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CHOLESTECH CLASS ACTION LITIGATION Click to find out why . . .



Keywords & Phrases
CaseNo: CCAL177060, CourtName: CLASS ACTION CASES, State: CA California, UniqueCaseRef: LCD>CCAL177060, Cholestech, Complaint, Fees, Civil Action, Class Action Settlement, Support, Settlement, Pjh, Pinckert, Expenses, Dark Fiber, Caprock, Stock, Mpa, Robert, Ree, Glancy, Cir, Motion, Lead Counsel, Ldx System, Secondary Offering, Judge, Revenue, Entry, Fiber Network, Amended Complaint, Class Action, Shares, Market, Class Period, Parties, United States, Distributors, Securities, Allocation, Plan, Allegations, Caprock Communications, Reimbursement, Declaration, Analyzers, California, Hamilton , ContentID: 120249560

Case Documents
1   MOTION TO DISMISS AMENDED COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 122031
27 pages
TXT
3   DECLARATION OF DAVID P
[ see first page and extracted highlights below  ] ItemID: 122017
3 pages
TXT
4   COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 122016
25 pages
HTML
5 2001-10-31 PROPOSED ORDER APPROVING REIMBURSEMENT
[ see first page and extracted highlights below  ] ItemID: 122036
3 pages
PDF
6 2001-10-31 PROPOSED ORDER APPROVING PLAN OF ALLOCATION
[ see first page and extracted highlights below  ] ItemID: 122035
3 pages
PDF
7 2001-10-31 PROPOSED ORDER APPROVING AWARD OF FEES
[ see first page and extracted highlights below  ] ItemID: 122034
3 pages
PDF
8 2001-10-31 PROPOSED FINAL JUDGMENT AND ORDER OF DISMISSAL
[ see first page and extracted highlights below  ] ItemID: 122033
4 pages
PDF
9 2001-10-31 PROOF OF SERVICE
[ see first page and extracted highlights below  ] ItemID: 122032
3 pages
PDF
10 2001-10-31 MOTION IN SUPPORT OF FINAL APPROVAL
[ see first page and extracted highlights below  ] ItemID: 122030
20 pages
PDF
11 2001-10-31 MOTION IN SUPPORT OF APPLICATION
[ see first page and extracted highlights below  ] ItemID: 122029
19 pages
PDF
12 2001-10-31 MOTION FOR REIMBURSEMENT
[ see first page and extracted highlights below  ] ItemID: 122028
2 pages
PDF
13 2001-10-31 MOTION FOR APPROVAL OF PLAN
[ see first page and extracted highlights below  ] ItemID: 122027
6 pages
PDF
14 2001-10-31 DECLARATION OF SHANDARESE GARR
[ see first page and extracted highlights below  ] ItemID: 122021
3 pages
PDF
15 2001-10-31 DECLARATION OF LIONEL Z
[ see first page and extracted highlights below  ] ItemID: 122019
4 pages
PDF
16 2001-10-31 DECLARATION OF LIONEL Z
[ see first page and extracted highlights below  ] ItemID: 122018
15 pages
PDF
17 2001-10-31 APPENDIX OF DECLARATIONS
[ see first page and extracted highlights below  ] ItemID: 122015
3 pages
PDF
18 2001-03-29 DOCKET 2
[ see first page and extracted highlights below  ] ItemID: 122022
31 pages
TXT
19 2000-09-06 DOCKET
[ see first page and extracted highlights below  ] ItemID: 122023
3 pages
HTML
20 1999-06-25 AMENDED COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 122014
81 pages
TXT
21 1999-05-07 MOTION FOR APPOINTMENT
[ see first page and extracted highlights below  ] ItemID: 122026
3 pages
TXT
22 1999-05-07 MEMO IN SUPPORT OF MOTION FOR APPOINTMENT
[ see first page and extracted highlights below  ] ItemID: 122025
15 pages
TXT
23 1999-05-07 DECLARATION OF MICHAEL GOLDBERG
[ see first page and extracted highlights below  ] ItemID: 122020
3 pages
TXT
Total Documents: 23 documents , 280 pages
Price: $ 129.95


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1 . MOTION TO DISMISS AMENDED COMPLAINT

EXTRACTED KEY WORDS
PLAINTIFFS
CHOLESTECH
DEFENDANTS
COURTS
PINCKERT
ALLEGATIONS
LITIG
REFORM ACT
MOTION
CIR
ALLEGE
CHOLESTECH CORPORATION
FACTS
SCIENTER
STOCK
SECURITIES FRAUD
ACCOUNTING
CCH
TRANSFER BINDER
LDX SYSTEM
ANALYST REPORTS
PARTICULARITY
AUTHORITIES
SAN FRANCISCO
UNITED STATES
SAFE HARBOR
TRANSACTIONS
MISLEADING
FINANCIALS
   JAMES A. diBOISE, State Bar No. 083296
   DOUGLAS J. CLARK, State Bar No. 171499
   DAVID P. O'BRIEN, State Bar No. 189675
   JEANIE KIM, State Bar No. 186468
   WILSON SONSINI GOODRICH & ROSATI
   Professional Corporation
   650 Page Mill Road
   Palo Alto, CA 94304-1050
   Telephone: (650) 493-9300
   Facsimile: (650) 565-5100

   Attorneys for Defendants
   WARREN E. PINCKERT, II and
   CHOLESTECH CORPORATION

                        UNITED STATES DISTRICT COURT

                      NORTHERN DISTRICT OF CALIFORNIA

                           SAN FRANCISCO DIVISION

   ROBERT REE, individually and on behalf of all
   others similarly situated,

                         Plaintiffs,

              v.

   WARREN E. PINCKERT, II, and
   CHOLESTECH CORPORATION,

                         Defendants.
   _______________________________________

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SNIPPETS:
  • Attorneys for Defendants
  • WARREN E. PINCKERT, II and
  • CHOLESTECH CORPORATION
  • SAN FRANCISCO DIVISION
  • NOTICE OF MOTION AND MOTION TO DISMISS AMENDED COMPLAINT; SUPPORTING MEMORANDUM OF POINTS AND
  • Acito v. IMCERA Group, Inc., 47 F.3d 47 (2d Cir.
  • Sec. L. Rep. (CCH)
  • In re Ascend Communications Sec. Litig., No. CV 97-8861 MRP, slip op.
  • (1998 Transfer Binder) Fed.
  • PLEASE TAKE NOTICE that on January 14, 2000, at 9:00 a.m., or as soon thereafter as counsel
  • Pursuant to the Private Securities Litigation Reform Act of 1995 and Federal Rules of Civil
  • The LDX System is an easy-to-use system that consists of a proprietary, telephone-sized
  • Plaintiffs allege that the price increase was part of a scheme on Cholestech's part to boost
  • Plaintiffs contend that two years of Cholestech financial statements were false due to
  • The accounting allegations are pure sophistry -- none of the detail required to state a
  • The Complaint should be dismissed for the following reasons: * The Complaint does not satisfy
  • * Many of the statements alleged to be false or misleading were in fact innocuous,
  • The statements are either immune from liability because the Company complied with the Reform
  • the Complaint fails to meet lower scienter standards applied by courts interpreting the
  • Plaintiffs were required to identify specifically the challenged transactions and demonstrate
  • Plaintiffs allege that Cholestech misstated its financials by: improperly recognizing
  • Plaintiffs contend that Cholestech is responsible for the contents of various analyst reports
  • The Company's ability to commercialize its products successfully in the United States will

  • 3 . DECLARATION OF DAVID P

    EXTRACTED KEY WORDS
    HERETO
    CHOLESTECH
    EXCERPT
    CALIFORNIA
    DEFENDANTS
    CHOLESTECH CORPORATION
    DAVID
    STATE BAR
    ANNUAL REPORT
    DECLARE
    PINCKERT
    ROSATI
    WILSON SONSINI GOODRICH
    LAW
    SAN
    COURT
    DISTRICT
    ATTORNEYS
    PALO ALTO
    CHOLESTECH HOLDINGS
    FILINGS
    EXCHANGE COMMISSION
    SECURITIES
    JOSE MERCURY NEWS
    SAN JOSE MERCURY
    STORMY PAST
    CALIF
    HAYWARD
    MEDICAL DEVICE-MAKER CHOLESTECH
    
       JAMES A. DiBOISE, State Bar No. 083296
       DOUGLAS J. CLARK, State Bar No. 171499
       DAVID P. O'BRIEN, State Bar No. 189675
       JEANIE KIM, State Bar No. 186468
       WILSON SONSINI GOODRICH & ROSATI
       Professional Corporation
       650 Page Mill Road
       Palo Alto, CA 94304-1050
       Telephone: (650) 493-9300
       Facsimile: (650) 565-5100
    
       Attorneys for Defendants
       WARREN E. PINCKERT, II and
       CHOLESTECH CORPORATION
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
                               SAN FRANCISCO DIVISION
    
       ROBERT REE, individually and on behalf of all
       others similarly situated,
    
                             Plaintiffs,
    
                  v.
    
