The present invention relates to a very small, lightweight pistol which is able to shoot two bullets without reloading. In particular, the present invention relates to a pistol which is generally intended for use as a “back-up” or concealed carry weapon which is small and light weight, but which is designed and constructed so as to provide a two shot capability, with successive shots made by successive trigger pulls. Alternatively, both shots may be made with a single trigger pull.
Small, light weight pistols, such as those made by Derringer, have been available for many years. While such pistols included double barrel pistols, they were not designed to provide a two shot capability (a so-called “double tap” shooting technique capability) without taking action other than by making successive trigger pulls. Thus, such pistols typically required some additional action by the shooter, such as the flipping of a lever, manually cocking the hammer, or the use of two triggers, in order to provide two shot capability. Even then, once the pistols of the prior art had been discharged they were not designed to be reloaded quickly, easily, or conveniently.
The prior art also included such single shot, small, light weight pistols as the “Liberator” which was quite inexpensive to manufacture and which included space within its butt where additional rounds of ammunition could be stored. Once again, however, the design of the Liberator pistol did not permit reloading to be quick, easy, or convenient. Further, the design of the Liberator pistol was such that it included numerous parts which were not “smoothly” integrated whereby that pistol could be quickly and reliably extricated from a pocket or other concealed location without a likelihood of some portion of the pistol (e.g., a hammer) catching on the user's clothing, etc., which feature is especially important in a tactical situation.
Accordingly, there has been an ongoing need in the law enforcement and military fields for a well made, light weight, readily concealed backup or tactical weapon which could provide the user with a two shot capability, as well as being easily concealed without fear that the design would catch on the inside of a user's pocket, or other article of clothing, or other concealed location when the user needed to quickly extract the weapon in an emergent situation.
There have also been ongoing needs for a pistol which could be discharged twice in rapid succession and then quickly and reliably reloaded with available cartridges, as well as for a pistol in which the barrel assembly can be quickly and easily changed without tools, and where different barrel assemblies can be adapted for use with different caliber cartridges.
Another unmet need of the prior art has been for a pistol which could have interchangeable barrels, whereby the same pistol could be used with multiple calibers of ammunition, as desired.
The present invention is a pistol which is small, lightweight, and easily concealed. The present invention includes a single trigger which is used in a double action mode, whereby successive pulls of the trigger will result in the discharge of the two cartridges contained in the double barrel over/under configuration used in the receiver of the preferred embodiment of the invention. In many respects the present invention is similar to an over/under double barrel shotgun in that its receiver preferably has an over/under, or superposed, configuration. Further, the pistol of the present invention includes a spring-loaded cartridge ejector mechanism along with a spring loaded “thumb latch” which can be moved forward from either side of the pistol from a first “locked” position to a second “unlocked” position, whereby the receiver is released from a first “locked and loaded” position and tilted forward by a barrel tip-up spring surrounding a retainer/pivot. When the receiver is tilted forward the spent cartridges will be ejected by a spring loaded ejector mechanism, so that the breach is emptied of the spent cartridges whereby they can be quickly replaced with spare cartridges.
In accordance with the invention, the butt of the pistol preferably includes a cartridge trap adapted to hold two spare cartridges which are held together by a cartridge retention device called a “Heizer loading device” which has been designed to hold the spare cartridges in the correct juxtaposition so as to enable the user to quickly, and simultaneously, place them into the breach of the receiver. In accordance with the invention, the cartridge trap has a “trap door” at the bottom of the grip. The trap door is held closed by a detent in normal use, but it can be readily flipped open to allow the spare cartridges, which are connected together in the foregoing “Heizer loading device”, to be dropped into the waiting hand of the user, who can then quickly, easily, and reliably reload the pistol by sliding the spare cartridges into the waiting breach and then removing the “Heizer loading device” into which the rear of the spare cartridges has been placed.
In the drawing:
In accordance with the present invention a small, lightweight, two shot pistol 10 is shown in
In accordance with the preferred embodiment of the invention, the pistol 10 includes a single trigger 18, which is preferably a double action trigger. The receiver 12 (shown in
The pistol 10 further includes a butt, or pistol grip 32 which is designed to receive a pair of spare cartridges 34, 36. In the preferred embodiment of the invention the pistol grip 32 is a machined integral grip, as it is machine processed to provide a pattern or design which emulates a texture, which may include designs or logos, as shown in
In the preferred embodiment of the invention a lanyard mount 46 is preferably included on the rear portion of the grip 32, whereby the pistol 10 may be retained by a lanyard or chain, as desired by the user.
