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COPPER MOUNTAIN CLASS ACTION LITIGATION Click to find out why . . .



Keywords & Phrases
CaseNo: CMCAL206442, CourtName: CLASS ACTION CASES, State: CA California, UniqueCaseRef: LCD>CMCAL206442, Copper Mountain, Gilbert, Stock, Networks, Creelman, Copper Mountain Investors, Class Action, Lead Plaintiff, Securities, Motion, Lerach Llp, Revenue, Dsl, San Francisco, Clec Customers, Common Stock, Market, Copper Mountain Shares, Copper Mountain Networks, Scott, Milberg Weiss Bershad, Eps, Investors, Class Actions, Coughlin, Federal Securities, Exchange Act, Violations, Bandman, Hynes, Chief Financial Officer, Class Period, Prendergast, Service Providers, United States, Dslam, Law Offices , ContentID: 120249600

Case Documents
1   REPLY MEMO IN SUPPORT OF MOTION TO APPOINT
[ see first page and extracted highlights below  ] ItemID: 122276
11 pages
TXT
2   NOTICE OF MOTION
[ see first page and extracted highlights below  ] ItemID: 122275
15 pages
TXT
3   MOTION AND MEMORANDUM IN SUPPORT OF MOTION TO CONSOLIDATE 2
[ see first page and extracted highlights below  ] ItemID: 122274
11 pages
TXT
4   MOTION AND MEMO
[ see first page and extracted highlights below  ] ItemID: 122273
14 pages
TXT
5   MOTION AND MEMO IN SUPPORT OF MOTION TO CONSOLIDATE
[ see first page and extracted highlights below  ] ItemID: 122272
11 pages
TXT
6   MEMORANDUM IN OPPOSITION TO MOTIONS
[ see first page and extracted highlights below  ] ItemID: 122271
13 pages
TXT
7   JOINT DECLARATION
[ see first page and extracted highlights below  ] ItemID: 122270
4 pages
TXT
8   DECLARATION OF RANDI D
[ see first page and extracted highlights below  ] ItemID: 122269
4 pages
TXT
9   DECLARATION OF PATRICK J
[ see first page and extracted highlights below  ] ItemID: 122268
3 pages
TXT
10   DECLARATION OF LESLEY E
[ see first page and extracted highlights below  ] ItemID: 122267
3 pages
TXT
11   COMPLAINT B 9
[ see first page and extracted highlights below  ] ItemID: 122266
14 pages
TXT
12   COMPLAINT B 8
[ see first page and extracted highlights below  ] ItemID: 122265
14 pages
TXT
13   COMPLAINT B 7
[ see first page and extracted highlights below  ] ItemID: 122264
14 pages
TXT
14   COMPLAINT B 6
[ see first page and extracted highlights below  ] ItemID: 122263
17 pages
TXT
15   COMPLAINT B 5
[ see first page and extracted highlights below  ] ItemID: 122262
14 pages
TXT
16   COMPLAINT B 4
[ see first page and extracted highlights below  ] ItemID: 122261
14 pages
TXT
17   COMPLAINT B 3
[ see first page and extracted highlights below  ] ItemID: 122260
14 pages
TXT
18   COMPLAINT B 2
[ see first page and extracted highlights below  ] ItemID: 122259
14 pages
TXT
19   COMPLAINT B 14
[ see first page and extracted highlights below  ] ItemID: 122258
14 pages
TXT
20   COMPLAINT B 13
[ see first page and extracted highlights below  ] ItemID: 122257
14 pages
TXT
21   COMPLAINT B 12
[ see first page and extracted highlights below  ] ItemID: 122256
14 pages
TXT
22   COMPLAINT B 11
[ see first page and extracted highlights below  ] ItemID: 122255
14 pages
TXT
23   COMPLAINT B 10
[ see first page and extracted highlights below  ] ItemID: 122254
14 pages
TXT
24   COMPLAINT B 1
[ see first page and extracted highlights below  ] ItemID: 122253
14 pages
TXT
25   COMPLAINT A
[ see first page and extracted highlights below  ] ItemID: 122252
14 pages
TXT
Total Documents: 25 documents , 302 pages
Price: $ 139.95


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1 . REPLY MEMO IN SUPPORT OF MOTION TO APPOINT

EXTRACTED KEY WORDS
COPPER MOUNTAIN
LEAD PLAINTIFF
COURT
COUNSEL
MOTION
PRENDERGAST GROUP
WEAVER
SUPPORT
LOSSES
SCOTT
SAN FRANCISCO
SECURITIES EXCHANGE
APPOINT
DISTRICT COURT
LERACH LLP
OPPOSITION
MILBERG WEISS BERSHAD
LITIGATION
PSLRA
FEE STRUCTURE
AUTHORITIES
MEMORANDUM
CALIFORNIA
UNITED STATES
LLC
CHENOWETH
APPOINTMENT
AGGREGATION
THEREOF


   MILBERG WEISS BERSHAD
   HYNES & LERACH LLP
   PATRICK J. COUGHLIN (111070)
   RANDI D. BANDMAN (145212)
   LESLEY E. WEAVER (191305)
   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)

   SCOTT & SCOTT, LLC
   DAVID R. SCOTT
   JAMES E. MILLER
   108 Norwich Avenue
   Colchester, CT 06415
   Telephone: 860/537-3818
   860/537-4432 (fax)

   (Proposed) Co-Lead Counsel for Plaintiffs

                        UNITED STATES DISTRICT COURT

                      NORTHERN DISTRICT OF CALIFORNIA



   ARIEL HERNANDEZ, On Behalf of Herself
   and All Others Similarly Situated,

                           Plaintiff,

       vs.