       WARREN E. PINCKERT, II, and
       CHOLESTECH CORPORATION,
    
                             Defendants.
       _______________________________________
    
       )
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       )
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       )
       )
       )
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       )
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    SNIPPETS:
  • Attorneys for Defendants
  • WARREN E. PINCKERT, II and
  • CHOLESTECH CORPORATION
  • NORTHERN DISTRICT OF CALIFORNIA
  • DECLARATION OF DAVID P. O'BRIEN IN SUPPORT OF MOTION TO DISMISS AMENDED COMPLAINT
  • I am an attorney duly licensed to practice law in the State of California and before this
  • I am associated with Wilson Sonsini Goodrich & Rosati, counsel for defendants Warren E.
  • Attached hereto as Exhibit 1 is a true and correct copy of H.R. Conf.
  • Attached hereto as Exhibit 3 is a true and correct copy of Steve Kaufman, Medical
  • Has Stormy Past, San Jose Mercury News, April 30, 1998.
  • Attached hereto as Exhibit 7 are true and correct copies of an excerpt from Cholestech's
  • Attached hereto as Exhibit 13 are true and correct copies of defendant Warren E. Pinckert's
  • I declare under penalty of perjury under the laws of the State of California that the
  • Executed this 20th day of September, 1999, at Palo Alto, California.

  • 4 . COMPLAINT

    EXTRACTED KEY WORDS
    DARK FIBER
    CAPROCK
    STOCK
    SECONDARY OFFERING
    FIBER NETWORK
    SHARES
    CAPROCK COMMUNICATIONS
    CUSTOMERS
    CARRIER
    CLASS ACTION
    MCALEER
    REVENUE
    SOUTHWEST
    DEMAND
    CYR
    UNITED STATES
    EXECUTIVE OFFICER
    PURCHASED SHARES
    FEDERAL SECURITIES LAWS
    IRUS
    CONSTRUCTION
    INDIVIDUAL DEFENDANTS
    INTEGRATED SERVICES
    IRUS SOLD
    PROJECTIONS
    LONG-HAUL FIBER NETWORK
    SCALABLE LONG-HAUL FIBER
    ACQUIRED CAPROCK
    CAPROCK COMMUNICATIONS CORPORATION
    
    
    
    
                            UNITED STATES DISTRICT COURT
    
                            NORTHERN DISTRICT OF TEXAS
    
                                  DALLAS DIVISION
    
       _____________________________________________
    
       HECTOR ALFARO, On Behalf of
       Himself and All Others Similarly
       Situated,
    
                               Plaintiff,
    
           vs.
    
       CAPROCK COMMUNICATIONS
       CORPORATION, LEO J. CYR, JERE
       W. THOMPSON, JR. and KEVIN W.
       McALEER,
    
                               Defendants.
       _____________________________________________
    
    
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       Civil Action No.
    
       CLASS ACTION COMPLAINT
    
    SNIPPETS:
  • CLASS ACTION COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • DEMAND FOR JURY TRIAL
  • This is an action on behalf of those who purchased or otherwise acquired CapRock
  • CapRock owns and operates a scalable long-haul fiber network.
  • The Company's fiber network supports the voice, data, bandwidth, and dark fiber services
  • CapRock's network is located throughout the Southwestern region of the United States.
  • Defendants' false and misleading statements concerning the revenues to be derived from its
  • This upsurge in CapRock's stock price caused by defendants' false and misleading statements
  • On July 6, 2000, days after CapRock's Secondary Offering was completed, CapRock revealed that
  • Plaintiff Hector Alfaro purchased shares of CapRock common stock as described in the attached
  • Defendant Leo J. Cyr was, during the Class Period, President and Chief Operating Officer of
  • was, during the Class Period, Chairman of the Board and Chief Executive Officer of the
  • Defendant Kevin W. McAleer was, during the Class Period, Chief Financial Officer of the
  • The Individual Defendants, by reason of their stock ownership and positions with CapRock,
  • CapRock describes itself as a leading facilities-based integrated communications service
  • CapRock's future construction program carried a significant price tag.
  • By April 24, 2000, CapRock's shares continued to succumb to selling pressure associated with
  • We announced plans to extend our network to 7,500 miles by the end of 2001, to build 30
  • This increase was attributable to increases of 125% in carriers' carrier, 116% in integrated
  • The 125% increase resulted primarily from the sale of IRUs and dark fiber leases.
  • Revenues are recognized immediately on IRUs sold from available fiber on completed network
  • This is a class action on behalf of those who purchased or otherwise acquired CapRock stock

  • 5 . PROPOSED ORDER APPROVING REIMBURSEMENT

    EXTRACTED KEY WORDS
    ORDER APPROVING REIMBURSEMENT
    PJH
    PLAINTIFFS
    COUNSEL
    GLANCY
    LIONEL
    STIPULATION
    COSTS CIVIL ACTION
    NOTICE COSTS CIVIL
    SUITE
    YORK
    SUSSER
    ROBERT
    LEAD COUNSEL
    LOS ANGELES
    STARS
    AVENUE
    LAW OFFICES
    OBLIGATIONS
    AMOUNT
    GARDEN CITY GROUP
    CLAIMS ADMINISTRATOR
    VALIDLY REQUESTED EXCLUSION
    MEMBERS
    RELATING THERETO
    MEANINGS SET
    PREMISES
    COURT
    ADEQUATE NOTICE
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                        UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,                          ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                               )
    15     themselves and all others similarly situated                     ) CLASS ACTION
                                                                            )
    16                    Plaintiffs,                                       ) Hon. Phyllis J. Hamilton
                                                                            )
    17          v.                                                          )
    18                                                                      ) [PROPOSED] ORDER
           Warren E. Pinckert, II, Andrea Tiller and                        ) APPROVING REIMBURSEMENT
    19     Cholestech Corporation,                                          ) OF CLASS NOTICE COSTS
                                                                            )
    20                   Defendants.                                        )) Date: October 31, 2001
    21                                                                      ) Time:  9:00 a.m.
                                                                            ) Ctrm:  Hon. Phyllis J.
    22                                                                      ))
    23                                                                      ))
    24                                                                      )
    25
    26
    27
    28
    
    
          [Proposed] Order Approving Reimbursement of Class Notice Costs
          Civil Action No. C99-0562 PJH
    
    
    
     1               This matter came before the Court for hearing pursuant to the Order of this Court
     2 entered August 13, 2001, in connection with the application of the parties for approval
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Los Angeles, California 90067
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • Order Approving Reimbursement of Class Notice Costs Civil Action No. C99-0562 PJH
  • Due and adequate notice having been given to the Class as required in
  • and the Court having considered all papers filed and proceedings had
  • herein and otherwise being fully informed in the premises and good cause appearing
  • meanings set forth in the Stipulation of Settlement dated as of July 31,
  • 12 all matters relating thereto, including all Members of the Class who have not timely and
  • 13 validly requested exclusion.
  • 15 Plaintiffs' Claims Administrator, The Garden City Group, Inc, in the amount of
  • 19 obligations of the Stipulation.

  • 6 . PROPOSED ORDER APPROVING PLAN OF ALLOCATION

    EXTRACTED KEY WORDS
    PLAN
    SETTLEMENT
    APPROVING
    ALLOCATION CIVIL ACTION
    ORDER APPROVING PLAN
    PJH
    GLANCY
    LIONEL
    CLASS MEMBERS
    COURT HEREBY
    PROCEEDS
    STIPULATION
    COUNSEL
    ADEQUATE NOTICE
    YORK
    SUSSER
    ROBERT
    PLAINTIFFS
    LOS ANGELES
    SUITE
    LAW OFFICES
    MICHAEL GOLDBERG
    THROWER
    TRACY
    NECESSITY
    ADMINISTRATIVE CONVENIENCE
    NET SETTLEMENT FUND
    REASONABLE BASIS
    PENDENCY
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                          UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,               ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                    )
    15     themselves and all others similarly situated          ) CLASS ACTION
                                                                 )
    16                    Plaintiffs,                            ) Hon. Phyllis J. Hamilton
                                                                 )
    17          v.                                               )
    18                                                           ) [PROPOSED] ORDER
           Warren E. Pinckert, II, Andrea Tiller and             ) APPROVING PLAN OF
    19     Cholestech Corporation,                               ) ALLOCATION OF SETTLEMENT
                                                                 ) PROCEEDS
    20                   Defendants.                             ))
    21                                                           ) Date: October 31, 2001
                                                                 ) Time:  9:00 a.m.
    22                                                           ) Ctrm:  Hon. Phyllis J. Hamilton
                                                                 )
    23                                                           ))
    24                                                           )
    25
    26
    27
    28
    
    
          [Proposed] Order Approving Plan of Allocation
          Civil Action No. C99-0562 PJH
    
    
    
     1              This matter came before the Court for hearing pursuant to the Order of this Court
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Los Angeles, California 90067
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • Order Approving Plan of Allocation Civil Action No. C99-0562 PJH
  • set forth in the Stipulation of Settlement dated as of July 31,
  • meanings set forth in the Stipulation of Settlement dated as of July 31,
  • this Court hereby find and concludes that due and adequate notice
  • 20 Notice of Pendency and Proposed Settlement of Class Action sent to
  • 21 Class Members, provides a fair and reasonable basis upon which to allocate the
  • 22 proceeds of the Net Settlement Fund established by the Stipulation among the Class
  • with due consideration having been given to administrative convenience and
  • 24 necessity.
  • Tracy L. Thrower
  • Michael Goldberg