Various features of the pistol 10 of the preferred embodiment of the invention are included in order to minimize any likelihood of catching or snagging as the user withdraws the pistol 10 from his pocket or other clothing. Thus, with continued reference to
In accordance with the preferred embodiment of the invention, ambidextrous thumb latches 50 (See,
When the rear of the barrel assembly 12 tips up, the spring-loaded ejector 26 forces the cartridges 28, 30 out of the breach 24 as soon as the breach 24 clears the frame. The user can then open the trap door 38 (which is held closed by a detent) and remove the cartridge loading device 42, which retains the spare cartridges 34, 36, from the cartridge trap 40 within the grip 32. While holding the tab 44, the user can quickly reload the pistol 10, tear the cartridge loading device 42 from the newly loaded cartridges 34, 36, and snap the barrel assembly 12 into its down, locked, and ready position.
As set forth above, another feature of the pistol 10 of the preferred invention is that it is designed to have an internal hammer 62 along with a smoothly joined exterior configuration whereby the likelihood of something on the pistol 10 “catching” when the pistol 10 is removed from a concealed location, e.g., from a user's pocket, is greatly reduced. With reference to
While it is possible to have a single forward movement of the hammer 62 drive the firing pins in each of the firing pin assemblies 88, 90 into the cartridges 28, 30, in the preferred embodiment of the invention the hammer 62 has a cylindrical bore formed therein and a firing pin selector, in the shape of a cylinder is positioned within the cylindrical bore. The firing pin selector of the preferred embodiment of the invention (not shown) includes four faces, two of which have a flat portion in juxtaposition with the upper firing pin assembly 88, and two of which have a flat portion in juxtaposition with the lower firing pin assembly 90. On each of the faces of the firing pin selector, there is also a convex portion which prevents the firing pin selector from contacting the firing pin assembly 88 or 90 which is not to be struck. Firing pin indexes 92 on the the firing pin selector cause the firing pin selector to rotate a quarter of a turn when they engage a yoke (not shown) each time the hammer 62 is brought back to fire the pistol 10. Thus, on each successive pull of the trigger 16, the firing pin in either the top firing pin assembly 88 or the firing pin in the bottom firing pin assembly 90, will be struck, but both will not be struck at the same time.
The use of the so-called roller bearing trigger system (so named because of the use of multiple roller bearings 74, 76) causes the trigger action to be extremely smooth.
Further features found in the preferred embodiment of the invention, which are designed to provide both strength and light weight to the pistol 10, are that the grip 32 is preferably made of a lightweight material, such as aluminum or titanium, while the barrels 20, 22 are preferably made of 416 stainless steel, as are the hammer 62 and other internal components. Titanium or aluminum alloy are preferably used to make the frame, with aluminum alloy being lighter and titanium being stronger without adding undue weight to the pistol 10.
A safety feature of the pistol 10 is that there is a space between the rear and the firing pin assemblies 88, 90 which provides a positive visual indication of whether the chamber is loaded as the rear of the cartridges are visually exposed.
As will be understood by those skilled in the art, many shooters consider the shape and size of the original and subsequent “1911” platform to be ergonomically preferred (so-called “1911 ergonomics”). Thus, the grip in the preferred embodiment of the invention angles back (from the vertical) by 17 degrees, the distance from the rear of the grip 32 (called the “back strap”) to the front of the trigger 18, and the size and shape of the trigger 18 are in accordance with such 1911 ergonomics.
Yet, another feature of the preferred embodiment is that it uses progressively ported barrels which include a series of specifically designed gas venting holes 96, 98 in the barrels 20, 22. The purpose of the venting holes 96, 98 is that when the pistol 10 is discharged pressurized gases are diverted in specific directions and angles to reduce both recoil and muzzle climb.