   COPPER MOUNTAIN NETWORKS,
   INC., et al.,

                           Defendants.
   _____________________________________

   )
SNIPPETS:
  • San Francisco, CA 94111 Telephone: 415/288-4545 415/288-4534 - and -WILLIAM S. LERACH
  • SCOTT & SCOTT, LLC DAVID R. SCOTT JAMES E. MILLER
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • REPLY MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT THEREOF FOR THE MOTION TO APPOINT THE
  • OF THE SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL
  • The Prendergast Group Has Not Rebutted the Copper Mountain Investors' Presumptive Status as
  • The Prendergast Group Has Not Explained Why Aggregating the Losses of Its Ten Members is
  • The Prendergast Group Does Not Address Why Bidding, an Extraordinary Measure Not Contemplated
  • Even If This Court Believes Bidding to Be Useful in Certain
  • The Copper Mountain Investorssubmit this reply brief in support of their motion for
  • That bidding is neither envisioned by the Private Securities Litigation Reform Act of 1995
  • See Weaver Decl., Ex.
  • The Chenoweth Opposition claims that aggregation is always inappropriate.
  • This is consistent with the finding of the MicroStrategy court that "he ultimate fee
  • Similarly, a court-imposed fee structure determined at the beginning of the case may arguably
  • That is, these sophisticated investors reviewed other firm resumes and even interviewed
  • MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT THEREOF FOR THE MOTION TO APPOINT THE COPPER

  • 2 . NOTICE OF MOTION

    EXTRACTED KEY WORDS
    COPPER MOUNTAIN INVESTORS
    LEAD PLAINTIFF
    CLASS ACTIONS
    COPPER MOUNTAIN NETWORKS
    MOTION
    SECURITIES
    EXCHANGE ACT
    COURT
    COUNSEL
    BANDMAN
    SCOTT
    DEFENDANTS
    SAN FRANCISCO
    MILBERG WEISS BERSHAD
    CLASS MEMBERS
    LEAD PLAINTIFF PURSUANT
    LERACH LLP
    APPROVE LEAD
    SUPPORT THEREOF
    AUTHORITIES
    MEMORANDUM
    CALIFORNIA
    UNITED STATES
    CO-LEAD COUNSEL
    LLC
    COUGHLIN
    PATRICK
    CLASS PERIOD
    BANDMAN DECL
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       NEIL ROTHSTEIN
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT NEIL ROTHSTEIN JAMES E. MILLER
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • NOTICE OF MOTION, MOTION AND MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT THEREOF FOR THE
  • SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL
  • Copper Mountain Investors meet the requirements of Rule 23 of the Federal Rules of Civil
  • the Copper Mountain Investors have selected and retained law firms with substantial
  • The motion is based on this notice of motion, the supporting memorandum of points and
  • The Copper Mountain Investors have suffered losses of at least $3,314.276 as a result of
  • Hernandez v. Copper Mountain Networks, Inc., et al.
  • During the Class Period, the Copper Mountain Investors purchased Copper Mountain securities
  • In addition, the Copper Mountain Investors have selected the law firms of Milberg Weiss
  • In these related cases, the Copper Mountain Investors have selected the law firm of Milberg

  • 3 . MOTION AND MEMORANDUM IN SUPPORT OF MOTION TO CONSOLIDATE 2

    EXTRACTED KEY WORDS
    CONSOLIDATION
    MOTION
    COPPER MOUNTAIN NETWORKS
    COURT
    PLAINTIFF
    LEAD PLAINTIFF
    COPPER MOUNTAIN INVESTORS
    RELATED ACTIONS
    SAN FRANCISCO
    SECURITIES
    APPOINTMENT
    PENDING
    PSLRA
    DISTRICT
    REVENUE
    PURSUANT
    EXCHANGE ACT
    SCOTT
    DECLARATION
    AUTHORITIES
    MEMORANDUM
    DEFENDANTS
    UNITED STATES
    COUNSEL
    BANDMAN
    LERACH LLP
    PRESERVATION
    DETERMINATION
    PRIOR
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       NEIL ROTHSTEIN
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT NEIL ROTHSTEIN JAMES E. MILLER
  • NORTHERN DISTRICT OF CALIFORNIA
  • COPPER MOUNTAIN NETWORKS,
  • NOTICE OF MOTION,
  • AND AUTHORITIES IN SUPPORT THEREOF FOR THE MOTION TO CONSOLIDATE RELATED ACTIONS
  • Summary of Pending Actions
  • This Court Should Consolidate These Related Actions for Purposes of Efficiency
  • The PSLRA Requires that the Question of Consolidation Be Decided Prior to the Determination
  • This Court Should Order the Preservation of Documents
  • Hernandez v. Copper Mountain Networks, Inc., et al.
  • This motion is brought on the grounds that these actions are substantially identical because
  • This motion is based upon this notice of motion, the memorandum of points and authorities,
  • The Copper Mountain Investors seek to consolidate all of the securities class actions listed
  • "Our revenue growth of over 360% over the first quarter of 1999 combined with strong
  • Investors Research Co. v. United States Dist.
  • The PSLRA Requires that the Question of Consolidation Be Decided Prior to the Determination
  • Given that the selection of lead plaintiff and lead counsel is the necessary first step to
  • DECLARATION OF SERVICE BY MAIL