  • 7 . PROPOSED ORDER APPROVING AWARD OF FEES

    EXTRACTED KEY WORDS
    PLAINTIFFS
    COUNSEL
    SETTLEMENT
    LITIGATION
    EXPENSES CIVIL ACTION
    COURT
    ORDER APPROVING AWARD
    PJH
    GLANCY
    LIONEL
    AMOUNT
    STIPULATION
    ATTORNEYS
    LEAD PLAINTIFFS
    CONTINGENT
    THEREON
    SETTLEMENT FUND
    YORK
    SUSSER
    ROBERT
    LOS ANGELES
    SUITE
    LAW OFFICES
    THROWER
    TRACY
    OBLIGATIONS
    PENDENCY
    NOVELTY
    ACHIEVING
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                         UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,                          ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                               )
    15     themselves and all others similarly situated                     ) CLASS ACTION
                                                                            )
    16                    Plaintiffs,                                       ) Hon. Phyllis J. Hamilton
                                                                            )
    17          v.                                                          )
    18                                                                      ) [PROPOSED] ORDER
           Warren E. Pinckert, II, Andrea Tiller and                        ) APPROVING AWARD OF
    19     Cholestech Corporation,                                          ) ATTORNEYS' FEES AND
                                                                            ) REIMBURSEMENT OF
    20                   Defendants.                                        ) EXPENSES
                                                                            )
    21                                                                      )) Date: October 31, 2001
    22                                                                      ) Time:  9:00 a.m.
                                                                            ) Ctrm:  Hon. Phyllis J.
    23                                                                      ))
    24                                                                      )
    25
    26
    27
    28
    
    
          [Proposed] Order Approving Award of Attorneys' Fees / Expenses
          Civil Action No. C99-0562 PJH
    
    
    
     1 This matter came before the Court for hearing pursuant to the Order of this Court
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Los Angeles, California 90067
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • Order Approving Award of Attorneys' Fees / Expenses Civil Action No. C99-0562 PJH
  • This matter came before the Court for hearing pursuant to the Order of this Court
  • set forth in the Stipulation of Settlement dated as of July 31,
  • meanings set forth in the Stipulation of Settlement dated as of July 31,
  • 15 amount of thirty percent of the Settlement Fund plus litigation expenses incurred
  • 16 in an aggregate amount of $102,015.03, together with the interest earned thereon for
  • 18 Settlement Fund until paid.
  • 19 counsel by Lead Plaintiffs' counsel in a manner which,
  • prosecution and resolution of the Litigation.
  • 25 counsel's work in achieving the Settlement, the novelty and difficulty of the questions
  • 27 pendency of the Litigation and customary fees for similar complex, contingent litigation.
  • conditions and obligations are incorporated herein.
  • 11 Lionel Z. Glancy Tracy L. Thrower

  • 8 . PROPOSED FINAL JUDGMENT AND ORDER OF DISMISSAL

    EXTRACTED KEY WORDS
    STIPULATION
    JUDGEMENT
    CIVIL
    DEFENDANTS
    MEMBERS
    PARTIES
    DISMISSAL CIVIL ACTION
    PJH
    HEREBY
    COUNSEL
    LITIGATION
    PLAINTIFFS
    GLANCY
    LIONEL
    CONTAINED THEREIN
    CIVIL PROCEDURE
    FEDERAL RULES
    COURT
    ADEQUATE
    LEAD COUNSEL
    LAW OFFICES
    SETTLEMENT FUND
    ADMINISTERING
    FOREVER
    HERETO
    PURSUANT
    DIRECTORS
    CHOLESTECH
    APPROVES
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                         UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,              ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                   )
    15     themselves and all others similarly situated         ) CLASS ACTION
                                                                )
    16                    Plaintiffs,                           ) Hon. Phyllis J. Hamilton
                                                                )
    17          v.                                              )
    18                                                          ) [PROPOSED] FINAL JUDGMENT
           Warren E. Pinckert, II, Andrea Tiller and            ) AND ORDER OF DISMISSAL
    19     Cholestech Corporation,                              ) WITH PREJUDICE
                                                                )
    20                   Defendants.                            )) Date: October 31, 2001
    21                                                          ) Time:  9:00 a.m.
                                                                ) Ctrm:  Hon. Phyllis J. Hamilton
    22                                                          ))
    23                                                          ))
    24                                                          )
    25
    26
    27
    28
    
    
          [Proposed] Final Judgment and Order of Dismissal
          Civil Action No. C99-0562 PJH
    
    
    
     1              This matter came before the Court for hearing pursuant to the Order of this Court
     2 filed August 13, 2001, on the application of the parties for approval of the settlement
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • Lead Counsel For Plaintiffs
  • Final Judgment and Order of Dismissal Civil Action No. C99-0562 PJH
  • set forth in the Stipulation of Settlement dated as of July 31,
  • HEREBY ORDERED, ADJUDGED AND DECREED that:
  • 11 over all parties to the Litigation, including all members of the Class.
  • 14 stock of Cholestech Corporation during the period beginning June 28,
  • Excluded from the Class are Defendants,
  • 17 which any Defendant has or had a controlling interest, current and former directors and
  • Pursuant to Federal Rules of Civil Procedure 23,
  • 20 this Court hereby approves the settlement set forth in the Stipulation and finds that said
  • 21 settlement is, in all respects, fair, just, reasonable and adequate to the Class.
  • 23 hereto) who have validly and timely requested exclusion from the Class, the Litigation
  • Stipulation, and settlement contained therein, is hereby finally approved in all respects,
  • finally and forever released, relinquished and discharged all Released Claims against
  • 16 Plaintiffs' Lead Counsel from all claims, arising out of,
  • and said notice fully satisfied the requirements of Federal Rules of Civil
  • 16 award or distribution of the Settlement Fund,
  • 19 all parties hereto for the purpose of construing, enforcing and administering the
  • 23 Federal Rule of Civil Procedure 11.

  • 9 . PROOF OF SERVICE

    EXTRACTED KEY WORDS
    SUPPORT
    APPROVING
    PLAINTIFFS
    COUNSEL
    SUITE
    STANFORD
    REIMBURSEMENT
    FEES
    ATTORNEYS
    AWARD
    SUPPORT THEREOF
    YORK
    SUSSER
    ROBERT
    CALIFORNIA
    LOS ANGELES
    STARS
    AVENUE
    LAW
    GLANCY
    LIONEL
    FOREGOING
    PERJURY
    PENALTY
    CERTIFY
    CROWN QUADRANGLE
    STANFORD UNIVERSITY SCHOOL
    CLEARINGHOUSE
    CLASS NOTICE COSTS
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                     UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,          ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of               )
    15     themselves and all others similarly situated     ) CLASS ACTION
                                                            )
    16                    Plaintiffs,                       ) Hon. Phyllis J. Hamilton
                                                            )
    17          v.                                          )
    18                                                      ) PROOF OF SERVICE RE
           Warren E. Pinckert, II, Andrea Tiller and        ) INTERNET POSTING OF
    19     Cholestech Corporation,                          ) DOCUMENTS
                                                            )
    20                   Defendants.                        ) Date: October 31, 2001
                                                            ) Time:  9:00 a.m.
    21                                                      ) Ctrm:  Hon. Phyllis J. Hamilton
                                                            )
    22                                                      ))
    23                                                      ))
    24                                                      )
    25
    26
    27
    28
    
    
    
     1                     PROOF OF SERVICE BY ELECTRONIC POSTING
     2          I, the undersigned, say:
     3          I am a citizen of the United States and am employed in the office of a member of
     4 the Bar of this Court.  I am over the age of 18 and not a party to the within action.  My
     5 business address is 1801 Avenue of the Stars, Suite 311, Los Angeles, California
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • business address is 1801 Avenue of the Stars, Suite 311, Los Angeles, California
  • Support Thereof;
  • Settlement Proceeds; Memorandum of Points and Authorities in Support
  • Settlement, Award of Attorneys' Fees and Reimbursement of Expenses,
  • Order Approving Reimbursement of Class Notice Costs.
  • Clearinghouse, Stanford University School of Law, Crown Quadrangle, Stanford, CA
  • I certify under penalty of perjury that the foregoing is true and correct.

  • 10 . MOTION IN SUPPORT OF FINAL APPROVAL

    EXTRACTED KEY WORDS
    PLAINTIFFS
    SUPPORT
    CIVIL ACTION
    PJH
    MPA
    COUNSEL
    PARTIES
    CIR
    LITIGATION
    SUPP
    DEFENDANTS
    REASONABLENESS
    ATTORNEYS
    LAW
    GLANCY
    APPROVING
    CALIFORNIA
    LIABILITY
    NEGOTIATIONS
    CHOLESTECH
    WARNER COMMUNICATIONS
    SECURITIES
    LEAD COUNSEL
    DISCOVERY
    CLASS PERIOD
    BONNEVILLE POWER ADMIN
    STANDARDS
    CLASS MEMBERS
    EXPERT TESTIMONY
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                          UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13     Robert Ree, Robert Cuva, Donald Fought,                       ) Civ. Action No. C99-0562 PJH
           Albert Jackson, Carl Kircher, Patricia Malloy, )
    14     And Sharon Quercioli, on behalf of                            ) CLASS ACTION
           themselves and all others similarly situated                  )
    15                                                                   ) Hon. Phyllis J. Hamilton
                          Plaintiffs,                                    )
    16                                                                   )
                v.                                                       ) PLAINTIFFS' NOTICE OF
    17                                                                   ) MOTION AND MOTION IN
    18     Warren E. Pinckert, II, Andrea Tiller and                     ) SUPPORT OF FINAL
           Cholestech Corporation,                                       ) APPROVAL OF CLASS ACTION
    19                                                                   ) SETTLEMENT; MEMORANDUM
                         Defendants.                                     ) OF POINTS AND AUTHORITIES
    20                                                                   ) IN SUPPORT THEREOF
                                                                         )
    21                                                                   )) Date: October 31, 2001
    22                                                                   ) Time:  9:00 a.m.
                                                                         ) Ctrm:  Hon. Phyllis J.
    23                                                                   ))
    24                                                                   ))
    25
    26
    27
    28
    
