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Keywords & Phrases
CaseNo: NC115431, CourtName: CLASS ACTION CASES, State: CA California, UniqueCaseRef: LCD>NC115431, Nuance, Exchange, Nuance Stock, Revenue, Lead Plaintiff, Movant, Securities, Communications, Class Actions, Exchange Act, Class Period, Class Action, Reports, Analysts, Common Stock, Misleading Statements, Material Facts, Price, Revenue Growth, San Francisco, United States Securities, Lerach Llp, Market, Relevant Times, Sams, Lead Plaintiff Pursuant, Undersigned Attorneys, News, Laws, Milberg Weiss Bershad, Class Members, Pending, Approve, Law Offices, Media Reports, Individual Defendants , ContentID: 120246232

Case Documents
1   COMPLAINT 4
[ see first page and extracted highlights below  ] ItemID: 114617
14 pages
PDF
2   COMPLAINT 3
[ see first page and extracted highlights below  ] ItemID: 114616
14 pages
PDF
3   COMPLAINT 2
[ see first page and extracted highlights below  ] ItemID: 114615
15 pages
PDF
4   COMPLAINT 1
[ see first page and extracted highlights below  ] ItemID: 114614
14 pages
PDF
5 2000-03 MOTION TO APPOINT DOMENICO DI PINTO AS LEAD PLAINTIFF
[ see first page and extracted highlights below  ] ItemID: 114619
15 pages
PDF
6 2000-03 DEMAND FOR JURY TRIAL
[ see first page and extracted highlights below  ] ItemID: 114618
16 pages
PDF
Total Documents: 6 documents , 88 pages
Price: $ 44.95


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1 . COMPLAINT 4

EXTRACTED KEY WORDS
PLAINTIFFS
DEFENDANTS
EXCHANGE
ANALYSTS
NUANCE STOCK
REPORTS
LAW
REVENUE
SECURITIES
SMITH
COMMUNICATIONS
MEMBERS
EXCHANGE ACT
CLASS PERIOD
PRICE
COMMON STOCK
MATERIAL FACTS
MISLEADING STATEMENTS
RELEVANT TIMES
MATTHEW LENNIG
UNITED STATES SECURITIES
CLASS ACTION
REVENUE GROWTH
LAW OFFICES
LEO
DESMOND
PALM BEACH
UNDERSIGNED ATTORNEYS
MEDIA REPORTS



MILBERG WEISS BERSHAD
HYNES & LERACH LLP
PATRICK J. COUGHLIN (111070)
RANDI D. BANDMAN (145212)
EX KANO S. SAMS II (192936)
100 Pine Street, Suite 2600
San Francisco, CA 94111
Telephone: 415/288-4545
415/288-4534 (fax)
    -and-
WILLIAM S. LERACH (68581)
600 West Broadway, Suite 1800
San Diego, CA 92101
Telephone: 619/231-1058
619/231-7423 (fax)
LAW OFFICES OF LEO W.
DESMOND
LEO W. DESMOND
2161 Palm Beach Lake Blvd.
Suite 204
West Palm Beach, FL 33409
Telephone: 561/712-8000
561/712-8002 (fax)

