Doing a separate thread for each of these. More documents may follow thanks to donations and as they get publicly released.
This one doesn't have an actual complaint attached to it yet in the full formal version, and no one has had time to reply yet since they've yet to finish identifying defendants.
Nexon America Inc. v. Gameanarchy LLC
Request to counsel to file appropriate forms
03. Trademark (CV-31)
Directive to attempt Alternative Dispute Resolution before wasting the time & resources of the court
04. Notice to Parties of Court-Directed ADR Program (ADR-8)
Request from plaintiff for expidited discovery before evidence can be destroyed or is lost.
05. Declaration of Marc E. Mayer
Request for expidited discovery to determine identities of defendants.
05. Ex Parte Application to Expedite
Propsed Judge's order granting right to subpoenas various internet services to identify defendants.
05. Proposed Order
Actual Copyright Infringement Notice to Court
08. Report on Filing of Copyright Action (Initial Notification)
Actual Judge's order granting right to subpoenas various internet services to identify defendants.
09. Order on Ex Parte Application to Expedite
Defendant's Rebuttal
10. Answer to Complaint (Discovery)
Order for Joint Scheduling
11. Order
12. Joint Report Rule 26(f) Discovery Plan
13. Referral to ADR (No 2) (Mediation Panel) (ADR-12)
14. Order
20. Stipulation for Protective Order
Everyone agrees that certain things may be private and need to remain confidential.
21. Protective Order
Any party can declare something confidential and have it redacted from public documents by showing just cause.
This one doesn't have an actual complaint attached to it yet in the full formal version, and no one has had time to reply yet since they've yet to finish identifying defendants.
Nexon America Inc. v. Gameanarchy LLC
Request to counsel to file appropriate forms
03. Trademark (CV-31)
Directive to attempt Alternative Dispute Resolution before wasting the time & resources of the court
04. Notice to Parties of Court-Directed ADR Program (ADR-8)
Request from plaintiff for expidited discovery before evidence can be destroyed or is lost.
05. Declaration of Marc E. Mayer
Request for expidited discovery to determine identities of defendants.
05. Ex Parte Application to Expedite
Propsed Judge's order granting right to subpoenas various internet services to identify defendants.
05. Proposed Order
Actual Copyright Infringement Notice to Court
08. Report on Filing of Copyright Action (Initial Notification)
Actual Judge's order granting right to subpoenas various internet services to identify defendants.
09. Order on Ex Parte Application to Expedite
Defendant's Rebuttal
10. Answer to Complaint (Discovery)
Order for Joint Scheduling
11. Order
12. Joint Report Rule 26(f) Discovery Plan
13. Referral to ADR (No 2) (Mediation Panel) (ADR-12)
14. Order
20. Stipulation for Protective Order
Everyone agrees that certain things may be private and need to remain confidential.
21. Protective Order
Any party can declare something confidential and have it redacted from public documents by showing just cause.