    
          MPA in Support of Final Approval of Class Action Settlement
          Civil Action No. C99-0562 PJH
    
    
    
     1 TO: ALL PARTIES AND THEIR ATTORNEYS OF RECORD
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • Lead Counsel For Plaintiffs
  • MPA in Support of Final Approval of Class Action Settlement
  • Civil Action No. C99-0562 PJH
  • ALL PARTIES AND THEIR ATTORNEYS OF RECORD
  • Plaintiffs will and hereby do move for move for an order approving the proposed
  • 12 risks inherent in continuing the Litigation.
  • Newman v. Stein, 464 28 F.2d 689, 693 (2d Cir.
  • Reform Project v. Bonneville Power Admin., 869 F.2d 437, 443 (9th Cir.
  • discovery completed, and the stage of the proceedings;
  • reaction of the class members to the proposed settlement.
  • Public Power Supply System Sec. Litig.,
  • Inc. v. California Fine Wire Co.,
  • 25 4 "The recommendations of plaintiffs' counsel should be given a presumption of
  • 27 is the product of arm's-length negotiations conducted by capable counsel who are well
  • In re Warner Communications Sec. Litig.,
  • 23 been dismissed and establishing liability would, by no means, be guaranteed.
  • 13 establishing scienter requires that plaintiffs show that defendants acted with actual
  • 24 5 The adoption of the PSLRA and the Securities Litigation Uniform Standards Act
  • which Cholestech's common stock was allegedly artificially inflated during the 10 Class
  • 13 Cholestech directly could have been liable for any damage award.
  • several attorneys on both sides for many weeks or months, and would require 10 substantial

  • 11 . MOTION IN SUPPORT OF APPLICATION

    EXTRACTED KEY WORDS
    PLAINTIFFS
    EXPENSES
    COUNSEL
    CIVIL ACTION
    SUPPORT
    PJH
    MPA
    ATTORNEYS
    LEAD COUNSEL
    AWARD
    SETTLEMENT
    COMMON FUND
    CIR
    LITIGATION
    LAW
    DEFENDANTS
    CONTINGENT FEE
    REIMBURSEMENT
    WASHINGTON PUBLIC POWER
    COMPENSATION
    SECURITIES
    ORDER AWARDING LEAD
    STATES DISTRICT JUDGE
    UNITED STATES
    HONORABLE PHYLLIS
    DECLARATION
    CHOLESTECH
    SILICON GRAPHICS
    PRIVATE MARKETPLACE
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                           UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13     Robert Ree, Robert Cuva, Donald Fought,                ) Civ. Action No. C99-0562 PJH
           Albert Jackson, Carl Kircher, Patricia Malloy, )
    14     And Sharon Quercioli, on behalf of                     ) CLASS ACTION
           themselves and all others similarly situated           )
    15                                                            ) Hon. Phyllis J. Hamilton
                          Plaintiffs,                             )
    16                                                            )
                v.                                                ) PLAINTIFFS' NOTICE OF
    17                                                            ) MOTION AND MOTION IN
    18     Warren E. Pinckert, II, Andrea Tiller and              ) SUPPORT OF LEAD
           Cholestech Corporation,                                ) PLAINTIFFS' COUNSEL'S
    19                                                            ) APPLICATION FOR AN AWARD
                         Defendants.                              ) OF ATTORNEYS' FEES AND
    20                                                            ) REIMBURSEMENT OF
                                                                  ) EXPENSES; MEMORANDUM OF
    21                                                            ) POINTS AND AUTHORITIES IN
                                                                  ) SUPPORT THEREOF
    22                                                            ))
    23                                                            ) Date: October 31, 2001
                                                                  ) Time:  9:00 a.m.
    24                                                            ) Ctrm:  Hon. Phyllis J. Hamilton
                                                                  )
    25
    26
    27
    28
    
    
          MPA in Support of Fees and Expenses
          Civil Action No. C99-0562 PJH
    
    
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • Lead Counsel For Plaintiffs
  • MPA in Support of Fees and Expenses
  • Civil Action No. C99-0562 PJH
  • ALL PARTIES AND THEIR ATTORNEYS OF RECORD
  • heard, before the Honorable Phyllis J. Hamilton, United States District Judge, Lead
  • Plaintiffs will and hereby do move for an order awarding Lead Plaintiffs' attorneys fees
  • of 30% of the $3,000,000 cash settlement fund, plus reimbursement of expenses
  • Counsel's Application for an Award of Attorneys' Fees and Reimbursement of 10 Expenses, the
  • securities class action against Cholestech Corporation ("Cholestech" or the
  • 12 with which defendants opposed the Litigation, and the response required by plaintiffs'
  • 14 securities were artificially inflated by reasons of alleged misrepresentations, non15
  • As compensation for their efforts,
  • 20 of Attorneys' Fees and Reimbursement of Expenses (the "Glancy Declaration"),
  • the percentage-of-recovery method has become the prevailing 10 method for awarding fees in
  • Vincent v. Hughes Air West, Inc., 557 F.2d 759, 769 (9th Cir.
  • Washington Public Power, 19 F.3d at 1296.
  • 23 3 Courts are encouraged to look to the private marketplace in setting a percentage fee:
  • This was a contingent fee suit that yielded a recovery for the
  • Given the Ninth Circuit's decision in In re Silicon Graphics,

  • 12 . MOTION FOR REIMBURSEMENT

    EXTRACTED KEY WORDS
    MOTION
    COUNSEL
    SETTLEMENT
    CLASS NOTICE
    REIMBURSEMENT
    PJH
    CIVIL ACTION
    CLASS NOTICE EXPENSE
    YORK
    SUSSER
    ROBERT
    SUITE
    GLANCY
    LIONEL
    EVIDENCE
    PLEADINGS
    SETTLEMENT PROCEEDS
    ALLOCATION
    PLAN
    SUPPORT
    SHANDARESE GARR
    DECLARATION
    STIPULATION
    AMOUNT
    GARDEN CITY GROUP
    CLAIMS ADMINISTRATOR
    CLASS NOTICE COSTS
    HEREBY
    STATES DISTRICT JUDGE
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:          (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                        UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,             ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                  )
    15     themselves and all others similarly situated        ) CLASS ACTION
                                                               )
    16                    Plaintiffs,                          ) Hon. Phyllis J. Hamilton
                                                               )
    17          v.                                             )
    18                                                         ) NOTICE OF MOTION AND
           Warren E. Pinckert, II, Andrea Tiller and           ) MOTION FOR REIMBURSEMENT
    19     Cholestech Corporation,                             ) OF CLASS NOTICE COSTS
                                                               )
    20                   Defendants.                           )) Date: October 31, 2001
    21                                                         ) Time:  9:00 a.m.
                                                               ) Ctrm:  Hon. Phyllis J. Hamilton
    22                                                         ))
    23                                                         ))
    24                                                         )
    25
    26
    27
    28
    
    
          Motion for Reimbursement of Class Notice Expense
          Civil Action No. C99-0562 PJH
    
    
    
     1 TO: ALL PARTIES AND THEIR ATTORNEYS OF RECORD
     2             PLEASE TAKE NOTICE that pursuant to an Order of the Court dated August 13,
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • Motion for Reimbursement of Class Notice Expense
  • Civil Action No. C99-0562 PJH
  • heard, before the Honorable Phyllis J. Hamilton, United States District Judge, Lead
  • Plaintiffs will and hereby do move for reimbursement of Class Notice costs incurred by
  • Lead Plaintiffs' claims administrator, The Garden City Group, Inc., in the amount of
  • Plaintiffs' motion is based upon the Stipulation of Settlement dated July
  • 31, 2001, the Declaration of Shandarese Garr in Support of Plaintiffs' Motions for Final
  • Approval of Settlement and Approval of Plan of Allocation of Settlement Proceeds all 10 other

  • 13 . MOTION FOR APPROVAL OF PLAN

    EXTRACTED KEY WORDS
    ALLOCATION
    SETTLEMENT
    PLAINTIFFS
    CLASS MEMBERS
    AUTHORITIES
    CIVIL ACTION
    SUPPORT
    PJH
    MPA
    SETTLEMENT FUND
    AUTHORIZED CLAIMANT
    SETTLEMENT PROCEEDS
    NET SETTLEMENT FUND
    REASONS
    DAMAGES
    DISTRIBUTION
    COUNSEL
    ADEQUATE
    CIR
    CLASS PERIOD
    CLAIMS ADMINISTRATION
    STIPULATION
    PROPOSED PLAN
    PRICE
    COURT
    AMOUNT
    SECURITIES CLASS ACTION
    DAMAGE EXPERT
    EVIDENCE
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:           (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                           UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13     Robert Ree, Robert Cuva, Donald Fought,                ) Civ. Action No. C99-0562 PJH
           Albert Jackson, Carl Kircher, Patricia Malloy, )
    14     And Sharon Quercioli, on behalf of                     ) CLASS ACTION
           themselves and all others similarly situated           )
    15                                                            ) Hon. Phyllis J. Hamilton
                          Plaintiffs,                             )
    16                                                            )
                v.                                                ) PLAINTIFFS' NOTICE OF
    17                                                            ) MOTION AND MOTION FOR
    18     Warren E. Pinckert, II, Andrea Tiller and              ) APPROVAL OF PLAN OF
           Cholestech Corporation,                                ) ALLOCATION OF
    19                                                            ) SETTLEMENT PROCEEDS;
                         Defendants.                              ) MEMORANDUM OF POINTS
    20                                                            ) AND AUTHORITIES IN
                                                                  ) SUPPORT THEREOF
    21                                                            ))
    22                                                            ) Date: October 31, 2001
                                                                  ) Time:  9:00 a.m.
    23                                                            ) Ctrm:  Hon. Phyllis J. Hamilton
                                                                  )
    24                                                            ))
    25
    26
    27
    28
    