Attorneys for Plaintiffs




                                   UNITED STATES DISTRICT COURT
                                         NORTHERN DISTRICT OF CALIFORNIA

ASLAN CAPITAL CORP. and JOSEPH                             )  No. C-01-1625-MEJ
M. SCHACHERER, On Behalf of Themselves                     )
and All Others Similarly Situated,                         )  CLASS ACTION
                        Plaintiffs,                        )
                                                           )  COMPLAINT FOR VIOLATION
                                                                  OF THE FEDERAL SECURITIES
    vs.                                                    )
                                                           )  LAWS
                                                           )
NUANCE COMMUNICATIONS, INC.,
                                                           )
RONALD A. CROEN, BRIAN DANELLA,
                                                           )
SNIPPETS:
  • LAW OFFICES OF LEO W. DESMOND LEO W. DESMOND
  • 2161 Palm Beach Lake Blvd. Suite 204 West Palm Beach, FL 33409 Telephone:
  • Attorneys for Plaintiffs
  • Plaintiffs, individually and on behalf of all other persons similarly situated, by their
  • This is a class action on behalf of all persons, other than defendants and certain related
  • The claims asserted herein arise under and pursuant to §§10and 20of the Securities Exchange
  • Plaintiff Aslan Capital Corp. purchased shares of Nuance common stock during the Class
  • Plaintiff Joseph M. Schacherer purchased shares of Nuance common stock during the Class
  • Defendant Brian Danella, at all relevant times, is and was Vice President, Secretary, and
  • Defendant Matthew Lennig, at all relevant times, is and was the Company's Senior Vice
  • Defendant Graham V. Smith, at all relevant times, is and was Vice President and Chief
  • CLASS ACTION ALLEGATIONS
  • The members of the Class are located in geographically diverse areas and are so numerous that
  • Common questions of law or fact exist as to all members of the Class and predominate over any
  • Whether documents, press releases, and other statements disseminated to the investing public
  • Nonetheless, the Company's stock traded for prices as high as $182 per share - prices that
  • After exceeding analysts' earnings expectations for its fourth quarter, and reporting "record
  • the Individual Defendants - contrary to their unwavering public support for the Company's
  • A January 31, 2001 Dain Rauscher Wessels analyst report repeated the same refrain,
  • The Individual Defendants constituted the top management positions of the Company, and were

  • 2 . COMPLAINT 3

    EXTRACTED KEY WORDS
    PLAINTIFFS
    DEFENDANTS
    EXCHANGE
    ANALYSTS
    NUANCE STOCK
    REPORTS
    LAW
    REVENUE
    COMMUNICATIONS
    SECURITIES
    MEMBERS
    EXCHANGE ACT
    PRICE
    CLASS PERIOD
    MARKET
    COMMON STOCK
    MATERIAL FACTS
    MISLEADING STATEMENTS
    RELEVANT TIMES
    UNITED STATES SECURITIES
    CLASS ACTION
    REVENUE GROWTH
    LERACH LLP
    SAN FRANCISCO
    LAW OFFICES
    MARC
    HENZEL
    UNDERSIGNED ATTORNEYS
    MEDIA REPORTS
    
    
    
    MILBERG WEISS BERSHAD
    HYNES & LERACH LLP
    PATRICK J. COUGHLIN (111070)
    RANDI D. BANDMAN (145212)
    EX KANO S. SAMS II (192936)
    100 Pine Street, Suite 2600
    San Francisco, CA 94111
    Telephone: 415/288-4545
    415/288-4534 (fax)
        -and-
    WILLIAM S. LERACH (68581)
    600 West Broadway, Suite 1800
    San Diego, CA 92101
    Telephone: 619/231-1058
    619/231-7423 (fax)
    LAW OFFICES OF MARC S. HENZEL
    MARC S. HENZEL
    210 West Washington Square
    Third Floor
    Philadelphia, PA 19106-3503
    Telephone: 215/625-9999
    215/440-9475 (fax)
    
    Attorneys for Plaintiffs
    
    
    