  • 4 . MOTION AND MEMO

    EXTRACTED KEY WORDS
    COPPER MOUNTAIN INVESTORS
    LEAD PLAINTIFF
    CLASS ACTIONS
    COPPER MOUNTAIN NETWORKS
    MOTION
    SECURITIES
    EXCHANGE ACT
    COURT
    COUNSEL
    BANDMAN
    SCOTT
    DEFENDANTS
    SAN FRANCISCO
    MILBERG WEISS BERSHAD
    CLASS MEMBERS
    LEAD PLAINTIFF PURSUANT
    LERACH LLP
    APPROVE LEAD
    SUPPORT THEREOF
    AUTHORITIES
    MEMORANDUM
    CALIFORNIA
    UNITED STATES
    CO-LEAD COUNSEL
    LLC
    COUGHLIN
    PATRICK
    CLASS PERIOD
    BANDMAN DECL
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       NEIL ROTHSTEIN
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT NEIL ROTHSTEIN JAMES E. MILLER
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • NOTICE OF MOTION, MOTION AND MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT THEREOF FOR THE
  • SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL
  • Copper Mountain Investors meet the requirements of Rule 23 of the Federal Rules of Civil
  • the Copper Mountain Investors have selected and retained law firms with substantial
  • The motion is based on this notice of motion, the supporting memorandum of points and
  • The Copper Mountain Investors have suffered losses of at least $3,314.276 as a result of
  • Hernandez v. Copper Mountain Networks, Inc., et al.
  • During the Class Period, the Copper Mountain Investors purchased Copper Mountain securities
  • In addition, the Copper Mountain Investors have selected the law firms of Milberg Weiss
  • In these related cases, the Copper Mountain Investors have selected the law firm of Milberg

  • 5 . MOTION AND MEMO IN SUPPORT OF MOTION TO CONSOLIDATE

    EXTRACTED KEY WORDS
    CONSOLIDATION
    MOTION
    COPPER MOUNTAIN NETWORKS
    COURT
    PLAINTIFF
    LEAD PLAINTIFF
    COPPER MOUNTAIN INVESTORS
    RELATED ACTIONS
    SAN FRANCISCO
    SECURITIES
    APPOINTMENT
    PENDING
    PSLRA
    DISTRICT
    REVENUE
    PURSUANT
    EXCHANGE ACT
    SCOTT
    DECLARATION
    AUTHORITIES
    MEMORANDUM
    DEFENDANTS
    UNITED STATES
    COUNSEL
    BANDMAN
    LERACH LLP
    PRESERVATION
    DETERMINATION
    PRIOR
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       NEIL ROTHSTEIN
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT NEIL ROTHSTEIN JAMES E. MILLER
  • NORTHERN DISTRICT OF CALIFORNIA
  • COPPER MOUNTAIN NETWORKS,
  • NOTICE OF MOTION,
  • AND AUTHORITIES IN SUPPORT THEREOF FOR THE MOTION TO CONSOLIDATE RELATED ACTIONS
  • Summary of Pending Actions
  • This Court Should Consolidate These Related Actions for Purposes of Efficiency
  • The PSLRA Requires that the Question of Consolidation Be Decided Prior to the Determination
  • This Court Should Order the Preservation of Documents
  • Hernandez v. Copper Mountain Networks, Inc., et al.
  • This motion is brought on the grounds that these actions are substantially identical because
  • This motion is based upon this notice of motion, the memorandum of points and authorities,
  • The Copper Mountain Investors seek to consolidate all of the securities class actions listed
  • "Our revenue growth of over 360% over the first quarter of 1999 combined with strong
  • Investors Research Co. v. United States Dist.
  • The PSLRA Requires that the Question of Consolidation Be Decided Prior to the Determination
  • Given that the selection of lead plaintiff and lead counsel is the necessary first step to
  • DECLARATION OF SERVICE BY MAIL

  • 6 . MEMORANDUM IN OPPOSITION TO MOTIONS

    EXTRACTED KEY WORDS
    COPPER MOUNTAIN INVESTORS
    PLAINTIFF
    MOTION
    COURT
    PRENDERGAST
    COMPETITIVE BIDDING
    SCOTT
    CHENOWETH
    MILBERG WEISS
    PRESUMPTION
    APPOINTMENT
    PRENDERGAST GROUP
    SAN FRANCISCO
    FEE
    BANDMAN
    LERACH LLP
    PRENDERGAST GROUP SEEKING
    OPPOSITION
    DEFENDANTS
    DISTRICT COURT
    LITIGATION
    CALIFORNIA
    UNITED STATES
    CO-LEAD COUNSEL
    MILBERG WEISS BERSHAD
    MEMORANDUM
    LLC
    JOINT DECL
    PSLRA
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       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)
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
       860/537-4432 (fax)
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of Herself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       ____________________________________
    
