Vinci Brands LLC v. Coach Services, Inc. et al

Filing 419

MEMO ENDORSEMENT with respect to 413 Motion to Amend/Correct 413 MOTION to Amend/Correct 198 Amended Complaint, Plaintiff's Notice of Motion for Leave to File a Third Amended Complaint.., 206 MOTION to Dismiss Vi nci Brand, LLC's Second Amended Complaint., 222 MOTION to Dismiss Second Amended Complaint. ; denying without prejudice to renewal 206 Motion to Dismiss; denying without prejudice to renewal 222 Motion to Dismiss. ENDORS EMENT: Case-Mate's motion to dismiss at Dkt. 206 and KSNY's motion to dismiss at Dkt. 222 are DENIED without prejudice to renewal if Vinci's motion for leave to file a third amended complaint is denied. The Clerk of Court is respectfully directed to close the motions at Dkts. 206 and 222. So Ordered. (Signed by Judge Lorna G. Schofield on 7/8/2024) (tro)

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UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------- X : VINCI BRANDS LLC, : : Plaintiff, : : vs. : : COACH SERVICES, INC., KATE SPADE, : LLC, TAPESTRY, INC., and CASE-MATE, : INC., : : Defendants. : ------------------------------------------------------- : X Civil Action No. 1:23-CV-05138 Case-Mate's motion to dismiss at Dkt. 206 and KSNY's motion to dismiss at Dkt. 222 are DENIED without prejudice to renewal if Vinci's motion for leave to file a third amended complaint is denied. The Clerk of Court is respectfully directed to close the motions at Dkts. 206 and 222. So Ordered. Dated: July 8, 2024 New York, New York PLAINTIFF’S NOTICE OF MOTION FOR LEAVE TO FILE A THIRD AMENDED COMPLAINT PLEASE TAKE NOTICE that, upon the annexed Memorandum of Law, Declaration of Charles H. Low and Exhibits A and B annexed thereto, Plaintiff Vinci Brands LLC (“Vinci”), by and through its undersigned counsel, will move this Court before the Honorable Valerie Figueredo at the United States Courthouse for the Southern District of New York, 500 Pearl Street, New York, New York, for an order granting Vinci’s motion to amend its complaint pursuant to Federal Rule of Civil Procedure 15(a)(2) Dated: New York, New York July 3, 2024 Respectfully submitted, COOLEY LLP By: /s/ Russell Capone Russell Capone Charles Low 55 Hudson Yards New York, New York 10001 Phone: (212) 429-6800 Email: rcapone@cooley.com chlow@cooley.com and Michael Vatis BENESCH, FRIEDLANDER, COPLAN & ARONOFF 1155 Avenue of the Americas, 26th Floor New York, New York 10036 Phone: (646) 593-7050 Email: mvatis@beneschlaw.com Attorneys for Plaintiff Vinci Brands LLC 2

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