As set forth above, the pistol 10 of the preferred embodiment includes a pivoting retaining member 14 which is used to attach the receiver 12 to the pistol 10. In the preferred embodiment of the invention, the pivoting retaining member 14, which may be in the form of a movable pin, or other suitable form allows the pistol to utilize interchangeable receivers 12, whereby the superposed double barrel receiver 12 is interchangeable to multiple calibers utilizing the same frame. By way of example, receivers including barrels for available calibers could include .22 caliber, 22 mag, 22 hornet, 5.7×28 mm, .25 mm, .380, 9 mm, 10 mm, .40 S&W, .38 Special, .357 Magnum, .410, 45 ACP, 45 Long Colt, 44 Magnum, 50 S&W Magnum, or such other calibers as may be available or desired without departing from the present invention.
While the preferred embodiment of the invention has been described and illustrated, those skilled in the art will recognize that numerous variations of the present invention can be made without departing from the spirit of scope of the invention described and claimed. By way of one example, while a two barrel over/under configuration has been described, it is possible for there to be more than two barrels or for the configuration to be other than an over/under configuration. Thus, it would be within the scope of the invention to have a side-by-side configuration, a dual side-by-side configuration with one pair of barrels being in an over/under relationship with a second pair of barrels, or even a three barrel configuration in which the axes of the three barrels are parallel, but not necessarily in-line, i.e., in which they have a triangular juxtaposition.
The present application is a continuation of U.S. patent application Ser. No. 13/333,513, filed Dec. 21, 2011, and entitled “Two Shot Pistol,” which claims the benefit of and priority to U.S. provisional application Ser. No. 61/426,458 entitled Two Shot Pistol, filed Dec. 22, 2010, all of which are incorporated herein by reference in their entireties.
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Entry |
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Additional Counterclaim Defendants Ray Kohout and Marvin Dufner's Reply to Defendant's Verified Counterclaim and Plaintiff's First Amended Reply to Defendants' Verified Counterclaim, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Apr. 1, 2013 (15 pages). |
Certificate of Service, Doubletap Defense LLC, et al. v. Heizer Aerospace, Inc., et al., Case No. 13SL-CC00012, Division No. 16, Apr. 1, 2013 (3 pages). |
Certificate of Service, Doubletap Defense LLC, et al. v. Heizer Aerospace, Inc., et al., Case No. 13SL-CC00012, Division No. 16, Jan. 25, 2013 (3 pages). |
Certificate of Service, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp. v. Heizer Aerospace Inc., Heizer Defense, LLC, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Apr. 1, 2013 (4 pages). |
Certificate of Service, Doubletap Defense LLC. et al. v. Heizer Aerospace, Inc., et al., Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (3 pages). |
Charles K. Heizers Objections and Answers to Plaintiffs First Interrogatories to Defendant Charles K. Heizer, Doubletap Defense LLC, et al., Heizer Aerospace, Inc., et al., Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (40 pages). |
Charles K. Heizers' Objections and Responses to Plaintiffs' First Request for Production of Documents to Defendant Charles K. Heizer, Doubletap Defense LLC, et al., Heizer Aerospace, Inc., et al., Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (32 pages). |
Consent Order, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants, Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 14, 2013 (2 pages). |
Defendant Heizer Aerospace Inc.'s Objections and Answers to Plaintiffs First Interrogatories to Defendant Heizer Aerospace Inc., Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (39 pages). |
Defendant Heizer Defense, LLC's Objections and Answers to Plaintiffs First Interrogatories to Defendant Heizer Defense, LLC, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (40 pages). |
Defendants Memorandum in Opposition to Plaintiffs Motion for Temporary Restraining Order, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants, Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 9, 2013 (44 pages). |
Defendants/Counterclaim Plaintiffs First Request for Production of Documents Directed to Plaintiffs/Counterclaim Defendants and Additional Counterclaim Defendants, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants, Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 25, 2013 (13 pages). |
Defendants/Counterclaim Plaintiffs First Set of Interrogatories Directed to Plaintiffs/Counterclaim Defendants and Additional Counterclaim Defendants, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants, Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 25, 2013 (11 pages). |
Defendants/Counterclaim Plaintiffs Motion to Dismiss Counts III, IV, VI and VII of Plaintiffs/Counterclaim Defendants Verified Petition, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants, Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (15 pages). |
