, Inc., a Florida
Corporation; and DOES 1-10,
collectively,
Defendant.

Case No.: 14-CV-05097-GW-AGRx


MOTION FOR ENTRY OF
DEFAULT JUDGMENT
Judge: Honorable George H. Wu
DATE: 12/28/15
TIME: 8:30AM
DEPT: 10

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MOTION FOR ENTRY OF DEFAULT JUDGMENT


Plaintiff, JAT Wheels, Inc. (Plaintiff), requests that entry of judgment by

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default be entered against defendants, DB Motoring Group, Inc. (Defendant),

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pursuant to Federal Rule of Civil Procedure 55(b)(2). In support of this request

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Plaintiff relies upon the record in this case, the affidavit submitted herein, and in

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support thereof shows the following:

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1. On July 1, 2014, Plaintiff filed in the Central District of California, Western

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Division, a Complaint alleging the following claims: 1) Patent Infringement

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pursuant to 35 U.S.C. 271; 2) Federal Copyright Infringement pursuant to 17

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MOTION FOR ENTRY OF DEFAULT JUDGMENT (FRCP 55(b)(2))

Case 2:14-cv-05097-GW-AGR Document 20 Filed 11/05/15 Page 2 of 5 Page ID #:98

U.S.C. 106; 3) California Common Law Unfair Competition; and 4)

California Unfair Competition pursuant to California Business &

Professions Code Section 17200, et. seq. A copy of said Complaint is

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attached as Exhibit 1 and is incorporated herein by reference.


2. On July 1, 2014, Plaintiffs counsel sent a letter to Defendant notifying
Defendant of the Complaint filed and requested a response by July 11, 2014,
to explore potential settlement negotiations. Defendant did not respond to
Plaintiffs letter.

3. On July 29, 2014, Defendant was served and the Summons and Complaint

was executed upon Evelyn Velasqeuz, the authorized person to accept

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service. The Answer was due on August 19, 2014. See Docket Entry No.

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11.

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4. On November 18, 2014, Plaintiff filed a request for entry of default which
was entered by the clerk pursuant to Federal Rules of Civil Procedure 55(a)
on April 23, 2015. See Docket Entry No. 12 and 15.
5. Defendant failed to plead or otherwise defend this action, and Plaintiff is
entitled to judgment by default against the Defendant.
6. Pursuant to the provisions of Rule 55(b), Federal Rules of Civil Procedure,
this Court is empowered to enter a default judgment against the Defendant

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for the relief sought by Plaintiff in its Complaint, and written notice of this

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action has been given to Defendant as set forth in the attached affidavit.

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PRAYER

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WHEREFORE, Plaintiff prays that the Court enter a judgment of default

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against Defendant as follows:

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1. For a judgment declaring that Defendant has infringed on Plaintiffs

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Design Patent.

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MOTION FOR ENTRY OF DEFAULT JUDGMENT (FRCP 55(b)(2))

Case 2:14-cv-05097-GW-AGR Document 20 Filed 11/05/15 Page 3 of 5 Page ID #:99

2. For a judgment awarding Plaintiff compensatory and punitive damages as

a result of Defendants infringement of Plaintiffs Design Patent, together

with interest and costs, and in no event less than a reasonable royalty in

the amount of $100,000.00;

3. The Defendant, its officers, agents, servants, employees, attorneys, and

all those in active concert or participation with them be enjoined and

restrained:

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a. From further using Plaintiffs Design Patents or any other


confusingly similar design, in connection with the manufacture,

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sale, advertisement or promotion of any product or any other

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similar infringement of Plaintiffs Design Patent rights, for

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products not originating from Plaintiff or authorized by Plaintiff;

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and

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b. From engaging in unfair competition by making and selling its

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products or otherwise using confusingly similar designs, in such a

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way as to misrepresent the origin of any of the Defendants

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products;

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4. For an order requiring Defendant to deliver all material in Defendants

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possession, custody or control that include or incorporate products that

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infringe Plaintiffs Design Patent rights, including but not limited to, any

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containers, packages, labels and advertisements in their possession or

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under their control utilizing Plaintiffs Design Patents, or any simulation,

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reproduction, counterfeit, copy, or colorable imitation thereof to Plaintiff;

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MOTION FOR ENTRY OF DEFAULT JUDGMENT (FRCP 55(b)(2))

Case 2:14-cv-05097-GW-AGR Document 20 Filed 11/05/15 Page 4 of 5 Page ID #:100

5. For permanent injunction against Defendant, preventing Defendant from

any future usage of any identical or similarly confusing designs related to

Plaintiffs registered Design Patent;

6. For a judgment declaring that this case is exceptional and awarding to the

Plaintiff from the Defendant, its expenses, costs, and attorneys fees in

accordance with 35 U.S.C. 284 and 285 and Rule 54(d) of the Federal

Rules of Civil Procedure;

7. Awarding other such relief to the Plaintiff as this Court deems just.

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/s/ Tommy SF Wang


Tommy SF Wang,
Attorney for Plaintiff, JAT Wheels, Inc.