    
    SNIPPETS:
  • San Francisco, CA 94111 Telephone: 415/288-4545 415/288-4534 - and -WILLIAM S. LERACH
  • SCOTT & SCOTT, LLC DAVID R. SCOTT JAMES E. MILLER
  • Co-Lead Counsel for Plaintiffs
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • THE COPPER MOUNTAIN INVESTORS' MEMORANDUM OF POINTS AND AUTHORITIES IN OPPOSITION TO MOTIONS
  • The Copper Mountain Investors are the Presumptive Lead Plaintiffs, as They Have the Largest
  • The Copper Mountain Investors include David Cavanaugh, Michael P. Hannon, Richard B. Weiss,
  • The motion of William A. Chenoweth;
  • the Private Securities Litigation Reform Act of 1995 (the "PSLRA" or "Reform Act") presumes
  • Thus as compared to Chenoweth, the Copper Mountain Investors plainly have a greater interest
  • The Prendergast Motion alleges that ten individual investors sustained aggregate losses which
  • each of the Copper Mountain Investors are sophisticated and educated individuals who
  • In contrast, the Copper Mountain Investors, who do satisfy the lead plaintiff criteria, have
  • The Copper Mountain Investors have "directed Milberg Weiss and Scott & Scott to continue to
  • The Copper Mountain Investors have selected the firms of Milberg Weiss Bershad Hynes & Lerach
  • As this negotiation has already achieved the goals of competitive bidding, their choice of
  • J-K to the Declaration of Randi D. Bandman in Support of: Motion to Appoint the Copper

  • 7 . JOINT DECLARATION

    EXTRACTED KEY WORDS
    DECLARATION
    MILBERG WEISS
    LEAD PLAINTIFF
    SAN FRANCISCO
    COPPER MOUNTAIN
    MOTION
    CALIFORNIA
    COUNSEL
    PROSECUTION
    APPOINTMENT
    COPPER MOUNTAIN INVESTIGATION
    SUPPORT
    JOINT DECLARATION
    NORTHERN DISTRICT
    UNITED STATES
    DAVID CAVANAUGH
    LERACH
    REGULAR
    RECOVERY
    INTENTION
    SECURITIES
    TESTIFY
    MIKE HANNON
    RICHARD WEISS
    HERRGOTT
    ROBERT
    RAYMOND PFEIFER
    DEFENDANTS
    COURT
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       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)
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
       860/537-4432 (fax)
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
    
    SNIPPETS:
  • 415/288-4545 415/288-4534 - and -WILLIAM S. LERACH
  • SCOTT & SCOTT, LLC DAVID R. SCOTT JAMES E. MILLER
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • JOINT DECLARATION IN SUPPORT OF THE COPPER MOUNTAIN INVESTORS' MOTION FOR APPOINTMENT OF LEAD
  • We make this Joint Declaration in further support of the motion of David Cavanaugh, Raymond
  • We have personal knowledge of the facts herein, and, if called to testify, would competently
  • We have each suffered significant losses as a result of our purchases of Copper Mountain
  • We were not "chosen by attorneys" but rather decided to select Milberg Weiss Bershad Hynes &
  • We have met and are continuing to meet on a regular basis going forward concerning our
  • We have directed Milberg Weiss and Scott & Scott to continue to provide us with updates of
  • We have also directed our counsel to convey to us any settlement overtures made by defendants.
  • Recognizing that the Court has the final decision on any fee awarded to class counsel, we
  • It is our intention to draw upon our collective expertise in financial and securities matters
  • PURSUANT TO NORTHERN DISTRICT LOCAL RULE 23-2
  • That declarant is and was, at all times herein mentioned, a citizen of the United States and

  • 8 . DECLARATION OF RANDI D

    EXTRACTED KEY WORDS
    EXHIBIT
    APPOINT
    MOTION
    DECLARE
    COUNSEL
    CALIFORNIA
    SAN FRANCISCO
    APPROVING LEAD
    UNITED STATES
    SCOTT
    BANDMAN
    RANDI
    WILSON
    LERACH
    GRANTING WILSON
    PLAINTIFF GROUP
    FIRM
    CONSOLIDATE
    SECURITIES EXCHANGE ACT
    PLAINTIFF PURSUANT
    MOUNTAIN INVESTORS
    COPPER
    NORTHERN DISTRICT
    LERACH LLP
    WEISS BERSHAD HYNES
    MILBERG WEISS BERSHAD
    DENYING
    CLOROX COMPANY
    SELECTION
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       NEIL ROTHSTEIN
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • SCOTT & SCOTT, LLC DAVID R. SCOTT NEIL ROTHSTEIN JAMES E. MILLER
  • COPPER MOUNTAIN NETWORKS,
  • DECLARATION OF RANDI D. BANDMAN IN SUPPORT OF: MOTION TO APPOINT THE COPPER MOUNTAIN
  • PLAINTIFF'S CHOICE OF COUNSEL; AND MOTION TO CONSOLIDATE RELATED ACTIONS
  • I am an attorney duly licensed to practice before all of the courts of the State of
  • I am a member of the law firm of Milberg Weiss Bershad Hynes & Lerach LLP, one of the counsel
  • Exhibit B: Chart of Movants' Purchases,
  • Steiner v. Aurora Foods, Inc., et al., No. C-00-602 CW, Order Consolidating Cases, Appointing
  • In re the Clorox Company Sec. Litig., No. C 99-4471 SC, Order re Plaintiffs' Motion to
  • Lubitsch, et al. v. Dataworks Corp., et al., No. 98-2012-IEG, Order Denying Wilson Group's
  • Granting Wilson Group's Motion for Approval of Lead Counsel; Denying Wilson Group's Request
  • I declare under penalty of perjury under the laws of California and the United States of
  • Executed this 22nd day of December, 2000, at San Francisco, California.
  • PURSUANT TO NORTHERN DISTRICT LOCAL RULE 23-2
  • OF THE SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S