Entry of Appearance, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 9, 2013 (2 pages). |
Entry of Appearance, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Feb. 21, 2013 (5 pages). |
Hedy Heizer Gahn's Objections and Answer to Plaintiffs First Interrogatories to Defendant Hedy Heizer Gahn, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (40 pages). |
Hedy Heizer Gahns Objections and Responses to Plaintiffs' First Request for Production of Documents to Defendant Hedy Heizer, Doubletap Defense LLC, et al., Plaintiffs v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013(31 pages). |
Heizer Aerospace Inc. Presentation at Jan. 9, 2013 Hearing (26 pages). |
Heizer Aerospace Inc.'s Objections and Responses to Plaintiffs First Request for Production of Documents to Defendant Heizer Aerospace Inc., Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (31 pages). |
Heizer Defense, LLC's Objections and Responses to Plaintiffs First Request for Production of Documents to Defendant Heizer Defense, LLC, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (32 pages). |
James Bruchas's Objections and Answer to Plaintiffs First Interrogatories to Defendant James Bruchas, Doubletap Defense LLC, et al., Plaintiffs v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (17 pages). |
James Bruchas's Objections and Responses to Plaintiffs First Request for Production of Documents to Defendant James Bruchas, Doubletap Defense LLC, et al., Plaintiffs v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (14 pages). |
Memorandum, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 10, 2013 (18 pages). |
Memorandum, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 10, 2013 (28 pages). |
Memorandum, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 11, 2013 (3 pages). |
Motion to Disqualify Attorney Robert J. Kaufman, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 9, 2013 (5 pages). |
Motion to Expedite Discovery,Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 11, 2013 (4 pages). |
Motion to Quash Subpoenas and for Protective Order, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v.Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Jan. 11, 2013 (43 pages). |
Notice of Hearing re Motion to Disqualify, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 22, 2013 (5 pages). |
Notice of Hearing, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 4, 2013 (4 pages). |
Order Hearing on Temporary Restraining Order, Doubletap Defense LLC, et al., Plaintiffs v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Jan. 3, 2013 (2 pages). |
Order, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 4, 2013 (3 pages). |
Plaintiffs' First Interrogatories to Defendant Charles K. Heizer, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v.Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (24 pages). |
Plaintiffs' First Interrogatories to Defendant Hedy Jane Heizer-Gahn, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (24 pages). |
Plaintiffs' First Interrogatories to Defendant Heizer Aerospace, Inc., Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (24 pages). |
Plaintiffs' First Interrogatories to Defendant Heizer Defense, LLC, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (24 pages). |
Plaintiffs' First Interrogatories to Defendant James Bruchas, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SLCC00012, Division No. 16, Jan. 4, 2013 (15 pages). |
Plaintiffs' First Interrogatories to Defendant Rodney Mullins, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (15 pages). |
Plaintiffs' First Interrogatories to Defendant Thomas Heizer, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (24 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Charles Heizer, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (20 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Hedy Jane Heizer-Gahn, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (20 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Heizer Aerospace, Inc., Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (20 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Heizer Defense, LLC, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (20 pages). |
Plaintiffs' First Request for Production of Documents to Defendant James Bruchas, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (13 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Thomas Heizer, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (20 pages). |
Plaintiffs' First Request for Production of Documents to Defendant Rodney Mullins, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, No Date (13 pages). |
Plaintiffs Motion for Expedited Discovery and to Shorten Time for Hearing of Motion, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 3, 2013 (10 pages). |
Plaintiffs Motion for Preliminary Injunction, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 2, 2013 (39 pages). |
Plaintiffs Motion for Temporary Restraining Order, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 2, 2013 (40 pages). |