    
                                       UNITED STATES DISTRICT COURT
                                             NORTHERN DISTRICT OF CALIFORNIA
    
    STUART AND INGRID POMPER, On                             )  No. C-01-1414-EDL
    Behalf of Themselves and All Others                      )
    Similarly Situated,                                      )  CLASS ACTION
                            Plaintiffs,                      ) )  COMPLAINT FOR VIOLATION
                                                                   OF THE FEDERAL SECURITIES
        vs.                                                  ) )  LAWS
    NUANCE COMMUNICATIONS, INC.,    )
                                                             )
    RONALD A. CROEN, BRIAN
                                                             )
    DANELLA,                                                 )
    MATTHEW LENNIG, GRAHAM V.                                )
    SMITH and LLOYD LEANSE,                                  )
                                                             )
                            Defendants.                      )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN EX KANO S. SAMS
  • San Francisco, CA 94111 Telephone: 415/288-4545 415/288-4534 -and-WILLIAM S. LERACH
  • LAW OFFICES OF MARC S. HENZEL MARC S. HENZEL
  • Attorneys for Plaintiffs
  • NUANCE COMMUNICATIONS, INC.,)
  • Plaintiffs, individually and on behalf of all other persons similarly situated, by their
  • through plaintiffs' counsel, which included, inter alia, a review of relevant filings made by
  • This is a class action on behalf of all persons, other than defendants and certain related
  • The claims asserted herein arise under and pursuant to §§10and 20of the Securities Exchange
  • Plaintiffs Stuart and Ingrid Pomper purchased shares of Nuance common stock during the Class
  • Defendant Brian Danella, at all relevant times, is and was Vice President, Secretary, and
  • CLASS ACTION ALLEGATIONS
  • The members of the Class are located in geographically diverse areas and are so numerous that
  • Common questions of law or fact exist as to all members of the Class and predominate over any
  • Whether documents, press releases, and other statements disseminated to the investing public
  • On April 13, 2000, Nuance's common stock was approved for trading on the NASDAQ National
  • Nonetheless, the Company's stock traded for prices as high as $182 per share - prices that
  • After exceeding analysts' earnings expectations for its fourth quarter, and reporting "record
  • the Individual Defendants - contrary to their unwavering public support for the Company's
  • A January 31, 2001 Dain Rauscher Wessels analyst report repeated the same refrain,
  • The Individual Defendants constituted the top management positions of the Company, and were

  • 3 . COMPLAINT 2

    EXTRACTED KEY WORDS
    PLAINTIFF
    DEFENDANTS
    EXCHANGE
    NUANCE STOCK
    LAWS
    REVENUE
    COMMUNICATIONS
    SECURITIES
    MEMBERS
    EXCHANGE ACT
    PRICE
    COUNSEL
    NEWS
    CLASS PERIOD
    MARKET
    COMMON STOCK
    MATERIAL FACTS
    MISLEADING STATEMENTS
    RELEVANT TIMES
    HOLZER
    UNITED STATES SECURITIES
    CLASS ACTION
    REVENUE GROWTH
    VICE PRESIDENT
    LERACH LLP
    SAN FRANCISCO
    GELLER
    BOCA RATON
    UNDERSIGNED ATTORNEYS
    
    
    
    MILBERG WEISS BERSHAD
    HYNES & LERACH LLP
    PATRICK J. COUGHLIN (111070)
    RANDI D. BANDMAN (145212)
    EX KANO S. SAMS II (192936)
    100 Pine Street, Suite 2600
    San Francisco, CA 94111
    Telephone: 415/288-4545
    415/288-4534 (fax)
        -and-
    WILLIAM S. LERACH (68581)
    600 West Broadway, Suite 1800
    San Diego, CA 92101
    Telephone: 619/231-1058
    619/231-7423 (fax)
    
    CAULEY, GELLER, BOWMAN
    & COATES, LLP
    PAUL J. GELLER
    JACK REISE
    One Boca Place, Suite 421A
    2255 Glades Road
    Boca Raton, FL 33431
    Telephone: 561/750-3000
    561/750-3364 (fax)
    
    HOLZER & HOLZER
    COREY D. HOLZER
    6135 Barfield Road, Suite 102
    Atlanta, GA 30328
    Telephone: 404/847-0085
    404/847-0036 (fax)
    
