Date of First Publication: Oct 3, 2024

FOR THE US COURT
FOR THE DISTRICT OF COLUMBIA

Microsoft Corporation, a Washington Corporation,
NGO-ISAC, a New York Non-Profit Corporation

Plaintiff,

v.

JOHN DOES 1-2, CONTROLLING A
COMPUTER NETWORK AND
THEREBY INJURING PLAINTIFF
AND ITS CUSTOMERS,

Defendants.


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)    Civil Action No. 1:24-cv-02719-RC
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Plaintiffs Microsoft Corporation (“Microsoft”) and NGO Information Sharing and Analysis Center (“NGO-ISAC”) have sued Defendants John Does 1-2 associated with the Star Blizzard cybercriminal operation and domains listed in the documents set forth herein. Plaintiffs allege that the Star Blizzard Defendants have violated Federal and state law by hosting a cybercriminal operation through these domains, orchestrating a sophisticated spear phishing operation, impersonating victims and victims’ contacts to trick the victim into sharing login credentials, using the login credentials to infiltrate email systems, and exfiltrating sensitive personal and commercial data and have committed intellectual property violations to the injury of Plaintiffs and Plaintiffs’ customers and member organizations. Plaintiffs seek a preliminary injunction directing the registrars associated with these domains to take all steps necessary to disable access to and operation of these domains to ensure that changes or access to the domains cannot be made absent a court order and that all content and material associated with these domains are to be isolated and preserved pending resolution of the dispute. Plaintiffs seek a permanent injunction, other equitable relief and damages. Full copies of the pleading documents are available at www.noticeofpleadings.com/starblizzard.

NOTICE TO DEFENDANTS: READ THESE PAPERS CAREFULLY! You must “appear” in this case or the other side will win automatically. To “appear” you must file with the court a legal document called a “motion” or “answer.” The “motion” or “answer” must be given to the court clerk or administrator within 21 days of the date of first publication specified herein. It must be in proper form and have proof of service on the Plaintiffs’ attorneys, Jeffrey L. Poston at Crowell & Moring LLP, 1001 Pennsylvania Avenue NW, Washington D.C. 20004, jposton@crowell.com. If you have questions, you should consult with your own attorney immediately.

MOTION FOR DOE DISCOVERY

MOTION FOR DEFAULT JUDGEMENT AND PERMANENT INJUNCTION

Contact Us

If you wish to contact us by e-mail, fax, phone or letter please contact us at:

Jeffrey L. Poston
Crowell & Moring LLP
1001 Pennsylvania Ave. NW
Washington, DC 20004

Telephone: +1 (202) 624-2775
Facsimile: +1 (202) 628-5116
Email: jposton@crowell.com