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MOTION FOR ENTRY OF DEFAULT JUDGMENT (FRCP 55(b)(2))

Case 2:14-cv-05097-GW-AGR Document 20 Filed 11/05/15 Page 5 of 5 Page ID #:101

CERTIFICATE OF SERVICE

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I hereby certify that on November 5, 2015, a copy of the foregoing Motion

For Entry of Default Judgment was filed electronically and served on the Parties in

this action addressed as:

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DB Motoring Group
13000 NW 45th Ave.
Opa-locka, FL 33054

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[X ] BY MAIL: by placing the document(s) listed above in a sealed


envelope(s) and depositing the sealed envelope(s) with the United States Postal
Service with the postage fully prepaid.

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I declare, under penalty of perjury under the laws of the State of California,
that the foregoing is true and correct. Executed on November 5, 2015, at Los
Angeles, California.

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/s/ Leontyne Fan

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MOTION FOR ENTRY OF DEFAULT JUDGMENT (FRCP 55(b)(2))

Case 2:14-cv-05097-GW-AGR Document 20-1 Filed 11/05/15 Page 1 of 2 Page ID #:102

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Tommy SF Wang SBN: 272409


Leontyne Fan SBN: 285042
Yang & Wang, P.C.
355 S. Grand Ave., Ste. #2450
Los Angeles, CA 90071
Telephone: (888) 827-8880
Fax: (888) 827-8880
Email: twang@yangwanglaw.com; lfan@yangwanglaw.com
Attorneys for Plaintiff
JAT Wheels, Inc.
UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA

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JAT Wheels, Inc., a California


Corporation d/b/a/ STR Racing,
Plaintiff,
vs.
DB Motoring Group, Inc., a Florida
Corporation; and DOES 1-10,
collectively,
Defendant

Case No.: 14-CV-05097-GW-AGRx


AFFIDAVIT IN SUPPORT OF
MOTION FOR ENTRY OF
DEFAULT JUDGMENT (FRCP
RULE 55(b)(2)
Judge: Honorable George H. Wu

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I, Tommy SF Wang, declare as follows:


1.

I am over the age of 18 years old, and am the Attorney of Plaintiff

herein. I make this Declaration in support of Plaintiffs Motion for Entry of


Default Judgment. If called upon to do so, I can and shall competently testify to the
matters set forth herein as the same are of my own personal knowledge or of good
information and belief.
2.

I have read and am familiar with the Plaintiffs Motion for Entry of

Default Judgment (Federal Rule of Civil Procedure 55(b)).


3.

The summons and complaint were served upon the Defendant on July

29, 2014.
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DECLARATION OF LEONTYNE FAN IN SUPPORT OF PLAINTIFFS MOTION FOR
ENTRY OF DEFAULT JUDGMENT (FRCP 55(b))

Case 2:14-cv-05097-GW-AGR Document 20-1 Filed 11/05/15 Page 2 of 2 Page ID #:103

4.

An answer to the complaint was due on August 19, 2014. No answer

was served within the time allowed by law nor has the Defendant sought additional

time within which to respond.

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The request for entry of default was filed on November 18, 2014.

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The default of Defendants was entered on April 23, 2015.

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As required by the Service Members Civil Relief Act of 2003, I have

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confirmed that the Defendant is not currently in active military service.


8.

To my best information and belief, Defendant is not an infant or

incompetent person.
9.

The claim of Plaintiff is for: permanent injunction, damages, costs,

and attorneys fees.


I declare under penalty of perjury under the laws of the State of California
that the foregoing is true and correct.
Executed on this 4th day, of November, 2015, at Los Angeles, California.

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/s/ Tommy SF Wang


Tommy SF Wang,
Attorney for Plaintiff, JAT Wheels, Inc.

