Motion | Filed: July 02, 2026
| Entered: July 02, 2026
Rosenshine v. A. Meshi Cosmetics Industries Ltd. et al
Trademark | New York Eastern
Report and Recommendations
REPORT AND RECOMMENDATION: It is respectfully recommended that the Court DENY Plaintiffs' Motion for Default Judgment 171 for failure to comply with the Local Rules, without prejudice to renew in compliance with the rules. Plaintiffs originally requested a Certificate of Default from the Court and moved for Default Judgment against Defendants A to Z Import, Inc. and Eyal Noach in October 2018. See Dkt. Nos. 25 - 26 . On March 13, 2019, the Court terminated Plaintiffs' Motion for Default Judgment as moot, as the prior Plaintiff Elazar Rosenshine transferred all rights to the subject trademark to the current Plaintiffs, Oren Rosenshine and Amir Rosenshine. See Dkt. No. 36 . On May 27, 2025, Plaintiffs renewed their request for a Certificate of Default against A to Z Import, Inc. and Eyal Noach and the Clerk of Court entered the default on June 3, 2025. See Dkt. Nos. 151 - 152 .
Over 7 months later, after the Court noted that Plaintiffs had yet to file a renewed motion (See Dkt. No 168 p. 17 n.7), Plaintiffs renewed their Motion for Default Judgment 171 against Defendants A to Z Import, Inc. and Eyal Noach on January 7, 2026. Although Plaintiffs attach notice of the Motion and an accompanying affidavit, Plaintiffs did not provide a memorandum of law, in violation of Local Civil Rules 55.2 and 7.1. "Courts in this Circuit have held that a moving party's failure to attach a memorandum of law and other supporting documents in accordance with Local Rule 7.1 is sufficient grounds to deny a motion." Fin. Servs. Vehicle Tr. v. Osmanaj, 22-CV-7491, 2023 WL 7000935, at *2 (E.D.N.Y. Aug. 15, 2023) (collecting cases); see also Mahlkonig USA, Inc., 23-CV-6385, 2024 WL 4250325, at *2 (E.D.N.Y. Aug. 14, 2024).
It is thus respectfully recommended that the Court DENY Plaintiffs' Motion for Default Judgment 171 without prejudice to renew. Plaintiffs are warned that, if this recommendation is adopted, any renewed motion may be their last opportunity to move for default against Defendants A to Z Import, Inc. and Eyal Noach and that failure to comply with the rules may result in a recommendation that the claims against Defendants A to Z Import, Inc. and Eyal Noach be dismissed for failure to prosecute. Plaintiffs are directed to promptly serve a copy of this Report and Recommendation on Defendants A to Z Import, Inc. and Eyal Noach and to provide the Court with proof of service. Any objections to this Report and Recommendation must be filed within 14 days after service of this Report and Recommendation. See 28 U.S.C. § 636(b); Fed. R. Civ. P. 72(b)(2). If any party fails to file timely objections to this Report and Recommendation, it will waive any right to further judicial review of the decision. See 28 U.S.C. § 636(b); Fed. R. Civ. P. 72(b)(2); see also Kotlyarsky v. United States Dep't of Just., 22-2750, 2023 WL 7648618 (2d Cir. Nov. 15, 2023). So Ordered by Magistrate Judge Seth D. Eichenholtz on 7/2/2026. (EGS)
Motion | Filed: June 30, 2026
| Entered: June 30, 2026
Henkin et al v. Kuveyt Turk Katilim Bankasi A.S.
Other Statutory Actions | New York Eastern
Leave to Electronically File Document under Seal 1 - Sealed Document - to be used ONLY in conjunction with other selection
SEALED DOCUMENTS
, Letter MOTION for Leave to Electronically File Document under Seal by AS, Betty Benzakein, Leah Benzakein, Michael Benzakein, Sabrina Benzakein, Ralph Benzakein, Adina Felber, Daniel Felber, Joseph Felber, Judi Felber, Nathaniel Felber, Jacqueline Geller, Jason Geller, Marc Geller, Sandra Geller, Estate of Eitam Henkin, Estate of Naama Henkin, I.Z.H., M.H.H., N.E.H., N.Y.H., Ari Schwartz, Elon Schwartz, Estate of Ezra Schwartz, Hillel Schwartz, Mollie Schwartz, Ruth Schwartz. (Attachments: # 1 Notice of Motion to Compel, # 2 Memorandum in Support of Motion to Compel, # 3 Declaration of K. Attridge ISO Motion to Compel, # 4 Exhibit 1 - IHH Statement Excerpts, # 5 Exhibit 2 - List of Rejected Wires, # 6 Exhibit 3 - List of IHH-Related Accounts, # 7 Exhibit 4 - AML-CFT Policy, # 8 Exhibit 5 - IUG Account Documents, # 9 Exhibit 6 - Consolidated Risk Scores, # 10 Exhibit 7 - IUG SWIFT Messages, # 11 Exhibit 8 - IUG Statement Excerpts, # 12 Exhibit 9 - Consolidated Transaction Monitoring Alerts, # 13 Exhibit 10 - CBSP Email, # 14 Exhibit 11 - IHH Transaction Report Excerpt, # 15 Exhibit 12 - June 26, 2026 E. Goldberg Knox Letter, # 16 Exhibit 13 - IHH Partner Listing, # 17 Exhibit 14 - Donee Spreadsheet Excerpt, # 18 Exhibit 15 - IHH Letter re: Rejections, # 19 Exhibit 16 - Consolidated CDD Procedures, # 20 Exhibit 17 - HSBC Blocking Message, # 21 Exhibit 18 - Wire Messages, # 22 Exhibit 19 - Habib Extract re: D. Feneri, # 23 Exhibit 20 - Nov. 26, 2025 G. Pritsker Letter... (truncated)