    Attorneys for Plaintiff
    
                                       UNITED STATES DISTRICT COURT
                                            NORTHERN DISTRICT OF CALIFORNIA
    
    KARL HAAKONSON, On Behalf of                           )  No. C-01-1327-JL
    Himself and All Others Similarly Situated,             )  CLASS ACTION
                            Plaintiff,                     ) )  COMPLAINT FOR VIOLATION
        vs.                                                ) )  OF THE FEDERAL SECURITIES
    NUANCE COMMUNICATIONS, INC.,    )  LAWS
                                                           )
    RONALD A. CROEN, BRIAN
                                                           )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN EX KANO S. SAMS
  • San Francisco, CA 94111 Telephone: 415/288-4545 415/288-4534 -and-WILLIAM S. LERACH
  • CAULEY, GELLER, BOWMAN & COATES, LLP PAUL J. GELLER JACK REISE
  • Boca Raton, FL 33431 Telephone:
  • HOLZER & HOLZER COREY D. HOLZER
  • Attorneys for Plaintiff
  • NUANCE COMMUNICATIONS, INC.,) LAWS
  • Plaintiff, individually and on behalf of all other persons similarly situated, by his
  • This is a class action on behalf of all persons, other than defendants and certain related
  • The claims asserted herein arise under and pursuant to §§10and 20of the Securities Exchange
  • Plaintiff Karl Haakonson purchased shares of Nuance common stock during the Class Period, as
  • Defendant Brian Danella, at all relevant times, is and was Vice President, Secretary, and
  • CLASS ACTION ALLEGATIONS
  • The members of the Class are located in geographically diverse areas and are so numerous that
  • Whether documents, press releases, and other statements disseminated to the investing public
  • On April 13, 2000, Nuance's common stock was approved for trading on the NASDAQ National
  • After exceeding analysts' earnings expectations for its fourth quarter, and reporting "record
  • the Individual Defendants - contrary to their unwavering public support for the Company's
  • A January 31, 2001 Dain Rauscher Wessels analyst report repeated the same refrain,
  • Commenting on the disappointing news,
  • The Individual Defendants constituted the top management positions of the Company, and were

  • 4 . COMPLAINT 1

    EXTRACTED KEY WORDS
    PLAINTIFF
    DEFENDANTS
    EXCHANGE
    CLASS ACTION
    NUANCE STOCK
    LAW
    REVENUE
    COMMUNICATIONS
    SECURITIES
    MEMBERS
    EXCHANGE ACT
    PRICE
    COUNSEL
    CLASS PERIOD
    MARKET
    COMMON STOCK
    MATERIAL FACTS
    MISLEADING STATEMENTS
    RELEVANT TIMES
    UNITED STATES SECURITIES
    REVENUE GROWTH
    VICE PRESIDENT
    LERACH LLP
    SAN FRANCISCO
    BALA PLAZA EAST
    LAW OFFICES
    BRUCE
    MURPHY
    UNDERSIGNED ATTORNEYS
    
    
    
    
    MILBERG WEISS BERSHAD
    HYNES & LERACH LLP
    REED R. KATHREIN (139304)
    100 Pine Street, Suite 2600
    San Francisco, CA 94111
    Telephone: 415/288-4545
    415/288-4534 (fax)
        -and-
    WILLIAM S. LERACH (68581)
    DARREN J. ROBBINS (168593)
    600 West Broadway, Suite 1800
    San Diego, CA 92101
    Telephone: 619/231-1058
    619/231-7423 (fax)
    
    SCHIFFRIN & BARROWAY, LLP
    MARC A. TOPAZ
    Three Bala Plaza East, Suite 400
    Bala Cynwyd, PA 19004
    Telephone: 610/667-7706
    610/667-7056 (fax)
    
    LAW OFFICES OF BRUCE G. MURPHY
    BRUCE G. MURPHY
    265 Llwyds Lane
    Vero Beach, FL 32963
    Telephone: 561/231-4202
    561/231-4042 (fax)
    
