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COVAD COMMUNICATIONS 1 CLASS ACTION LITIGATION Click to find out why . . .



Keywords & Phrases
CaseNo: CCCAL235193, CourtName: CLASS ACTION CASES, State: MA Massachusetts, UniqueCaseRef: LCD>CCCAL235193, Covad, Covad Communications, Bluestar, Acquisition, Knowling, Shares, Securities, Class Action, Revenue, Perry, Communications Group, United States, Lerach Llp, Acquired Covad, Lead Plaintiff, Dsl, Demand, Connection, Motion, San Francisco, Channel Partners, Milberg Weiss Bershad, Hynes, Class Actions, Isp, Weaver, Individual Defendants, Financials, Services Provider, Isps, Exchange Act, Movants, Robbins, San Diego, Cauley, Coughlin, Patrick, Broadband Services Provider, Consolidation , ContentID: 120249605

Case Documents
1   MOTION AND MEMO IN SUPPORT OF MOTION
[ see first page and extracted highlights below  ] ItemID: 122296
13 pages
TXT
2   MOTION AND MEMO IN SUPPORT OF MOTION TO CONSOLIDATE
[ see first page and extracted highlights below  ] ItemID: 122295
10 pages
TXT
3   DECLARATION OF LESLEY E
[ see first page and extracted highlights below  ] ItemID: 122293
4 pages
TXT
4   COMPLAINT B 9
[ see first page and extracted highlights below  ] ItemID: 122292
16 pages
TXT
5   COMPLAINT B 8
[ see first page and extracted highlights below  ] ItemID: 122291
16 pages
TXT
6   COMPLAINT B 7
[ see first page and extracted highlights below  ] ItemID: 122290
16 pages
TXT
7   COMPLAINT B 6
[ see first page and extracted highlights below  ] ItemID: 122289
15 pages
TXT
8   COMPLAINT B 5
[ see first page and extracted highlights below  ] ItemID: 122288
15 pages
TXT
9   COMPLAINT B 4
[ see first page and extracted highlights below  ] ItemID: 122287
15 pages
TXT
10   COMPLAINT B 3
[ see first page and extracted highlights below  ] ItemID: 122286
15 pages
TXT
11   COMPLAINT B 2
[ see first page and extracted highlights below  ] ItemID: 122285
15 pages
TXT
12   COMPLAINT B 1
[ see first page and extracted highlights below  ] ItemID: 122284
16 pages
TXT
13   COMPLAINT A
[ see first page and extracted highlights below  ] ItemID: 122283
13 pages
PDF
14 2000-08-18 DOCKET
[ see first page and extracted highlights below  ] ItemID: 122294
4 pages
HTML
Total Documents: 14 documents , 183 pages
Price: $ 84.95


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1 . MOTION AND MEMO IN SUPPORT OF MOTION

EXTRACTED KEY WORDS
LEAD PLAINTIFF
CLASS ACTIONS
SECURITIES
MOTION
WEAVER
EXCHANGE ACT
COURT
COUNSEL
MOVANTS
DEFENDANTS
LERACH LLP
SAN FRANCISCO
CLASS MEMBERS
BARROWAY
CAULEY
MILBERG WEISS
GREGORY GILL
CHEYNE FUND
APPOINT CREEDON
AUTHORITIES
MEMORANDUM
CAPITAL PARTNERS
CALIFORNIA
UNITED STATES
BALA PLAZA EAST
MILBERG WEISS BERSHAD
WEAVER DECL
LDC
PINCAY INVESTMENTS


   MILBERG WEISS BERSHAD
   HYNES & LERACH LLP
   PATRICK J. COUGHLIN (111070)
   REED R. KATHREIN (139304)
   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

   CAULEY & GELLER, LLP
   STEVEN E. CAULEY
   11311 Arcade Drive, Suite 201
   Little Rock, AR 72212
   Telephone: 501/312-8500

   SCHIFFRIN & BARROWAY, LLP
   ANDREW L. BARROWAY
   Three Bala Plaza East, Suite 400
   Bala Cynwyd, PA 19004
   Telephone: 610/667-7706

   (Proposed) Co-Lead Counsel for Plaintiffs


                        UNITED STATES DISTRICT COURT

                      NORTHERN DISTRICT OF CALIFORNIA



   PINCAY INVESTMENTS CO., et al.,
   On Behalf of Themselves and All Others
   Similarly Situated,

                           Plaintiffs,

       vs.