    
          MPA in Support of Approval of Plan of Allocation
          Civil Action No. C99-0562 PJH
    
    
    
    
    SNIPPETS:
  • Lead Counsel For Plaintiffs
  • MPA in Support of Approval of Plan of Allocation
  • Civil Action No. C99-0562 PJH
  • and Authorities in Support of Approval of Plan of Allocation of Settlement Proceeds,
  • and such additional evidence or argument as may be presented at the hearing.
  • with plaintiffs' damage expert and tracks plaintiffs' theory of damages in this case with
  • Settlement among Class Members given the particular circumstances of this case, as 10 well as
  • For all of these reasons,
  • To the extent there are sufficient funds in the Net Settlement Fund,
  • 18 each Authorized Claimant will receive an amount equal to the Authorized Claimant's
  • 27 1 This motion incorporates by reference the definitions set forth in the Stipulation
  • transactions during the Class Period to determine if a Class Member has a claim.
  • The determination of the price paid per share and the price
  • APPROVED BY THE COURT
  • the equitable distribution of limited settlement proceeds to eligible class members.
  • Class Plaintiffs v. Seattle, 955 F.2d 1268, 1284-85 (9th Cir.
  • reasonable and adequate plan of allocation should be based on the
  • nature and extent of class members' provable damages.
  • The proposed Plan of Allocation in this case is based on such
  • 25 used in many other securities class action settlements.

  • 14 . DECLARATION OF SHANDARESE GARR

    EXTRACTED KEY WORDS
    SETTLEMENT
    GCG
    ROLLS OFFSET
    BROKERAGE
    CIVIL ACTION
    NOTICE PACKETS
    CLASS MEMBERS
    SUPPORT
    PJH
    PLAINTIFFS
    COUNSEL
    REQUESTS
    NOMINEES
    POTENTIAL CLASS
    DATABASE
    GARR
    SUMMARY NOTICE
    CERTIFYING
    AFFIDAVIT
    EXHIBIT
    HERETO
    INSTITUTIONS
    BANKS
    BROKERAGE FIRMS
    DISSEMINATION
    PREPRINTING
    PRINTING
    DECLARATION
    LITIGATION
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:           (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                           UNITED STATES DISTRICT COURT
    12                                FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13
           Robert Ree, Robert Cuva, Donald Fought,                     ) Civ. Action No.
    14     Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
           And Sharon Quercioli, on behalf of                          )
    15     themselves and all others similarly situated                ) CLASS ACTION
                                                                       )
    16                    Plaintiffs,                                  ) Hon. Phyllis J. Hamilton
                                                                       )
    17          v.                                                     )
    18                                                                 ) DECLARATION OF
           Warren E. Pinckert, II, Andrea Tiller and                   ) SHANDARESE GARR IN
    19     Cholestech Corporation,                                     ) SUPPORT OF PLAINTIFFS'
                                                                       ) MOTIONS FOR FINAL
    20                   Defendants.                                   ) APPROVAL OF SETTLEMENT
                                                                       ) AND APPROVAL OF PLAN OF
    21                                                                 ) ALLOCATION OF SETTLEMENT
                                                                       ) PROCEEDS
    22                                                                 ))
    23                                                                 ) Date: October 31, 2001
                                                                       ) Time:  9:00 a.m.
    24                                                                 ) Ctrm:  Hon. Phyllis J. Hamilton
    25
    26
    27
    28
    
    
          Garr Dec in Support of Final Approval of Settlement, Etc.
          Civil Action No. C99-0562 PJH
    
    
    
    
    SNIPPETS:
  • Lead Counsel For Plaintiffs
  • Garr Dec in Support of Final Approval of Settlement, Etc. Civil Action No. C99-0562 PJH
  • GCG was retained by plaintiffs' Lead Counsel to act as Claims
  • Administrator in the administration of the settlement of the captioned litigation (the
  • declaration and, if called upon to do so, could and would testify competently thereto.
  • 12 addresses into a database created for this Litigation.
  • 14 mailing contractor selected by GCG to handle the printing and mailing of the Notice of
  • 19 inserted into envelopes containing a Notice and were disseminated to potential Class
  • 22 database of the largest brokerage firms, banks, institutions and other nominees (the
  • 23 "Broker Mailing") which was sent to Rolls Offset.
  • 24 Notice Packets to the Broker Mailing.
  • preprinting and mailing.
  • those requests to Rolls Offset for distribution to the appropriate parties.
  • potential Class Members through October 15,
  • Attached, hereto, as Exhibit B is the
  • 15 Affidavit of Gary Morris certifying to publication of the Summary Notice in The Wall
  • 18 incurred for performing the printing and dissemination of the Notice Packet and the

  • 15 . DECLARATION OF LIONEL Z

    EXTRACTED KEY WORDS
    DECLARATION
    REIMBURSEMENT
    SUPPORT
    ROBERT
    GLANCY
    LIONEL
    LITIGATION
    FIRM
    CONNECTION
    PJH
    ATTORNEYS
    YORK
    SUSSER
    PLAINTIFFS
    COUNSEL
    SUITE
    FOREGOING DECLARATION
    ACCURATE RECORD
    VOUCHERS
    BOOKS
    PROSECUTION
    EXHIBIT
    HERETO
    ABOVE-ENTITLED ACTION
    FEES
    AWARD
    SUBMITTING
    CAPTIONED MATTER
    EXPENSES CIVIL ACTION
    
     1 Lionel Z. Glancy #134180
           Tracy L. Thrower #145782
     2 Michael Goldberg #188669
           LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
           Los Angeles, California  90067
     4 Telephone: (310) 201-9150
           Facsimile:         (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6
           Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
           6 East 43rd Street, Suite 1900
     8 New York, New York  10017-4609
     9 Attorneys For Plaintiffs
           [Additional Counsel Appear on Signature Page]
    10
    
    11                                         UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13 Robert Ree, Robert Cuva, Donald Fought, ) Civ. Action No.:  C99-0562 PJH
    14 Albert Jackson, Carl Kircher, Patricia                           )
           Malloy, and Sharon Quercioli,                                ) CLASS ACTION
    15                                                                  )
                              Plaintiffs,                               )  Hon. Phyllis J. Hamilton
    16                                                                  )
                    v.                                                  )
    17                                                                  ) Date:  October 31, 2001
           Warren E. Pinckert, II and Cholestech                        ) Time:  9:00 a.m.
    18 Corporation,                                                     ) Ctrm:  Hon. Phyllis J.
                                                                        )
    19                        Defendants.                               )
           __________________________________ )
    20
    
    21
                                DECLARATION OF LIONEL Z. GLANCY ON BEHALF OF
    22                                       LAW OFFICES OF LIONEL Z. GLANCY
                                              IN SUPPORT OF APPLICATION FOR
    23                                         REIMBURSEMENT OF EXPENSES
    24
    
    25
    
    26
    
    27
    
    28 Declaration in Support of Application for Reimbursement of Expenses
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • Attorneys For Plaintiffs
  • 28 Declaration in Support of Application for Reimbursement of Expenses Civil Action No.
  • the captioned matter.
  • I am submitting this declaration in support of my firm's
  • application for an award of attorneys' fees in connection with services rendered in the
  • above-entitled action and the reimbursement of expenses incurred by my firm in the
  • hereto as Exhibit A.
  • 11 connection with the prosecution of this litigation.
  • and records of this firm.
  • These books and records are prepared from expense
  • vouchers and check records and are an accurate record of the expenses incurred.
  • the foregoing declaration is true and correct.

  • 16 . DECLARATION OF LIONEL Z

    EXTRACTED KEY WORDS
    SETTLEMENT
    COUNSEL
    CIVIL ACTION
    FEES
    SUPPORT
    EXPENSES
    GLANCY
    PJH
    ATTORNEYS
    LAW
    REIMBURSEMENT
    ALLOCATION
    PLAN
    DEFENDANTS
    LITIGATION
    LEAD COUNSEL
    DECLARATION
    AMENDED COMPLAINT
    LAW OFFICES
    SETTLEMENT FUND
    CLASS PERIOD
    CLASS MEMBERS
    SECURITIES
    DISTRIBUTION
    PERSONAL KNOWLEDGE
    PATRICIA MALLOY
    CARL KIRCHER
    ALBERT JACKSON
    AUTHORIZED CLAIMANT
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:           (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                           UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13     Robert Ree, Robert Cuva, Donald Fought,                       ) Civ. Action No.
           Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
    14     And Sharon Quercioli, on behalf of                            )
           themselves and all others similarly situated                  ) CLASS ACTION
    15                                                                   )
                          Plaintiffs,                                    ) Hon. Phyllis J. Hamilton
    16                                                                   )
                v.                                                       )
    17                                                                   ) DECLARATION OF LIONEL Z.
    18     Warren E. Pinckert, II, Andrea Tiller and                     ) GLANCY IN SUPPORT OF FINAL
           Cholestech Corporation,                                       ) APPROVAL OF SETTLEMENT,
    19                                                                   ) AWARD OF ATTORNEYS' FEES
                         Defendants.                                     ) AND REIMBURSEMENT OF
    20                                                                   ) EXPENSES, AND APPROVAL OF
                                                                         ) PLAN OF ALLOCATION OF
    21                                                                   ) SETTLEMENT PROCEEDS
                                                                         )
    22                                                                   )) Date: October 31, 2001
    23                                                                   ) Time:  9:00 a.m.
                                                                         ) Ctrm:  Hon. Phyllis J.
    24
    25
    26
    27
    28
    