    Attorneys for Plaintiff
    
                                       UNITED STATES DISTRICT COURT
    
                                    NORTHERN DISTRICT OF CALIFORNIA
    
    
    ALMARC TRADING, LLC, On Behalf                    )  No. C-01-20262-PVT
    of Itself and All Others Similarly Situated,      )  CLASS ACTION
                            Plaintiff,                ) )  COMPLAINT FOR VIOLATION
        vs.                                           ) )  OF THE FEDERAL SECURITIES
                                                      )  LAWS
    NUANCE COMMUNICATIONS, INC.,   )
    RONALD A. CROEN, BRIAN
                                                      )
    DANELLA, MATTHEW LENNIG,
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP REED R. KATHREIN
  • San Francisco, CA 94111 Telephone: 415/288-4545 415/288-4534 -and-WILLIAM S. LERACH DARREN J.
  • Three Bala Plaza East, Suite 400
  • LAW OFFICES OF BRUCE G. MURPHY BRUCE G. MURPHY
  • Attorneys for Plaintiff
  • of Itself and All Others Similarly Situated,) CLASS ACTION
  • NUANCE COMMUNICATIONS, INC.,)
  • Plaintiff, individually and on behalf of all other persons similarly situated, by its
  • This is a class action on behalf of all persons, other than defendants and certain related
  • The claims asserted herein arise under and pursuant to §§10and 20of the Securities Exchange
  • Plaintiff Almarc Trading, LLC purchased shares of Nuance common stock during the Class
  • Defendant Brian Danella, at all relevant times, is and was Vice President, Secretary, and
  • The members of the Class are located in geographically diverse areas and are so numerous that
  • Common questions of law or fact exist as to all members of the Class and predominate over any
  • Whether documents, press releases, and other statements disseminated to the investing public
  • On April 13, 2000, Nuance's common stock was approved for trading on the NASDAQ National
  • Nonetheless, the Company's stock traded for prices as high as $182 per share - prices that
  • the Individual Defendants - contrary to their unwavering public support for the Company's
  • A January 31, 2001 Dain Rauscher Wessels analyst report repeated the same refrain,
  • The Individual Defendants constituted the top management positions of the Company, and were

  • 5 . MOTION TO APPOINT DOMENICO DI PINTO AS LEAD PLAINTIFF

    EXTRACTED KEY WORDS
    MOVANT
    NUANCE
    CLASS ACTIONS
    COUNSEL
    COURT
    DEFENDANTS
    SAMS
    SAN FRANCISCO
    LEAD PLAINTIFF PURSUANT
    CLASS MEMBERS
    PENDING
    APPROVE
    SECURITIES
    REVENUE
    LERACH LLP
    APPOINTED LEAD PLAINTIFF
    MOTION
    EXCHANGE ACT
    MILBERG WEISS BERSHAD
    NUANCE STOCK
    CLASS PERIOD
    MISLEADING STATEMENTS
    NUANCE COMMUNICATIONS
    REVENUE GROWTH
    PSLRA
    INDIVIDUAL DEFENDANTS
    PURPORTED CLASS
    PROCEDURAL BACKGROUND
    NUANCE PRODUCTS
    
    
    
    MILBERG WEISS BERSHAD
    HYNES & LERACH LLP
    PATRICK J. COUGHLIN (111070)
    RANDI D. BANDMAN (145212)
    EX KANO S. SAMS II (192936)
    100 Pine Street, Suite 2600
    San Francisco, CA 94111
    Telephone: 415/288-4545
    415/288-4534 (fax)
    - and -
    WILLIAM S. LERACH (68581)
    600 West Broadway, Suite 1800
    San Diego, CA 92101
    Telephone: 619/231-1058
    619/231-7423 (fax)
    [Proposed] Lead Counsel for Plaintiffs
    
    
    