  • 9 . DECLARATION OF PATRICK J

    EXTRACTED KEY WORDS
    CALIFORNIA
    SAN FRANCISCO
    UNITED STATES
    PLAINTIFF
    COUGHLIN
    PATRICK
    COPPER MOUNTAIN
    COUNSEL
    EXHIBIT
    PRENDERGAST GROUP
    MOTIONS
    COPPER MOUNTAIN INVESTORS
    SCOTT
    LERACH LLP
    THEREOF
    FOREGOING
    PERJURY
    PENALTY
    LAW
    BIDDING
    APPOINTMENT
    SEEKING
    CHENOWETH
    OPPOSITION
    SUPPORT
    COURT
    DISTRICT
    HYNES
    MILBERG WEISS BERSHAD
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       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)
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
       860/537-4432 (fax)
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _________________________________
    
    
    SNIPPETS:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT JAMES E. MILLER
  • Co-Lead Counsel for Plaintiffs
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • DECLARATION OF PATRICK J. COUGHLIN IN SUPPORT OF THE COPPER MOUNTAIN INVESTORS' OPPOSITION TO
  • I am an attorney duly licensed to practice before all of the courts of the State of
  • I am a member of the law firm of Milberg Weiss Bershad Hynes & Lerach LLP, one of the counsel
  • Exhibit 2: Summary of The Copper Mountain Investors' Purchases
  • I declare under penalty of perjury under the laws of the State of California that the
  • Executed this 11th day of January 2001, at San Francisco, California.
  • BIDDING by depositing a true copy thereof in a United States mailbox at San Francisco,

  • 10 . DECLARATION OF LESLEY E

    EXTRACTED KEY WORDS
    PLAINTIFF
    CALIFORNIA
    SAN FRANCISCO
    EXHIBIT
    COUNSEL
    WEAVER
    LESLEY
    MOUNTAIN INVESTORS
    COPPER MOUNTAIN
    APPROVE LEAD
    PLAINTIFF PURSUANT
    APPOINT
    MOTION
    SUPPORT
    NORTHERN DISTRICT
    SCOTT
    LERACH LLP
    FOREGOING
    PERJURY
    PENALTY
    RETIREMENT
    AURORA
    LOSSES
    LAW
    EXCHANGE ACT
    SECURITIES
    COURT
    UNITED STATES
    HYNES
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       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)
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       JAMES E. MILLER
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
       860/537-4432 (fax)
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ARIEL HERNANDEZ, On Behalf of Herself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., et al.,
    
                               Defendants.
       _____________________________________
    
       )
    
    SNIPPETS:
  • SCOTT & SCOTT, LLC DAVID R. SCOTT JAMES E. MILLER
  • UNITED STATES DISTRICT COURT
  • DECLARATION OF LESLEY E. WEAVER IN SUPPORT OF REPLY FOR THE MOTION TO APPOINT THE COPPER
  • EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL
  • I am an attorney duly licensed to practice before all of the courts of the State of
  • I am associated with the law firm of Milberg Weiss Bershad Hynes & Lerach LLP, one of the
  • Summary of Copper Mountain Investors' Purchases,
  • Exhibit B: Summary of Losses Set Forth in Prendergast Motion;
  • Steiner v. Aurora Foods, Inc., et al., No. C 00-602 CW, Order Consolidating Cases, Appointing
  • In re Cendant Corp. Litig., No. 00-2769, 00-3653, Brief of Barclays Global Investors, N.A.,
  • Association of Colorado as Amici Curiae in Support of Appellant New York City Pension Funds
  • I declare under penalty of perjury under the laws of the State of California that the
  • Executed this 22nd day of February, 2001, at San Francisco, California.
  • PURSUANT TO NORTHERN DISTRICT LOCAL RULE 23-2
  • SECTION 21DOF THE SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE FO

  • 11 . COMPLAINT B 9

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFFS
    CLASS ACTION
    REVENUE
    COMMON STOCK
    SECURITIES
    DSL
    LAW
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    COPPER MOUNTAIN SHARES
    LERACH LLP
    EPS
    RICHARD GILBERT
    PALM BEACH
    DESMOND
    LEO
    LAW OFFICES
    CLASS PERIOD
    PURCHASED COPPER MOUNTAIN
    FEDERAL SECURITIES
    VIOLATIONS
    IONE STEVENS
    COUGHLIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       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
    
       Attorneys for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       RICHARD STEVENS, IONE STEVENS
       and ELIZABETH B. ARIAS, On Behalf of
       Themselves and All Others Similarly Situated,
    
                               Plaintiffs,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       _____________________________________
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • LAW OFFICES OF LEO W. DESMOND LEO W. DESMOND
  • 2161 Palm Beach Lake Blvd. Suite 204 West Palm Beach,
  • Attorneys for Plaintiffs
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiffs Richard and Ione Stevens purchased shares of Copper Mountain common stock as
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant Richard Gilbert was, during the Class Period, President and Chief Executive Officer
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 12 . COMPLAINT B 8

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    FOX LLP
    SAN FRANCISCO
    DSL
    COMMON STOCK
    LERACH LLP
    CLEC CUSTOMERS
    COPPER MOUNTAIN SHARES
    EPS
    CLASS PERIOD
    FEDERAL SECURITIES
    VIOLATIONS
    KILSHEIMER
    KAPLAN
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       KAPLAN, KILSHEIMER & FOX LLP
       LAURENCE D. KING (206423)
       100 Pine Street, 26th Floor
       San Francisco, CA 94111
       Telephone: 415/677-1238
           - and -
       FREDERIC S. FOX
       CHRISTINE M. FOX
       805 Third Avenue, 22nd Floor
       New York, NY 10022
       Telephone: 212/687-1980
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       DANIEL LABOV, On Behalf of Himself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • San Francisco, CA 94111 Telephone:
  • KAPLAN, KILSHEIMER & FOX LLP LAURENCE D. KING
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Daniel Labov purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 13 . COMPLAINT B 7