    
          Glancy Dec in Support of Final Approval of Settlement, Etc.
          Civil Action No. C99-0562 PJH
    
    
    
    
    SNIPPETS:
  • LAW OFFICES OF LIONEL Z. GLANCY
  • Lead Counsel For Plaintiffs
  • Glancy Dec in Support of Final Approval of Settlement, Etc. Civil Action No. C99-0562 PJH
  • I have personal knowledge of the matters set forth in this
  • declaration and, if called upon to do so, could and would testify competently thereto.
  • 13 the Plan of Allocation is reasonable, and why plaintiffs' counsel's fee and expense
  • 16 the amount of $3,000,000 (the "Settlement Fund") plus interest on the Settlement Fund
  • 17 that accrues prior to distribution.
  • 20 attorneys' fees plus reimbursement of expenses in the amount of $102,015.03.
  • and eliminates the risk of continued litigation whose favorable outcome could
  • System ­ Cholestech's sole source of revenue ­ defendants resorted to stuffing the
  • 19 statements artificially inflated the price of Cholestech's stock during the Class Period.
  • 20of the Securities Exchange Act of 1934 and Rule 10b-5 promulgated thereunder.
  • Court appointed plaintiffs Robert Ree, Robert Cuva, Donald Fought, Albert Jackson,
  • Carl Kircher, Patricia Malloy and Sharon Quercioli as Lead Plaintiffs, and appointed the
  • Law Offices of Lionel Z. Glancy as Lead Counsel for the Class.
  • 20 amended complaint, arguing that the first amended complaint violated Federal Rules of
  • 25 to all potential Class Members identifiable with reasonable effort.
  • 25 each Authorized Claimant will receive an amount equal to the Authorized Claimant's

  • 17 . APPENDIX OF DECLARATIONS

    EXTRACTED KEY WORDS
    CIVIL ACTION
    FEES
    ATTORNEYS
    SUPPORT
    DECLARATIONS
    COUNSEL
    YORK
    SUSSER
    ROBERT
    PLAINTIFFS
    SUITE
    GLANCY
    LIONEL
    HERETO
    EXPENSES
    REIMBURSEMENT
    PATRICIA MALLOY
    CARL KIRCHER
    ALBERT JACKSON
    SIGNATURE
    LEAD COUNSEL
    CALIFORNIA
    LOS ANGELES
    STARS
    AVENUE
    LAW OFFICES
    MICHAEL GOLDBERG
    THROWER
    TRACY
    
     1 Lionel Z. Glancy #134180
          Tracy L. Thrower #145782
     2 Michael Goldberg #188669
          LAW OFFICES OF LIONEL Z. GLANCY
     3 1801 Avenue of the Stars, Suite 311
          Los Angeles, California  90067
     4 Telephone: (310) 201-9150
          Facsimile:           (310) 201-9160
     5 Lead Counsel For Plaintiffs
     6 Robert C. Susser
     7 ROBERT C. SUSSER, P.C.
          6 East 43rd Street, Suite 1900
     8 New York, New York 10017-4609
     9 Counsel For Plaintiffs
    10 [Additional Counsel Appear on Signature Page]
    11                                           UNITED STATES DISTRICT COURT
    12                               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    13     Robert Ree, Robert Cuva, Donald Fought,                  ) Civ. Action No.
           Albert Jackson, Carl Kircher, Patricia Malloy, ) C99-0562 PJH
    14     And Sharon Quercioli, on behalf of                       )
           themselves and all others similarly situated             ) CLASS ACTION
    15                                                              )
                          Plaintiffs,                               ) Hon. Phyllis J. Hamilton
    16                                                              )
                v.                                                  )
    17                                                              ) APPENDIX OF PLAINTIFFS'
    18     Warren E. Pinckert, II, Andrea Tiller and                ) COUNSEL'S DECLARATIONS IN
           Cholestech Corporation,                                  ) SUPPORT OF APPLICATION
    19                                                              ) FOR AWARD OF ATTORNEYS'
                         Defendants.                                ) FEES AND REIMBURSEMENT
    20                                                              ) OF EXPENSES
                                                                    )
    21                                                              )) Date: October 31, 2001
    22                                                              ) Time:  9:00 a.m.
                                                                    ) Ctrm:  Hon. Phyllis J. Hamilton
    23                                                              ))
    24
    25
    26
    27
    28
    
    
          Appendix of Declarations in Support of Attorneys' Fees
          Civil Action No. C99-0562 PJH
    
    
    
     1              In connection with plaintiffs' counsel's application for an award of attorneys' fees
    
    SNIPPETS:
  • Lionel Z. Glancy #134180 Tracy L. Thrower #145782
  • Michael Goldberg #188669
  • LAW OFFICES OF LIONEL Z. GLANCY
  • 1801 Avenue of the Stars, Suite 311
  • Los Angeles, California 90067
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • New York, New York 10017-4609
  • 10 [Additional Counsel Appear on Signature Page]
  • Albert Jackson, Carl Kircher, Patricia Malloy,) C99-0562 PJH
  • Appendix of Declarations in Support of Attorneys' Fees
  • Civil Action No. C99-0562 PJH
  • and reimbursement of expenses, attached hereto are true and correct copies of the

  • 18 . DOCKET 2

    EXTRACTED KEY WORDS
    REE
    JUDGE
    PLAINTIFF
    ENTRY
    ROBERT
    DEFENDANT
    MOTION
    AMENDED COMPLAINT
    HAMILTON
    JUDGE PHYLLIS
    COUNSEL
    DOCKET
    LEAD PLAINTIFFS
    JURY DEMAND
    CHESNEY
    JUDGE MAXINE
    MANAGEMENT CONFERENCE
    DEFENDANT CHOLESTECH
    OPPOSITION
    STIPULATION
    DECLARATION
    MANAGEMENT CONFERENCE SET
    APPOINTMENT
    ANDREA TILLER
    AMENDED CLASS ACTION
    PREJUDICE
    AUTHORITIES
    MEMORANDUM
    DAVID DREWEK
    
    Case docket was last updated on: 03/29/01.
    
    
    Docket as of March 29, 2001 9:27 pm               Page 1
    
    Proceedings include all events.
    3:99cv562 Ree, et al v. Pinckert, et al
                                                                             PRVADR
                                                                PRVADR
                           U.S. District Court
      U.S. District for the Northern District of California (S.F.)
    
                   CIVIL DOCKET FOR CASE #: 99-CV-562
    
    Ree, et al v. Pinckert, et al                               Filed: 02/05/99
    Assigned to: Judge Phyllis J. Hamilton       Jury demand: Both
    Demand: $0,000                               Nature of Suit:  850
    Lead Docket: None                            Jurisdiction: Federal Question
    
    Cause: 15:78m(a) Securities Exchange Act
    
    
    ROBERT REE, individually and      Robert C. Susser
    on behalf of all others           (COR LD NTC)
    similarly situated                Stull Stull & Brody
         Plaintiff                    6 East 45th St 4th Flr
                                      New York, NY 10017
                                      (212) 687-7230
    
                                      Tracy L. Thrower
                                      (COR LD NTC)
                                      Lionel Z. Glancy
                                      (COR LD NTC)
                                      Peter A. Binkow
                                      (COR LD NTC)
                                      Michael Goldberg
                                      (COR LD NTC)
                                      Lionel Z. Glancy Law Offices
                                      1801 Avenue of the Stars
                                      Ste 311
                                      Los Angeles, CA 90067
                                      (310) 201-9150
    
                                      Brian Barry
                                      (COR LD NTC)
                                      8424A Santa Monica Blvd.
                                      Suite 184
                                      Los Angeles, CA 90069
    
    SNIPPETS:
  • Case docket was last updated on:
  • 3:99cv562 Ree, et al v. Pinckert, et al
  • Assigned to: Judge Phyllis J. Hamilton Jury demand: Both
  • ROBERT REE,
  • jury demand (Entry date 02/09/99)
  • 2/5/99 2 ORDER RE COURT PROCEDURE and SCHEDULE by Judge Maxine M.
  • Chesney: Proof of service to be filed by 3/22/99;
  • (cc: all counsel)
  • 4/2/99 4 NOTICE OF MOTION AND MOTION before Judge Maxine M. Chesney
  • 4/2/99 5 MEMORANDUM OF POINTS AND AUTHORITIES by Plaintiff in
  • support of motion for appointment of lead plaintiffs and
  • 4/16/99 7 MOTION before Judge Maxine M. Chesney by defendant to
  • 6/8/99 19 STIPULATION and ORDER by Judge Maxine M. Chesney:
  • Management Conference set for 10:30 6/11/99 (cc: all
  • 6/25/99 21 FIRST AMENDED COMPLAINT by Plaintiff; jury demand;
  • Dauab, David Drewek, Donald Fought, Allen Gerston, Albert
  • 9/20/99 25 MOTION with memorandum in support before Judge Maxine M.
  • 9/20/99 28 DECLARATION by David O'Brien on behalf of defendant re
  • 1/7/00 32 OPPOSITION by Plaintiff to motion to dismiss amended
  • of points and authorities in support thereof
  • 8/1/00 63 ORDER by Judge Phyllis J. Hamilton Case Management
  • Proposed Third Amended Class Action Complaint is 9/12/00;
  • adding Andrea Tiller
  • Warren E. Pinckert, defendant Cholestech Corp, defendant
  • Andrea Tiller to dismiss with prejudice the fourth amended

  • 19 . DOCKET

    EXTRACTED KEY WORDS
    VDF
    DEFENDANT
    CIVIL ACTION
    ENTRY
    CONSOLIDATED PLAINTIFF
    JUDGE
    ORDER CONSOLIDATING
    BUCHMEYER
    COUNSEL
    REFERENCE MATTER
    DOCKET
    FUTURE PLEADINGS
    ISSUED-4
    MCALEER
    KEVIN
    THOMPSON
    JERE
    CYR
    LEO
    CAPROCK
    HECTOR ALFARO
    DEMAND
    JURY
    ASSIGNMENT
    COURT
    DISTRICT
    CONSOLIDATED LEAD
    SPECIFICS
    JUDGE PAUL STICKNEY
    
    Case docket was last updated on: 09/06/00.
    