   COVAD COMMUNICATIONS
   GROUP, INC., et al.,

SNIPPETS:
  • San Francisco, CA 94111 Telephone:
  • CAULEY & GELLER, LLP STEVEN E. CAULEY
  • SCHIFFRIN & BARROWAY, LLP ANDREW L. BARROWAY
  • Three Bala Plaza East, Suite 400
  • UNITED STATES DISTRICT COURT
  • NORTHERN DISTRICT OF CALIFORNIA
  • NOTICE OF MOTION, MOTION AND MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF MOTION TO
  • OF THE SECURITIES EXCHANGE ACT
  • OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL
  • Movants Should Be Appointed Lead Plaintiff
  • Movants Believe They Have the Largest Financial Interest in the Relief Sought by the Class
  • Movants meet the requirements of Rule 23 of the Federal Rules of Civil Procedure because
  • Movants have selected and retained law firms with substantial experience in prosecuting
  • The motion is based on this notice of motion, the supporting memorandum of points and
  • Pincay Investments Co., et al. v. Covad Communications Group, Inc., et al.
  • This action involves false or misleading statements concerning Covad's accounts receivable
  • In addition, Movants have selected the law firms of Milberg Weiss Bershad Hynes & Lerach LLP,
  • MOTION AND MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF MOTION TO APPOINT CREEDON

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

    EXTRACTED KEY WORDS
    COVAD
    MOTION
    COVAD COMMUNICATIONS
    COURT
    COMMUNICATIONS GROUP
    PLAINTIFF
    LEAD PLAINTIFF
    RELATED ACTIONS
    SECURITIES
    SAN FRANCISCO
    MOVANTS
    PSLRA
    PENDING
    WEAVER
    LLP
    COMPLAINT
    APPOINTMENT
    DISTRICT
    DECLARATION
    PURSUANT
    EXCHANGE ACT
    AUTHORITIES
    DEFENDANTS
    INVESTMENTS
    UNITED STATES
    LERACH LLP
    PRESERVATION
    DETERMINATION
    PRIOR
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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
    
       CAULEY & GELLER, LLP
       STEVEN E. CAULEY
       11311 Arcade Drive, Suite 201
       Little Rock, AR 72212
       Telephone: 501/312-8500
    
       SCHIFFRIN & BARROWAY, LLP
       ANDREW L. BARROWAY
       Three Bala Plaza East, Suite 400
       Bala Cynwyd, PA 19004
       Telephone: 610/667-7706
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       PINCAY INVESTMENTS CO., et al.,
       On Behalf of Themselves and All Others
       Similarly Situated,
    
                               Plaintiffs,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., et al.,
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • CAULEY & GELLER, LLP STEVEN E. CAULEY
  • NORTHERN DISTRICT OF CALIFORNIA
  • COVAD COMMUNICATIONS
  • NOTICE OF MOTION,
  • 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
  • Pincay Investments Co., et al. v. Covad Communications Group, Inc., et al.
  • Taylor v. Covad Communications Group, 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 supporting memorandum of points and
  • The 17 related securities fraud class action lawsuits, identified above and brought pursuant
  • Movants seek to consolidate these related securities class actions pursuant to Rule 42of the
  • 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
  • For the reasons stated above, and in order to promote judicial economy, Movants respectfully
  • B to the Declaration of Lesley E. Weaver,

  • 3 . DECLARATION OF LESLEY E

    EXTRACTED KEY WORDS
    DECLARE
    CALIFORNIA
    SAN FRANCISCO
    LLP
    UNITED STATES
    PLAINTIFFS
    WEAVER
    LESLEY
    FIRM
    MOTION
    COUNSEL
    LERACH
    PURSUANT
    NORTHERN DISTRICT
    BARROWAY
    CAULEY
    WEISS BERSHAD HYNES
    MILBERG WEISS BERSHAD
    BUSINESS
    MOVANTS
    LAW
    CONSOLIDATE RELATED ACTIONS
    APPROVE
    ACT
    EXCHANGE
    SECURITIES
    GREGORY GILL
    CAPITAL PARTNERS
    CHEYNE FUND
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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
    