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CHIEF FINANCIAL OFFICER
    COMMON STOCK
    LAW
    CLEC CUSTOMERS
    BUSINESS
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    YATES
    LAW OFFICES
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       LAW OFFICES OF ALFRED G.
       YATES, JR.
       ALFRED G. YATES, JR.
       519 Allegheny Building
       429 Forbes Avenue
       Pittsburgh, PA 15219
       Telephone: 412/391-5164
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       DANIEL KALDERON, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       _________________________________
    
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • LAW OFFICES OF ALFRED G. YATES,
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Daniel Kalderon purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 14 . COMPLAINT B 6

    EXTRACTED KEY WORDS
    DEFENDANTS
    PLAINTIFFS
    GILBERT
    CREELMAN
    CLASS ACTION
    MICHAEL NEAL CAMPBELL
    FEDERAL SECURITIES
    NETWORKS
    LAW
    MOUNTAIN COMMON STOCK
    UNITED STATES
    MEMBERS
    MARKET
    COPPER MOUNTAIN COMMON
    EPS
    MATERIAL FACTS
    CLASS PERIOD
    CLECS
    LERACH LLP
    DSL
    PLAINTIFFS CYNTHIA
    HUGH
    CINCINNATI
    RICHARD GILBERT
    MISLEADING
    EXCHANGE ACT
    STATES DISTRICT COURT
    LAW OFFICES
    COUGHLIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       STRAUSS & TROY
       RICHARD S. WAYNE
       THOMAS P. GLASS
       Federal Reserve Building
       150 East Fourth Street
       Cincinnati, OH 45202-4018
       Telephone: 513/621-2120
    
       LAW OFFICES OF HUGH K.
       CAMPBELL
       HUGH K. CAMPBELL
       1014 Vine Street, Suite 1500
       Cincinnati, OH 45202
       Telephone: 513/721-0001
    
       Attorneys for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       CYNTHIA J. CAMPBELL and
       MICHAEL NEAL CAMPBELL,
       TRUSTEE, On Behalf of Themselves
       and All Others Similarly Situated,
    
                               Plaintiffs,
    
           vs.
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • Cincinnati, OH 45202-4018 Telephone: 513/621-2120
  • LAW OFFICES OF HUGH K. CAMPBELL HUGH K. CAMPBELL
  • Attorneys for Plaintiffs
  • UNITED STATES DISTRICT COURT
  • MICHAEL NEAL CAMPBELL,
  • COPPER MOUNTAIN NETWORKS,
  • INC., RICHARD GILBERT and JOHN
  • CREELMAN,
  • This is a class action on behalf of all persons, except Defendants and certain other related
  • These statements were publicly made with the intent to artificially inflate the price of
  • Between April 18, 2000 through October 16, 2000 Defendants informed and reassured the market
  • Copper Mountain's announcement resulted in price per share of Copper Mountain common stock to
  • The claims asserted herein arise under and pursuant to §§10and 20of the Securities Exchange
  • The acts, conduct and scheme complained of herein, including the preparation, issuance and
  • Plaintiffs Cynthia J. Campbell and Michael Neal Campbell, Trustee, were damaged as a result
  • Defendant Gilbert was, during the Class Period, President and Chief Executive Officer of
  • The members of the Class are so numerous that joinder of all members is impracticable.
  • While the exact number of Class members is unknown to Plaintiffs at the present time,
  • Common questions of law and fact exist as to all members of the Class and predominate over
  • Whether the statements disseminated to the investing public, including purchasers of Copper
  • "Our first quarter of fiscal year 2000 reflects a continuation of our leadership position in
  • On or about July 19, 2000, Defendant Creelman assured investors and analysts that Copper
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 15 . COMPLAINT B 5

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CHIEF FINANCIAL OFFICER
    COMMON STOCK
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    LIFSHITZ
    BULL
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
            -and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       BULL & LIFSHITZ, LLP
       PETER D. BULL
       JOSHUA M. LIFSHITZ
       246 West 38th Street
       New York, NY 10018
       Telephone: 212-869-9449
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
    
       JACK WIENER, On Behalf of Himself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       _________________________________
    
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • BULL & LIFSHITZ, LLP PETER D. BULL JOSHUA M. LIFSHITZ
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Jack Wiener purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 16 . COMPLAINT B 4

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    COMMON STOCK
    SCOTT
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    EDELSON
    CLASS PERIOD
    FEDERAL SECURITIES
    VIOLATIONS
    COURT STREET
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       SCOTT & SCOTT, LLC
       DAVID R. SCOTT
       108 Norwich Avenue
       Colchester, CT 06415
       Telephone: 860/537-3818
    
       HOFFMAN & EDELSON
       MARC H. EDELSON
       45 W. Court Street
       Doylestown, PA 18901
       Telephone: 215/230-8043
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       RAYMOND BAVIELLO, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • SCOTT & SCOTT, LLC DAVID R. SCOTT
  • HOFFMAN & EDELSON MARC H. EDELSON
  • 45 W. Court Street Doylestown,
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Raymond Baviello purchased shares of Copper Mountain common stock as detailed in
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 17 . COMPLAINT B 3

