1:17-Cv-06672 Document #: 2 Filed: 09/15/17 Page 1 of 28 Pageid #:4
Case: 1:17-cv-06672 Document #: 2 Filed: 09/15/17 Page 1 of 28 PageID #:4 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS Parsons Xtreme Golf, LLC, a Delaware limited liability company, Case No. 1:17-cv-6672 Plaintiff, JURY TRIAL DEMANDED v. Golf & Tennis Pro Shop, Inc., d/b/a PGA TOUR Superstore, a Georgia corporation; DICK’S Sporting Goods, Inc., a Delaware corporation; and Golf Galaxy, Inc., a Minnesota corporation, Defendants. COMPLAINT For its Complaint against Defendants, Plaintiff Parsons Xtreme Golf, LLC (hereinafter referred to as “PXG”) alleges as follows: PARTIES, JURISDICTION AND VENUE PARTIES 1. Plaintiff PXG is now, and has been at all relevant times, a Delaware limited liability company, having its principal place of business in Scottsdale, Arizona. PXG is properly registered in Arizona as a foreign limited liability company authorized to do business in Arizona. 14763076.4 222769-10177 Case: 1:17-cv-06672 Document #: 2 Filed: 09/15/17 Page 2 of 28 PageID #:5 2. Defendant Golf & Tennis Pro Shop, Inc., d/b/a PGA TOUR Superstore (“PGA Tour Superstore”) is now, and has been at all relevant times, a Georgia corporation having its principal place of business in Roswell, Georgia. 3. Defendant DICK’S Sporting Goods, Inc. (“Dick’s Sporting Goods”) is now, and has been at all relevant times, a Delaware corporation having its principal place of business in Coraopolis, Pennsylvania. 4. Defendant Golf Galaxy, Inc. (“Golf Galaxy”) is now, and has been at all relevant times, a Minnesota corporation having its principal place of business in Coraopolis, Pennsylvania.
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