       CAULEY & GELLER, LLP
       STEVEN E. CAULEY
       11311 Arcade Drive, Suite 201
       Little Rock, AR 72212
       Telephone: 501/312-8500
    
       SCHIFFRIN & BARROWAY, LLP
       ANDREW L. BARROWAY
       Three Bala Plaza East, Suite 400
       Bala Cynwyd, PA 19004
       Telephone: 610/667-7706
    
       (Proposed) Co-Lead Counsel for Plaintiffs
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       PINCAY INVESTMENTS CO., et al.,
       On Behalf of Themselves and All Others
       Similarly Situated,
    
                               Plaintiffs,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., et al.,
    
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • CAULEY & GELLER, LLP STEVEN E. CAULEY
  • SCHIFFRIN & BARROWAY, LLP ANDREW L. BARROWAY
  • Co-Lead Counsel for Plaintiffs
  • DECLARATION OF LESLEY E. WEAVER IN SUPPORT OF: MOTION TO APPOINT CREEDON CAPITAL, LDC, CHEYNE
  • OF THE SECURITIES EXCHANGE ACT OF 1934 AND TO APPROVE LEAD PLAINTIFF'S CHOICE OF COUNSEL; AND
  • 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
  • Exhibit A: Chart of Movants' Purchases,
  • October 20, 2000 Business Wire;
  • I declare under penalty of perjury under the laws of California and the United States of
  • Executed this 19th day of December, 2000, at San Francisco, California.
  • PURSUANT TO NORTHERN DISTRICT LOCAL RULE 23-2

  • 4 . COMPLAINT B 9

    EXTRACTED KEY WORDS
    DEFENDANTS
    COVAD COMMUNICATIONS
    SHARES
    CLASS ACTION
    KNOWLING
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    BLUESTAR
    PLAINTIFF
    SAN DIEGO
    ISPS
    ACQUISITION
    BUSINESS
    CONNECTION
    UNITED STATES
    DSL
    ACQUIRED COVAD
    LERACH LLP
    FINANCIALS
    KRINSK
    FINKELSTEIN
    BROADBAND SERVICES PROVIDER
    SERVICES PROVIDER
    CHANNEL PARTNERS
    COUGHLIN
    PATRICK
    HYNES
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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
    
       FINKELSTEIN & KRINSK
       HOWARD D. FINKELSTEIN (102964)
       JEFFREY R. KRINSK (109234)
       501 West Broadway, Suite 1250
       San Diego, CA 92101
       Telephone: 619/238-1333
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
    
       WEYMAN THOMAS, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • San Diego, CA 92101 Telephone:
  • FINKELSTEIN & KRINSK HOWARD D. FINKELSTEIN JEFFREY R. KRINSK
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is an action on behalf of those who purchased or otherwise acquired Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000 - 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • "Several of these ISPs have been adversely impacted by the current shortage of capital for
  • CLASS ACTION ALLEGATIONS

  • 5 . COMPLAINT B 8

    EXTRACTED KEY WORDS
    DEFENDANTS
    ACQUISITION
    COVAD COMMUNICATIONS
    SHARES
    CLASS ACTION
    KNOWLING
    REVENUE
    SECURITIES
    PERRY
    COVAD COMMUNICATIONS GROUP
    BLUESTAR
    PLAINTIFF
    ISPS
    BUSINESS
    CONNECTION
    UNITED STATES
    DSL
    ACQUIRED COVAD
    SAN FRANCISCO
    LERACH LLP
    FINANCIALS
    BROADBAND SERVICES PROVIDER
    SERVICES PROVIDER
    CHANNEL PARTNERS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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
    
       SCHOENGOLD & SPORN, P.C.
       JAY P. SALTZMAN
       19 Fulton Street, Suite 406
       New York, NY 10038
       Telephone: 212/964-0046
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
    
    
       ALLWYN J. LEVINE, M.D., On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS GROUP,
       INC., ROBERT E. KNOWLING, JR. and
       MARK PERRY,
    