    
    Docket as of September 6, 2000 5:11 pm               Page 1
    
    Proceedings include all events.                                   M-STI
    3:00cv1613 Alfaro, et al v. Caprock Comm, et al                          LEAD
                                                                             JURY
                                                                M-STI  LEAD
                                                                JURY
                           U.S. District Court
                   Northern District of Texas (Dallas)
    
                   CIVIL DOCKET FOR CASE #: 00-CV-1613
    
    Alfaro, et al v. Caprock Comm, et al                        Filed: 07/26/00
    Assigned to: Chief Judge Jerry Buchmeyer     Jury demand: Plaintiff
    Demand: $0,000                               Nature of Suit:  850
    Lead Docket: None                            Jurisdiction: Federal Question
    Dkt# in other court: None
    
    Cause: 15:78m(a) Securities Exchange Act
    
    
    HECTOR ALFARO, On behalf of       Marc R Stanley, Attorney at Law
    himself and all others            214/443-0358 FAX
    similarly situated                (COR LD NTC ret)
         plaintiff                    Stanley Mandel & Iola
                                      3100 Monticello Ave
                                      Suite 750
                                      Dallas, TX 75205
                                      USA
                                      214/443-4300
    
    
    ANGELA AMOS, On behalf of         Thomas E Bilek, Attorney at Law
    herself and all others            713/227-9404 FAX
    similarly situated                (COR LD NTC ret)
         consolidated plaintiff       Hoeffner Bilek & Eidman
                                      440 Louisiana
                                      Suite 720
                                      Houston, TX 77002-1634
                                      USA
                                      713/227-7720
    
    
    TERESA A CICALA                   Marc R Stanley, Attorney at Law
         consolidated plaintiff       (See above)
    
    SNIPPETS:
  • Case docket was last updated on:
  • U.S. District Court
  • Northern District of Texas
  • Assigned to: Chief Judge Jerry Buchmeyer Jury demand: Plaintiff
  • HECTOR ALFARO, On behalf of Marc R Stanley, Attorney at Law
  • consolidated plaintiff Hoeffner Bilek & Eidman
  • CAPROCK COMMUNICATIONS CORP
  • KEVIN W MCALEER
  • defendant Leo J Cyr, defendant Jere W Thompson Jr, Kevin W
  • McAleer (Issued-4) (vdf) (Entry date 07/27/00)
  • 7/26/00 -- PRELIMINARY ASSIGNMENT TO Magistrate Judge Paul Stickney
  • 8/28/00 3 ORDER consolidating cases...The above referenced case is
  • CONSOLIDATED with civil action number 3:00-CV-1730-R and
  • (See order for specifics)
  • 8/28/00 -- Consolidated Lead Case
  • 9/6/00 4 ORDER consolidating cases..The above reference matter is
  • All future pleadings shall be filed
  • Buchmeyer) Copies to counsel: 09/06/00 Page1

  • 20 . AMENDED COMPLAINT

    EXTRACTED KEY WORDS
    DEFENDANTS
    LDX SYSTEM
    PLAINTIFFS
    REVENUE
    MARKET
    DISTRIBUTORS
    PINCKERT
    ANALYZERS
    COMPLAINT
    CLASS ACTION
    CLASS PERIOD
    STOCK
    MATERIALLY MISLEADING
    SALES
    ROBERT
    HEALTH PROMOTION
    INSTALLED BASE
    CALIFORNIA
    PHARMACY MARKET
    SECURITIES
    DISTRIBUTION CHANNEL
    PHYSICIAN OFFICE LAB
    RECKLESSLY DISREGARDING
    ACCOUNTING
    UNITED STATES
    CHOLESTEROL
    JANNEY COMPLAINT
    HEALTH MANAGEMENT SYSTEMS
    SECONDARY OFFERING
    
    LIONEL Z. GLANCY #134180
    TRACY L. THROWER #145782
    MICHAEL GOLDBERG #188669
    LAW OFFICES OF LIONEL Z. GLANCY
    1801 Avenue of the Stars, Suite 311
    Los Angeles, California  90067
    Phone:    (310) 201-9150
    Fax:      (310) 201-9160
    
    Lead Counsel For Plaintiffs
    
    ROBERT C. SUSSER
    ROBERT C. SUSSER, P.C.
    6 East 43rd Street, Suite 1900
    New York, New York 10017-4609
    
    Attorneys For Plaintiffs
    (Additional Counsel Appear on Signature Page)
    
                     UNITED STATES DISTRICT COURT
    
               FOR THE NORTHERN DISTRICT OF CALIFORNIA
    
    ROBERT REE, FRANK BIANCHI, MARK    )  Civ. Action No.
    BOUQUET, TIMOTHY CASTELL, AMY      )  C99-0562 MMC
    CHU, ELYSE COLEMAN, LISA           )
    CUSTODIO, ROBERT CUVA, MILES       )
    DAUB, DAVID DREWEK, DONALD         )  Hon. Maxine M. Chesney
    FOUGHT, ALLEN GERSTON, ALBERT      )
    JACKSON, DARYL JOHNSON, RICHARD    )
    KAIN, SAID KHATIB, CARL KIRCHER,   )  AMENDED CLASS ACTION
    LARRY KOLODEY, NICHOLAS LAURORA,   )  COMPLAINT
    JENNINE LINDBERG, PATRICIA         )  (filed Jun. 25, 1999)
    MALLOY, STUART MATT, TODD          )
    MATTHEWS, DAVID MILLER, KURT       )  JURY TRIAL DEMANDED
    MITCHELL, ROBERT MORRISON, MYRON   )
    OLSON, SHARON QUERCIOLI, MARTHA    )
    RABKIN, MARIO SCOMA, BEN           )
    STACKLER, JAMES STAUBER, MARTHA    )
    STOVALL, ANTHONY STRACHAN, FRANK   )
    STROCK, GENE TORBECK, THOMAS       )
    TRENKMANN, TED VALK, BARRY         )
    WEISMAN, BERNARD WIEST and         )
    DOUGLAS WRAY,                      )
                                       )
         Plaintiffs,                   )
                                       )
         v.                            )
    
    SNIPPETS:
  • Lead Counsel For Plaintiffs
  • ROBERT C. SUSSER, P.C. 6 East 43rd Street, Suite 1900
  • UNITED STATES DISTRICT COURT
  • FOR THE NORTHERN DISTRICT OF CALIFORNIA
  • complaint, allege the following upon personal knowledge as to
  • familiar with the business of Cholestech Corporation
  • and analysis of accounting rules and related literature.
  • Plaintiffs bring this action as a class action on
  • to recover damages caused by defendants' violations
  • flagship product, the LDX System.
  • During the Class Period,
  • revenue with respect to these "deals;"
  • Cholestech's shelves to distributors' shelves to meet
  • Analyzers sold during the fourth quarter of 1998 were sold on a
  • terminated by defendant Pinckert,
  • support the illusion of market acceptance for the LDX Analyzer,
  • results and on Forms 10-Q and 10-K, filed with the Securities
  • Wray purchased the common stock of Cholestech during the Class
  • have been materially misleading to the investing public.
  • testing and measuring total cholesterol,
  • Office Laboratory, Health Promotion and Pharmacy
  • Physician Sales & Services, Inc.
  • Pharmacy market using Bergen Brunswig Drug Company.
  • The Class Period Commences With Cholestech's Secondary Offering
  • distribution channel" with excess product and book all such
  • Janney Complaint, from 1992 through 1996, Janney reported
  • The installed base of Cholestech LDX Systems in the physician office lab market increased to
  • purchase refrigerators for Health Management Systems so that it
  • despite actual knowledge or recklessly disregarding

  • 21 . MOTION FOR APPOINTMENT

    EXTRACTED KEY WORDS
    LEAD COUNSEL
    MOTION
    REE PLAINTIFFS
    LITIGATION REFORM ACT
    PRIVATE SECURITIES LITIGATION
    COURT
    CALIFORNIA
    GLANCY
    LIONEL
    SUPPORT THEREOF
    REE PLAINTIFFS GROUP
    APPOINTMENT
    SECURITIES LITIGATION REFORM
    ROBERT REE
    DISTRICT
    UNITED STATES
    ATTORNEYS
    LAW OFFICES
    GOLDBERG
    MICHAEL
    EPOST
    DECLARATION
    AUTHORITIES
    MEMORANDUM
    PROVISIONS
    PURSUANT
    CIVIL PROCEDURE
    FEDERAL RULES
    SECURITIES EXCHANGE ACT
    