Plaintiffs' Reply and Affirmative Defenses to Defendants' Verified Counterclaims, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation, Plaintiffs/Counterclaim Defendants, v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins,Defendants/Counterclaim Plaintiffs. v. Heizer Technologies, LLC, misnamed and k/n/a Doubletap Defense, LLC, and Ray Kohout, and Marvin Dufner,Counterclaim Defendants. Case No. 13SL-CC00012, Division No. 16, Jan. 2, 2013 (22 pages). |
Plaintiffs' Response in Opposition to Defendants' Motion to Disqualify Attorney Robert J. Kaufman and Brief in Support, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., a Missouri corporation v. Heizer Aerospace Inc. a Missouri corporation, Heizer Defense, LLC, a Missouri Limited Liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Case No. 13SL-CC00012, Division No. 16, Jan. 23, 2013 (15 pages). |
Plaintiffs/Counterclaim Defendants Answer and Objections to Defendants/Counterclaim Plaintiffs' First Set of Interrogatories, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Apr. 1, 2013 (12 pages). |
Plaintiffs/Counterclaim Defendants Responses and Objections to Defendants/Counterclaim Plaintiffs First Requests for Production of Documents to Defendants/Counterclaim Plaintiffs' First Set of Interrogatories, Doubletap Defense LLC, et al., Plaintiffs/Counterclaim Defendants v. Heizer Aerospace, Inc., et al., Defendants/Counterclaim Plaintiffs, Case No. 13SL-CC00012, Division No. 16, Apr. 1, 2013 (23 pages.). |
Request for Appointment of Process Server, Doubletap Defense LLC, f/k/a Heizer Technologies, LLCet al., v. Heizer Defense, LLCet al, Case No. 13SL-CC00012, Division No. 16, Jan. 3, 2013 (2 pages). |
Rodney Mullins' Objections and Answers to Plaintiffs' First Interrogatories to Defendant Rodney Mullins, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (17 pages). |
Rodney Mullins' Objections and Responses to Plaintiffs' Request for Production of Documents to Defendant Rodney Mullins, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (14 pages). |
Subpoena Directed to Charles Heizer, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Jan. 11, 2013 (8 pages). |
Subpoena Directed to Dennis Donohue, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Jan. 11, 2013 (9 pages). |
Thomas Heizer's Objections and Answers to Plaintiffs' First Interrogatories to Defendant Thomas Heizer, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (40 pages). |
Thomas Heizer's Objections and Responses to Plaintiffs' First Request for Production of Documents to Defendant Thomas Heizer, Doubletap Defense LLC, et al., Plaintiffs, v. Heizer Aerospace, Inc., et al., Defendants, Case No. 13SL-CC00012, Division No. 16, Feb. 19, 2013 (14 pages). |
US Notice of Allowance for U.S. Appl. No. 29/409,263 dated Apr. 3, 2013 (8 pages). |
US Office Action for U.S. Appl. No. 13/333,513 dated Mar. 14, 2013 (5 pages). |
US Office Action for U.S. Appl. No. 29/409,263 dated Dec. 19, 2012 (6 pages). |
Verified Counterclaims, Doubletap Defense LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corp., Plaintiffs/Counterclaim Defendants, v. Heizer Aerospace Inc., Heizer Defense, LLC, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Defendants/Counterclaim Plaintiffs, v. Heizer Technologies, LLC, Serve CT Corporation, Serve Ray Kohout, Serve Marvin Dufner, Case No. 13SL-CC00012, Division No. 16, Jan. 8, 2013 (28 pages). |
Verified Motion for Admission Pro Hac Vice, Doubletap Defense, LLC, f/k/a Heizer Technologies, LLC, and Central Holding CorporationPlaintiffs, v. Heizer Aerospace Inc., Heizer Defense, LLC, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, Rodney Mullins, Defendants. Case No. 13SL-CC00012, Division No. 16, Jan. 2, 2013 (7 pages). |
Verified Motion for Admission Pro Hac Vice, Doubletap Defense, LLC, f/k/a Heizer Technologies, LLC, and Central Holding Corporation, a Missouri Corporation, Plaintiffs, v. Heizer Aerospace Inc., a Missouri limited liability corporation, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, and Rodney Mullins, Defendants. Case No. 13SL-CC00012, Division No. 16, Jan. 10, 2013 (5 pages). |
Verified Petition for Breach of Non-Disclosure Agreement, Breach of Joint Venture Agreement, Negligent Misrepresentation, Fraud, Conversion Replevin, Defamation, Injurious Falsehood, Breach of Fiduciary Duty, Breach of the Duty of Loyalty, Temporary Restraining Order and Preliminary and Permanent Injunction, and Violation of the Missouri Trade Secrets Act, Doubletap Defense, LLC, f/k/a Heizer Technologies, LLC, and Central Holding CorporationPlaintiffs, v. Heizer Aerospace Inc., Heizer Defense, LLC, Charles K. Heizer, Thomas Heizer, Hedy Jane Heizer-Gahn, James Bruchas, Rodney Mullins, Defendants. Case No. 13SL-CC00012, Division No. 16, Jan. 2, 2013 (60 pages). |
Number | Date | Country | |
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20130205632 A1 | Aug 2013 | US |
Number | Date | Country | |
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61426458 | Dec 2010 | US |
Number | Date | Country | |
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Parent | 13333513 | Dec 2011 | US |
Child | 13828722 | US |