E-MAIL SERVICE OF FOREIGN DEFENDANT WAS PROPER, 9TH CIR. RULES Rio Properties v. Rio Int'l Interlink | Secondary Sources | Westlaw

E-MAIL SERVICE OF FOREIGN DEFENDANT WAS PROPER, 9TH CIR. RULES Rio Properties v. Rio Int'l Interlink | Secondary Sources | Westlaw

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E-MAIL SERVICE OF FOREIGN DEFENDANT WAS PROPER, 9TH CIR. RULES Rio Properties v. Rio Int'l Interlink

8 No. 22 ANIPLR 12Andrews Intellectual Property Litigation Reporter (Approx. 3 pages)

E-MAIL SERVICE OF FOREIGN DEFENDANT WAS PROPER, 9TH CIR. RULES Rio Properties v. Rio Int'l Interlink

8 No. 22 ANIPLR 12Andrews Intellectual Property Litigation Reporter (Approx. 3 pages)

8 No. 22 Andrews Intell. Prop. Litig. Rep. 12
Andrews Intellectual Property Litigation Reporter
April 16, 2002
Service of Process:
Copyright (c) 2002 Andrews Publications

E-MAIL SERVICE OF FOREIGN DEFENDANT WAS PROPER, 9TH CIR. RULES

Rio Properties v. Rio Int'l Interlink

E-mail service of process on a Costa Rican Internet gambling site operator was an accepted method of alternate service when the plaintiffs in a trademark infringement case could not serve the company via its agents or find a valid mailing address,...
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