    LIONEL Z. GLANCY #134180
    MICHAEL GOLDBERG #188669
    TRACY L. THROWER #145782
    LAW OFFICES OF LIONEL Z. GLANCY
    1801 Avenue of the Stars, Suite 308
    Los Angeles, California  90067
    Phone:  (310) 201-9150
    Fax:    (310) 201-9160
    
    Attorneys for Plaintiffs
    
    
                      UNITED STATES DISTRICT COURT
    
                FOR THE NORTHERN DISTRICT OF CALIFORNIA
    
    
    ROBERT REE, individually and on    )  Civ. Action No.
    behalf of all others similarly     )  C99-0562 MMC
    situated,                          )
                                       )  CLASS ACTION
         Plaintiff,                    )
                                       )  Hon. Maxine M. Chesney
         v.                            )
                                       )  NOTICE OF MOTION AND
    WARREN E. PINCKERT and CHOLESTECH  )  MOTION OF REE PLAINTIFFS
    CORPORATION,                       )  GROUP FOR APPOINTMENT OF
                                       )  LEAD PLAINTIFFS AND FOR
         Defendants.                   )  APPROVAL OF LEAD
                                       )  PLAINTIFFS' CHOICE OF
    ___________________________________)  LEAD COUNSEL
    
                                          Date: May 7, 1999
                                          Time: 9:00 a.m.
                                          Ctrm: 2
    
    
    TO ALL PARTIES AND THEIR RESPECTIVE ATTORNEYS OF RECORD:
    
         PLEASE TAKE NOTICE that on May 7, 1999, at 9:00 a.m., or
    
    as soon thereafter as the matter can be heard on the calendar
    
    of the Hon. Maxine M. Chesney, in Courtroom 2 of the above-
    
    entitled Court, located at the United States Courthouse, 450
    
    Golden Gate Avenue, San Fransisco, California, Plaintiff
    
    SNIPPETS:
  • UNITED STATES DISTRICT COURT
  • FOR THE NORTHERN DISTRICT OF CALIFORNIA
  • ROBERT REE, individually and on) Civ.
  • WARREN E. PINCKERT and CHOLESTECH) MOTION OF REE PLAINTIFFS
  • ___________________________________) LEAD COUNSEL
  • TO ALL PARTIES AND THEIR RESPECTIVE ATTORNEYS OF RECORD:
  • of the Securities Exchange Act of 1934,
  • Private Securities Litigation Reform Act of 1995,
  • and Rule 42of the Federal Rules of Civil Procedure,
  • This motion is brought pursuant to the provisions of the
  • for the appointment of the Ree Plaintiffs Group as Lead
  • motion is based upon this Notice, the Memorandum of Points and
  • Authorities In Support Thereof, and the Declaration of Michael
  • Goldberg In Support Thereof,
  • File to epost from Law Offices of Lionel Z. Glancy

  • 22 . MEMO IN SUPPORT OF MOTION FOR APPOINTMENT

    EXTRACTED KEY WORDS
    REE PLAINTIFFS
    PLAINTIFFS GROUP
    EXCHANGE ACT
    COURT
    MEMBERS
    SECURITIES
    APPOINTMENT
    DEFENDANTS
    TYPICALITY
    COMPLAINT
    CHOLESTECH
    REPRESENTING
    LDX SYSTEM
    LEAD COUNSEL
    CLASS PERIOD
    MOTION
    FEDERAL RULES
    LAW
    ADEQUACY
    CIVIL PROCEDURE
    GOLDBERG
    LITIGATION
    ROBERT REE
    DIRECTS
    STOCK
    COMMON
    PURCHASERS
    APPROVE
    PUBLICATION
    
    LIONEL Z. GLANCY #134180
    MICHAEL GOLDBERG #188669
    TRACY L. THROWER #145782
    LAW OFFICES OF LIONEL Z. GLANCY
    1801 Avenue of the Stars, Suite 308
    Los Angeles, California  90067
    Phone:  (310) 201-9150
    Fax:    (310) 201-9160
    
    Attorneys for Plaintiffs
    
    
                      UNITED STATES DISTRICT COURT
    
                FOR THE NORTHERN DISTRICT OF CALIFORNIA
    
    
    ROBERT REE, individually and on    )  Civ. Action No.
    behalf of all others similarly     )  C99-0562 MMC
    situated,                          )
                                       )  CLASS ACTION
         Plaintiff,                    )
                                       )  Hon. Maxine M. Chesney
         v.                            )
                                       )  MEMORANDUM OF POINTS AND
    WARREN E. PINCKERT and CHOLESTECH  )  AUTHORITIES IN SUPPORT
    CORPORATION,                       )  OF REE PLAINTIFFS GROUP
                                       )  MOTION FOR APPOINTMENT
         Defendants.                   )  OF LEAD PLAINTIFFS AND
                                       )  FOR APPROVAL OF LEAD
                                       )  PLAINTIFFS' CHOICE OF
    ___________________________________)  LEAD COUNSEL
    
                                          Date: May 7, 1999
                                          Time: 9:00 a.m.
                                          Ctrm: 2
    
      __________________________________________________________________________
    
    
                           TABLE OF CONTENTS
    
    
    
    
    
    
    
    
    SNIPPETS:
  • Attorneys for Plaintiffs
  • UNITED STATES DISTRICT COURT
  • WARREN E. PINCKERT and CHOLESTECH) AUTHORITIES IN SUPPORT
  • ___________________________________) LEAD COUNSEL
  • Federal Rules of Civil Procedure
  • Securities Exchange Act of 1934
  • Statement of Managers --The "Private Securities Litigation Reform Act of 1995",
  • The named Plaintiff in this action, Robert Ree,
  • submit this memorandum of law in support of its motion for an
  • order appointing the Ree Plaintiffs Group as lead plaintiffs in
  • behalf of purchasers of Cholestech common stock between July
  • As detailed in plaintiffs' Class Action Complaint (the
  • "Complaint"), plaintiffs allege that during the Class Period,
  • The LDX System includes the LDX
  • defendants
  • Company's stock.
  • The issue before this Court by the instant motion is the
  • appointment of lead plaintiff and lead counsel in this action
  • the plaintiff or plaintiffs shall cause to be published, in a widely circulated national
  • Section 21Ddirects the Court to
  • 90 days after the date of publication;
  • The Ree Plaintiffs Group published the requisite notice of
  • See Goldberg Declaration, Exhibit B. To the
  • be most capable of adequately representing the interests of
  • should limit its inquiry to the typicality and adequacy prongs
  • THIS COURT SHOULD APPROVE THE REE PLAINTIFFS GROUP'S CHOICE OF LEAD COUNSEL

  • 23 . DECLARATION OF MICHAEL GOLDBERG

    EXTRACTED KEY WORDS
    REE
    EXHIBIT
    CERTIFICATIONS
    HERETO
    PLAINTIFFS GROUP
    ROBERT
    LAW OFFICES
    DECLARATION
    GLANCY
    LIONEL
    MEMBERS
    COUNSEL
    CALIFORNIA
    LEAD COUNSEL
    MICHAEL GOLDBERG
    MARTHA
    DAVID
    FRANK
    LITIGATION
    BUSINESSWIRE
    SWORN CERTIFICATE
    COMPLAINT
    MOTION
    SUPPORT
    DISTRICT
    LOS ANGELES
    DOUGLAS WRAY
    BERNARD WIEST
    BARRY WEISMAN
    
    LIONEL Z. GLANCY #134180
    MICHAEL GOLDBERG #188669
    TRACY L. THROWER #145782
    LAW OFFICES OF LIONEL Z. GLANCY
    1801 Avenue of the Stars, Suite 308
    Los Angeles, California  90067
    Phone:  (310) 201-9150
    Fax:    (310) 201-9160
    
    Attorneys for Plaintiffs
    
    
                      UNITED STATES DISTRICT COURT
    
                FOR THE NORTHERN DISTRICT OF CALIFORNIA
    
    
    ROBERT REE, individually and on    )  Civ. Action No.
    behalf of all others similarly     )  C99-0562 MMC
    situated,                          )
                                       )  CLASS ACTION
         Plaintiff,                    )
                                       )  Hon. Maxine M. Chesney
         v.                            )
                                       )  DECLARATION OF MICHAEL
    WARREN E. PINCKERT and CHOLESTECH  )  GOLDBERG IN SUPPORT OF
    CORPORATION,                       )  REE PLAINTIFFS GROUP
                                       )  MOTION FOR APPOINTMENT
         Defendants.                   )  OF LEAD PLAINTIFFS AND
                                       )  FOR APPROVAL OF LEAD
                                       )  PLAINTIFFS' CHOICE OF
    ___________________________________)  LEAD COUNSEL
    
                                          Date: May 7, 1999
                                          Time: 9:00 a.m.
                                          Ctrm: 2
    
    
         I, Michael Goldberg, hereby declare:
    
              1.   I am an associate of the Law Offices of Lionel
    
    Z. Glancy, plaintiffs' counsel in the above-captioned action
    
    and counsel for other class members submitting this motion
    
    (collectively, the "Ree Plaintiffs Group").  I submit this
    
    
    SNIPPETS:
  • Attorneys for Plaintiffs
  • FOR THE NORTHERN DISTRICT OF CALIFORNIA
  • ROBERT REE, individually and on) Civ.
  • ___________________________________) LEAD COUNSEL
  • I, Michael Goldberg, hereby declare:
  • I am an associate of the Law Offices of Lionel
  • declaration in support of the Motion By The Ree Plaintiffs
  • Attached hereto as Exhibit A is a true and
  • correct copy of the complaint filed in this action.
  • to the complain