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    COPPER MOUNTAIN STOCK
    SAN DIEGO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    ARNOLD LEVIN
    DAVID JAROSLAWICZ
    PHILADELPHIA
    SAVETT FRUTKIN PODELL
    CLASS PERIOD
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       SAVETT FRUTKIN PODELL &
       RYAN, P.C.
       STUART H. SAVETT
       BARBARA A. PODELL
       325 Chestnut Street, Suite 700
       Philadelphia, PA 19106
       Telephone: 215/923-5400
    
       JAROSLAWICZ & JAROS
       DAVID JAROSLAWICZ
       150 William Street, 19th Floor
       New York, NY 10038
       Telephone: 212/227-2780
    
       LEVIN, FISHBEIN, SEDRAN &
       BERMAN
       ARNOLD LEVIN
       510 Walnut Street, Suite 500
       Philadelphia, PA 19106
       Telephone: 215/592-1500
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       SARAH SONTAG, On Behalf of Herself
       and All Others Similarly Situated,
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH
  • San Diego, CA 92101 Telephone:
  • SAVETT FRUTKIN PODELL & RYAN, P.C. STUART H. SAVETT BARBARA A. PODELL
  • Philadelphia, PA 19106 Telephone: 215/923-5400
  • JAROSLAWICZ & JAROS DAVID JAROSLAWICZ
  • LEVIN, FISHBEIN, SEDRAN & BERMAN ARNOLD LEVIN
  • Attorneys for Plaintiff
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • On October 17, 2000, Copper Mountain revealed that, it would post revenue and EPS declines,
  • Defendants' misconduct has wiped out over $5 billion in market capitalization as Copper
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER

  • 18 . COMPLAINT B 2

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFFS
    CLASS ACTION
    REVENUE
    SECURITIES
    SAN DIEGO
    DSL
    COMMON STOCK
    LAW
    JAMES
    CLEC CUSTOMERS
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    ROBERT GENDELMAN
    ORMAN
    LAW OFFICES
    CLASS PERIOD
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       DARREN J. ROBBINS (168593)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       SPECTOR, ROSEMAN & KODROFF, P.C.
       JAMES A. CAPUTO (120485)
       600 West Broadway, Suite 1600
       San Diego, CA 92101
       Telephone: 619/338-4514
    
       LAW OFFICES OF JAMES M. ORMAN
       JAMES M. ORMAN
       1600 Market Street, Suite 1416
       Philadelphia, PA 19103
       Telephone: 215/523-7800
    
       Attorneys for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ROBERT GENDELMAN and SHERRI
       GENDELMAN, On Behalf of Themselves
       and All Others Similarly Situated,
    
                               Plaintiffs,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
    
    SNIPPETS:
  • San Diego, CA 92101 Telephone:
  • LAW OFFICES OF JAMES M. ORMAN JAMES M. ORMAN
  • Attorneys for Plaintiffs
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiffs Robert Gendelman and Sherri Gendelman purchased shares of Copper Mountain common
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN

  • 19 . COMPLAINT B 14

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CHIEF FINANCIAL OFFICER
    COMMON STOCK
    HOLZER
    CLEC CUSTOMERS
    BUSINESS
    SAN FRANCISCO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       HOLZER & HOLZER
       COREY D. HOLZER
       6135 Barfield Road, Suite 102
       Atlanta, GA 30328
       Telephone: 404/847-0085
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       CLAUDIA HAFNER, On Behalf of Herself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       ___________________________________
    
       )
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • HOLZER & HOLZER COREY D. HOLZER
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Claudia Hafner purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL

  • 20 . COMPLAINT B 13

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    COMMON STOCK
    LAW
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    SAN FRANCISCO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    HENZEL
    MARC
    LAW OFFICES
    FEDERAL SECURITIES
    VIOLATIONS
    THIRD FLOOR
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       LAW OFFICES OF MARC S. HENZEL
       MARC S. HENZEL
       210 West Washington Square
       Third Floor
       Philadelphia, PA 19106-3503
       Telephone: 215/625-9999
    
       Attorneys for Plaintiff
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       REUVEN Z. SHILOH, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       _________________________________
    
       )
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • LAW OFFICES OF MARC S. HENZEL MARC S. HENZEL
  • Third Floor Philadelphia, PA 19106-3503 Telephone:
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Reuven Z. Shiloh purchased shares of Copper Mountain common stock as detailed in
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • As these CLEC customers slowed their network expansion and work to reap a return from

  • 21 . COMPLAINT B 12

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    COMMON STOCK
    LAW
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    SAN FRANCISCO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    DONOVAN MILLER
    LLC
    EVAN SMITH
    PHILADELPHIA
    FELGOISE
    BRIAN
    LAW OFFICES
    CLASS PERIOD
    FEDERAL SECURITIES
    VIOLATIONS
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       LAW OFFICES OF BRIAN M. FELGOISE
       BRIAN M. FELGOISE
       1420 Walnut Street, Suite 605
       Philadelphia, PA 19102
       Telephone: 215/735-6810
    
       BRODSKY & SMITH, LLC
       EVAN SMITH
       11 Bala Avenue, Suite 39
       Bala Cynwyd, PA 19004
       Telephone: 610/668-7987
    
       DONOVAN MILLER, LLC
       MICHAEL DONOVAN
       1608 Walnut Street, Suite 1400
       Philadelphia, PA 19103
       Telephone: 215/732-6020
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       NIPUL PATEL, On Behalf of Himself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • LAW OFFICES OF BRIAN M. FELGOISE BRIAN M. FELGOISE
  • Philadelphia, PA 19102 Telephone: 215/735-6810
  • BRODSKY & SMITH, LLC EVAN SMITH
  • DONOVAN MILLER, LLC MICHAEL DONOVAN
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Nipul Patel purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • As these CLEC customers slowed their network expansion and work to reap a return from