    
                                       UNITED STATES DISTRICT COURT
    
                                   NORTHERN DISTRICT OF CALIFORNIA
    SAN JOSE DIVISION
    
    AMAR SINGH, et al., On Behalf of               )  No. C-01-20320-JW
    Themselves and All Others Similarly Situated,   )  CLASS ACTION
                            Plaintiffs,            ) ) NOTICE OF MOTION AND MOTION
        vs.                                        ) ) TO APPOINT DOMENICO DI PINTO
                                                   )
    NUANCE COMMUNICATIONS, INC.,  AS LEAD PLAINTIFF PURSUANT TO
                                                   )
    et al.,                                              SECTION 21D(a)(3)(B) OF THE
                                                   )  SECURITIES EXCHANGE ACT OF 1934
                                                   )
                            Defendants.            )  AND TO APPROVE LEAD PLAINTIFF'S
    _________________________________ )  CHOICE OF COUNSEL;
                                                   ) MEMORANDUM OF POINTS AND
                                                         AUTHORITIES IN SUPPORT THEREOF
    
                                                         DATE:         June 25, 2001
                                                         TIME:         9:00 a.m.
                                                         COURTROOM: 8,
                                                         The Honorable James Ware
    
                                             TABLE OF CONTENTS
    
    SNIPPETS:
  • 619/231-1058 619/231-7423 Lead Counsel for Plaintiffs
  • NUANCE COMMUNICATIONS, INC., AS LEAD PLAINTIFF PURSUANT TO
  • PROCEDURAL BACKGROUND
  • SUMMARY OF PENDING ACTIONS
  • Movant Believes He Has the Largest Financial Interest in the Relief Sought by the Class
  • This Court Should Approve Movant's Choice of Counsel
  • NOTICE OF MOTION AND MOTION
  • PLEASE TAKE NOTICE that on June 25, 2001, at 9:00 a.m., or as soon thereafter as this matter
  • Movant meets the requirements of Rule 23 of the Federal Rules of Civil Procedure because his
  • Movant has selected and retained a law firm with substantial experience in prosecuting
  • The motion is based on this notice of motion, the supporting memorandum of points and
  • Section 21D of the Exchange Act, as amended by the PSLRA, establishes the procedure for the
  • that, not later than 60 days after the date on which the notice is published, any member of
  • Movant has suffered thousands of dollars in losses as a result of his purchases of Nuance
  • The Exchange Act, as amended by the PSLRA, requires prompt publication of notice advising
  • Nonetheless, the Company's stock traded for prices as high as $182 per share - prices that
  • After exceeding analysts' earnings expectations for its fourth quarter, and reporting "record
  • the Individual Defendants- contrary to their unwavering public support for the Company's
  • Nuance attributes the revenue shortfall primarily to general economic conditions, which have
  • The Individual Defendants constituted the top management positions of the Company, and were
  • In addition, Movant has selected the law firm of Milberg Weiss Bershad Hynes & Lerach LLP, a
  • Movant satisfies the requirements of Rule 23 and all of the PSLRA's prerequisites for
  • That declarant is and was, at all times herein mentioned, a citizen of the United States and
  • Movant is Domenico Di Pinto, who purchased Nuance Communications, Inc. securities between

  • 6 . DEMAND FOR JURY TRIAL

    EXTRACTED KEY WORDS
    PLAINTIFFS
    DEFENDANTS
    NUANCE STOCK
    EXCHANGE
    REPORTS
    REVENUE
    COUNSEL
    COMMUNICATIONS
    SECURITIES
    ANALYST
    PRICES
    CLASS PERIOD
    INDIVIDUAL DEFENDANTS
    MATERIAL FACTS
    CLASS ACTION
    NEWS
    EXCHANGE ACT
    COMMON STOCK
    MISLEADING STATEMENTS
    REVENUE GROWTH
    MILBERG WEISS BERSHAD
    LERACH LLP
    SEEGER WEISS LLP
    SAN FRANCISCO
    UNITED STATES SECURITIES
    MEDIA REPORTS
    REPRESENTATIONS
    MISREPRESENTATIONS
    PROFITABILITY
    