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DECLARATION OF LEONTYNE FAN IN SUPPORT OF PLAINTIFFS MOTION FOR
ENTRY OF DEFAULT JUDGMENT (FRCP 55(b))

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 1 of 26 Page ID #:104

EXHIBIT 1

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 2 of 26 Page ID #:105

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 3 of 26 Page ID #:106

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 4 of 26 Page ID #:107

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 5 of 26 Page ID #:108

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 6 of 26 Page ID #:109

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 7 of 26 Page ID #:110

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 8 of 26 Page ID #:111

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 9 of 26 Page ID #:112

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 10 of 26 Page ID #:113

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 11 of 26 Page ID #:114

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 12 of 26 Page ID #:115

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 13 of 26 Page ID #:116

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 14 of 26 Page ID #:117

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 15 of 26 Page ID #:118

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 16 of 26 Page ID #:119

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 17 of 26 Page ID #:120

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 18 of 26 Page ID #:121

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 19 of 26 Page ID #:122

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 20 of 26 Page ID #:123

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 21 of 26 Page ID #:124

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 22 of 26 Page ID #:125

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 23 of 26 Page ID #:126

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Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 25 of 26 Page ID #:128

Case 2:14-cv-05097-GW-AGR Document 20-2 Filed 11/05/15 Page 26 of 26 Page ID #:129

Case 2:14-cv-05097-GW-AGR Document 20-3 Filed 11/05/15 Page 1 of 3 Page ID #:130

1 Tommy SF Wang (SBN: 272409)

Leontyne Fan (SBN: 285042)

2 Yang & Wang, P.C.

355 S. Grand Ave., Ste. 2450

3 Los Angeles, CA 90071

Telephone: (888) 827-8880

4 Fax: (888) 827-8880


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Email: twang@yangwanglaw.com; lfan@yangwanglaw.com


Attorney for Plaintiff,

6 JAT Wheels, Inc.


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UNITED STATES DISTRICT COURT

CENTRAL DISTRICT OF CALIFORNIA

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JAT Wheels, Inc., a California

Case No.: 14-CV-05097-GW-AGRx

11 Corporation d/b/a/ STR Racing,

Plaintiff,

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[PROPOSED] ORDER FOR ENTRY


OF DEFAULT JUDGMENT

v.
DB Motoring Group, Inc., a Florida

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collectively,

Defendants.

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The Defendant, DB Motoring Group, Inc. having failed to appear, plead or

19 otherwise defend in this action, and default having been entered on April 23, 2015,
20 and counsel for Plaintiff having requested judgment against the defaulted Defendant
21 and having filed a proper motion and affidavit in accordance with Federal Rule of
22 Civil Procedure 55 (a) and (b).
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Judgment is hereby entered in favor of Plaintiff, JAT Wheels, Inc., and

24 against Defendant, DB Motoring Group, Inc., as follows:


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1. For a judgment declaring that Defendant has infringed on Plaintiffs


Design Patent.

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2. For a judgment awarding Plaintiff compensatory and punitive damages as

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a result of Defendants infringement of Plaintiffs Design Patent, together


[PROPOSED] ORDER

Case 2:14-cv-05097-GW-AGR Document 20-3 Filed 11/05/15 Page 2 of 3 Page ID #:131

with interest and costs, and in no event less than a reasonable royalty in the

amount of $100,000.00;

3. The Defendant, its officers, agents, servants, employees, attorneys, and all

those in active concert or participation with them be enjoined and

restrained:

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a. From further using Plaintiffs Design Patents or any other


confusingly similar design, in connection with the manufacture,
sale, advertisement or promotion of any product or any other similar
infringement of Plaintiffs Design Patent rights, for products not
originating from Plaintiff or authorized by Plaintiff; and
b. From engaging in unfair competition by making and selling its
products or otherwise using confusingly similar designs, in such a

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way as to misrepresent the origin of any of the Defendants

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products;

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4. For an order requiring Defendant to deliver all material in Defendants

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possession, custody or control that include or incorporate products that

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infringe Plaintiffs Design Patent rights, including but not limited to, any

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containers, packages, labels and advertisements in their possession or

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under their control utilizing Plaintiffs Design Patents, or any simulation,

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reproduction, counterfeit, copy, or colorable imitation thereof to Plaintiff;

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5. For permanent injunction against Defendant, preventing Defendant from


any future usage of any identical or similarly confusing designs related to
Plaintiffs registered Design Patent; and
6. For a judgment declaring that this case is exceptional and awarding to the
Plaintiff from the Defendant, its expenses, costs, and attorneys fees in

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[PROPOSED] ORDER

Case 2:14-cv-05097-GW-AGR Document 20-3 Filed 11/05/15 Page 3 of 3 Page ID #:132

accordance with 35 U.S.C. 284 and 285 and Rule 54(d) of the Federal

Rules of Civil Procedure.

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4 SO ORDERED.
5 DATED: November ___, 2015
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Honorable George H. Wu
U.S. District Court Judge

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[PROPOSED] ORDER

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