  • 22 . COMPLAINT B 11

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CHIEF FINANCIAL OFFICER
    COMMON STOCK
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    SAN FRANCISCO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       HAGENS BERMAN LLP
       KARL P. BARTH
       1301 Fifth Avenue, Suite 2900
       Seattle, WA 98101
       Telephone: 206/623-7292
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       STEVEN GREENFOGEL, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       __________________________________
    
       )
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Steven Greenfogel purchased shares of Copper Mountain common stock as detailed in
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL

  • 23 . COMPLAINT B 10

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    MARKET
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    COMMON STOCK
    CLEC CUSTOMERS
    BUSINESS
    SAN FRANCISCO
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    MORRIS
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       RANDI D. BANDMAN (145212)
       LESLEY E. WEAVER (191305)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
           - and -
       WILLIAM S. LERACH (68581)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
    
       MORRIS AND MORRIS
       SETH D. RIGRODSKY
       1105 N. Market Street, Suite 1600
       Wilmington, DE 19801
       Telephone: 302/426-0400
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       ALANA ZIMMERMAN, On Behalf of
       Herself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       __________________________________
    
       )
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN RANDI D. BANDMAN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • MORRIS AND MORRIS SETH D. RIGRODSKY
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Alana Zimmerman purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL

  • 24 . COMPLAINT B 1

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFF
    CLASS ACTION
    REVENUE
    SECURITIES
    DSL
    CHIEF FINANCIAL OFFICER
    COMMON STOCK
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    LERACH LLP
    COPPER MOUNTAIN SHARES
    EPS
    JOHN BURKE
    CAULEY
    FEDERAL SECURITIES
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    PURCHASED COPPER MOUNTAIN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       DARREN J. ROBBINS (168593)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
           - and -
       PATRICK J. COUGHLIN (111070)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       CAULEY & GELLER, LLP
       STEVEN E. CAULEY
       11311 Arcade Drive, Suite 201
       Little Rock, AR 72212
       Telephone: 501/312-8500
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       JOHN BURKE, On Behalf of Himself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COPPER MOUNTAIN NETWORKS,
       INC., RICHARD GILBERT and JOHN
       CREELMAN,
    
                               Defendants.
       __________________________________
    
       )
       )
       )
       )
    
    SNIPPETS:
  • CAULEY & GELLER, LLP STEVEN E. CAULEY
  • Attorneys for Plaintiff
  • INC., RICHARD GILBERT and JOHN
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff John Burke purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN

  • 25 . COMPLAINT A

    EXTRACTED KEY WORDS
    DEFENDANTS
    GILBERT
    STOCK
    NETWORKS
    CREELMAN
    PLAINTIFFS
    CLASS ACTION
    REVENUE
    COMMON STOCK
    FEDERAL SECURITIES LAWS
    DSL
    CHIEF FINANCIAL OFFICER
    CLEC CUSTOMERS
    BUSINESS
    MARKET
    COPPER MOUNTAIN SHARES
    LERACH LLP
    EPS
    PURCHASED COPPER MOUNTAIN
    VIOLATIONS
    COUGHLIN
    HYNES
    MILBERG WEISS BERSHAD
    SERVICE PROVIDERS
    DSLAM
    ILECS
    DISSEMINATION
    SECURITIES FRAUD CLASS
    JOHN CREELMAN
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       WILLIAM S. LERACH (68581)
       DARREN J. ROBBINS (168593)
       600 West Broadway, Suite 1800
       San Diego, CA 92101
       Telephone: 619/231-1058
       - and -
       PATRICK J. COUGHLIN (111070)
       100 Pine Street, Suite 2600
       San Francisco, CA 94111
       Telephone: 415/288-4545
    
       Attorneys for Plaintiffs
       (Additional counsel appear on signature page.)
    
                            UNITED STATES DISTRICT COURT
                          NORTHERN DISTRICT OF CALIFORNIA
    
       GREG TROXELL and SARAH LERNER, On Behalf of Themselves and All Others
       Similarly Situated,
    
       Plaintiffs,
    
                                   vs.
    
       COPPER MOUNTAIN NETWORKS, INC., RICHARD GILBERT and JOHN CREELMAN,
    
       Defendants.
    
       _________________________________
    
       )
       )
       )
       )
       )
       )
       )
       )
       )
       )
       )
       )
       )
       )
    
    SNIPPETS:
  • Attorneys for Plaintiffs
  • COPPER MOUNTAIN NETWORKS, INC., RICHARD GILBERT and JOHN CREELMAN,
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is a securities fraud class action on behalf of persons who purchased Copper Mountain
  • Copper Mountain's relationship with one of its largest customers, Lucent, was faltering and
  • In addition to having actual knowledge of the falsity of their statements, each of the
  • This disclosure shocked the market, causing Copper Mountain's stock to decline to less than
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Plaintiff Greg Troxell purchased shares of Copper Mountain common stock as detailed in the
  • The Company's stated mission is to enable carriers and other service providers to offer a
  • Defendant John Creelman was, during the Class Period, Chief Financial Officer of the Company.
  • With these accounts expanding their geographic presence over the past two years, the
  • As these CLEC customers slowed their network expansion and work to reap a return from
  • I think after the Telecom Reform Act of '96, we saw initially some experimentation with DSL
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN
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