     1 MILBERG WEISS BERSHAD
            HYNES & LERACH LLP
     2 REED R. KATHREIN (139304)
          100 Pine Street, Suite 2600
     3 San Francisco, CA  94111
          Telephone:  415/288-4545
     4 415/288-4534 (fax)
                 -and-
     5 WILLIAM S. LERACH (68581)
          DARREN J. ROBBINS (168593)
     6 600 West Broadway, Suite 1800
          San Diego, CA  92101
     7 Telephone:  619/231-1058
          619/231-7423 (fax)
     8 SEEGER WEISS LLP
     9 CHRISTOPHER A. SEEGER                                     SAVETT FRUTKIN PODELL &
          DAVID R. BUCHANAN                                        RYAN, P.C.
    10 SETH A. KATZ                                              ROBERT P. FRUTKIN
          STUART P. SLOMICK                                      BARBARA A. PODELL
    11 One William Street                                        325 Chestnut Street, Suite 700
          New York, NY  10004-2502                               Philadelphia, PA  19106
    12 Telephone:  212/584-0700                                  Telephone:  215/923-5400
          212/584-0799 (fax)                                     215/923-9353 (fax)
    13 Attorneys for Plaintiffs
    14 [Additional counsel appear on signature page.]
    15
    
    16                                    UNITED STATES DISTRICT COURT
    17                                   NORTHERN DISTRICT OF CALIFORNIA
    
    18 AMAR SINGH, YESHAYAHUA GARFINKLE ) No.
    19 and MICHAEL D. WOLIN, On Behalf of                  )
          Themselves and All Others Similarly Situated,    ) CLASS ACTION
    20                                                     )
                                           Plaintiffs,     ) COMPLAINT FOR VIOLATION OF THE
    21                                                     ) FEDERAL SECURITIES LAWS
                 vs.                                       )
    22                                                     )
          NUANCE COMMUNICATIONS, INC.,                     )
    23 RONALD A. CROEN, BRIAN DANELLA,                     )
          MATTHEW LENNIG, GRAHAM V. SMITH                  )
    24 and LLOYD LEANSE,                                   ))
    25                                     Defendants.     ))
    26                                                     ) DEMAND FOR JURY TRIAL
    
    27
    
    28
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP
  • San Francisco, CA 94111 Telephone:
  • SEEGER WEISS LLP
  • 14 [Additional counsel appear on signature page.]
  • included, inter alia, a review of relevant filings made by Nuance Communications, Inc.
  • "Company"), with the United States Securities and Exchange Commission, as well as
  • teleconferences, press releases, news articles, analyst reports, and media reports concerning
  • this complaint is based upon plaintiffs' personal knowledge as to themselves and their own
  • 15 Exchange Act of 1934 and 78t) and Rule 10b-5 promulgated
  • 25 telephone communications, and the facilities of the national securities markets.
  • the Class Period, as set forth on the Certification annexed hereto, and was damaged thereby.
  • 22 as "Individual Defendants."
  • 26 Individual Defendants had the power and influence to cause the Company to engage in the
  • As of March 16, 2001, the Company had more than 30 10 million shares of its common stock
  • 23 material facts concerning the business of the Company;
  • There will be no difficulty in the management of this action as a class action.
  • 21 stock traded for prices as high as $182 per share ­ prices that reflected investors'
  • 23 near-term profitability.
  • 25 revenue" results as well, defendants reaffirmed Nuance's leadership position in the
  • 26 market and the continued revenue growth experienced since the end of the fourth quarter.
  • 28 stock ­ liquidated vast quantities of their holdings in Nuance stock.
  • Defendants' False and Misleading Statements
  • either had actual knowledge of the misrepresentations and/or omissions of material facts set
  • 20 and many were representations about the Company's present status.
  •    |