                               Defendants.
       ____________________________________
    
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • Attorneys for Plaintiff
  • INC., ROBERT E. KNOWLING, JR.
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is an action on behalf of those who purchased or otherwise acquired Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000 - 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • "Several of these ISPs have been adversely impacted by the current shortage of capital for
  • CLASS ACTION ALLEGATIONS

  • 6 . COMPLAINT B 7

    EXTRACTED KEY WORDS
    DEFENDANTS
    BLUESTAR
    ACQUISITION
    COVAD COMMUNICATIONS
    SHARES
    KNOWLING
    CLASS ACTION
    REVENUE
    CONVERTIBLE SENIOR NOTES
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    PLAINTIFF
    ISPS
    BUSINESS
    CONNECTION
    UNITED STATES
    DSL
    ACQUIRED COVAD
    SAN FRANCISCO
    LERACH LLP
    FINANCIALS
    BROADBAND SERVICES PROVIDER
    SERVICES PROVIDER
    CHANNEL PARTNERS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
    
       MICHAEL ABOOD, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E. KNOWLING,
       JR. and MARK PERRY,
    
                               Defendants.
       ____________________________________
    
       )
       )
       )
       )
       )
       )
       )
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone: 415/288-4545 -and -WILLIAM S. LERACH
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING,
  • COMPLAINT FOR VIOLATION OF THE FEDERAL SECURITIES LAWS
  • This is an action on behalf of those who purchased or otherwise acquired Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000 - 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • On September 20, 2000, Covad announced its 6% Convertible Senior Notes offering which it
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • "Several of these ISPs have been adversely impacted by the current shortage of capital for
  • CLASS ACTION ALLEGATIONS

  • 7 . COMPLAINT B 6

    EXTRACTED KEY WORDS
    DEFENDANTS
    COVAD COMMUNICATIONS
    KNOWLING
    CLASS ACTION
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    BLUESTAR
    PLAINTIFF
    ACQUISITION
    BUSINESS
    DEMAND
    UNITED STATES
    LAW
    ACQUIRED COVAD
    SAN FRANCISCO
    LERACH LLP
    DSL
    ISP
    PALM BEACH
    DESMOND
    LEO
    CHANNEL PARTNERS
    COUGHLIN
    PATRICK
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    
    
    
       MILBERG WEISS BERSHAD
       HYNES & LERACH LLP
       PATRICK J. COUGHLIN (111070)
       REED R. KATHREIN (139304)
       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 LEO W.
       DESMOND
       LEO W. DESMOND
       2161 Palm Beach Lake Blvd.
       Suite 204
       West Palm Beach, FL 33409
       Telephone: 561/712-8000
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       DAVID R. TAYLOR, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
    
    SNIPPETS:
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP PATRICK J. COUGHLIN REED R. KATHREIN LESLEY E. WEAVER
  • San Francisco, CA 94111 Telephone:
  • LAW OFFICES OF LEO W. DESMOND LEO W. DESMOND
  • 2161 Palm Beach Lake Blvd. Suite 204 West Palm Beach,
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • Acts and transactions giving rise to the violations of law complained of occurred here.
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • CLASS ACTION ALLEGATIONS

  • 8 . COMPLAINT B 5

    EXTRACTED KEY WORDS
    DEFENDANTS
    BLUESTAR
    ACQUISITION
    COVAD COMMUNICATIONS
    SHARES
    KNOWLING
    CLASS ACTION
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    PLAINTIFF
    BUSINESS
    DEMAND
    UNITED STATES
    CONNECTION
    ACQUIRED COVAD
    LERACH LLP
    DSL
    ISP
    YATES
    CHANNEL PARTNERS
    ROBBINS
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    SERVICES PROVIDER
    FINANCIALS
    EPS
    
    
    
       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
    
       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
    
    
    
       ETHAN FREY, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • LAW OFFICES OF ALFRED G. YATES,
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • CLASS ACTION ALLEGATIONS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS

  • 9 . COMPLAINT B 4

    EXTRACTED KEY WORDS
    DEFENDANTS
    BLUESTAR
    ACQUISITION
    COVAD COMMUNICATIONS
    SHARES
    KNOWLING
    CLASS ACTION
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    PLAINTIFF
    BUSINESS
    DEMAND
    UNITED STATES
    CONNECTION
    ACQUIRED COVAD
    LERACH LLP
    DSL
    ISP
    CAULEY
    CHANNEL PARTNERS
    ROBBINS
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    SERVICES PROVIDER
    FINANCIALS
    EPS
    
    
    
       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
    
    
    
       CHARLES E. TAYLOR, On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
       )
       )
       )
    
    SNIPPETS:
  • CAULEY & GELLER, LLP STEVEN E. CAULEY
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • CLASS ACTION ALLEGATIONS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS

  • 10 . COMPLAINT B 3

    EXTRACTED KEY WORDS
    DEFENDANTS
    COVAD COMMUNICATIONS
    SHARES
    KNOWLING
    CLASS ACTION
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    BLUESTAR
    PLAINTIFF
    ACQUISITION
    BUSINESS
    DEMAND
    UNITED STATES
    ACQUIRED COVAD
    LERACH LLP
    DSL
    ISP
    STEVE ALBERT
    BALA PLAZA EAST
    CHANNEL PARTNERS
    ROBBINS
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    SERVICES PROVIDER
    FINANCIALS
    EPS
    
    
    
       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
    
       SCHIFFRIN & BARROWAY, LLP
       MARC A. TOPAZ
       Three Bala Plaza East, Suite 400
       Bala Cynwyd, PA 19004
       Telephone: 610/667-7706
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       STEVE ALBERT, AS CUSTODIAN FOR NICOLE ALBERT,  On Behalf of
       Himself and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
       )
       )
       )
    
    SNIPPETS:
  • Three Bala Plaza East, Suite 400
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Plaintiff Steve Albert, as Custodian for Nicole Albert, purchased shares of Covad securities
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • CLASS ACTION ALLEGATIONS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS

  • 11 . COMPLAINT B 2

    EXTRACTED KEY WORDS
    DEFENDANTS
    BLUESTAR
    ACQUISITION
    COVAD COMMUNICATIONS
    SHARES
    KNOWLING
    CLASS ACTION
    REVENUE
    SECURITIES
    PERRY
    COMMUNICATIONS GROUP
    PLAINTIFF
    BUSINESS
    DEMAND
    UNITED STATES
    CONNECTION
    ACQUIRED COVAD
    LERACH LLP
    DSL
    ISP
    BERNSTEIN LIEBHARD
    CHANNEL PARTNERS
    ROBBINS
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    SERVICES PROVIDER
    FINANCIALS
    EPS
    
    
    
       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
    
       BERNSTEIN LIEBHARD & LIFSHITZ, LLP
       SANDY A. LIEBHARD
       MICHAEL S. EGAN
       10 East 40th Street
       New York, NY 10016
       Telephone: 212/779-1414
    
       Attorneys for Plaintiff
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
    
       POND EQUITIES, On Behalf of Itself
       and All Others Similarly Situated,
    
                               Plaintiff,
    
           vs.
    
       COVAD COMMUNICATIONS
       GROUP, INC., ROBERT E.
       KNOWLING, JR. and MARK PERRY,
    
                               Defendants.
       _________________________________
    
       )
       )
    
    SNIPPETS:
  • BERNSTEIN LIEBHARD & LIFSHITZ, LLP SANDY A. LIEBHARD MICHAEL S. EGAN
  • Attorneys for Plaintiff
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING, JR.
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its newly acquired
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • This announcement caused its stock price to drop to as low as $3.50 on record volume of 70
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • Enterprise customers purchase Covad's services directly or indirectly from the Company to
  • Covad Communications, the nation's leading broadband services provider utilizing DSL
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • On October 3, 2000, Covad issued a press release regarding Covad's ability to meet its
  • CLASS ACTION ALLEGATIONS
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS

  • 12 . COMPLAINT B 1

    EXTRACTED KEY WORDS
    COVAD COMMUNICATIONS
    KNOWLING
    CLASS ACTION
    DEFENDANTS
    SECURITIES
    PLAINTIFFS
    REVENUE
    PERRY
    COMMUNICATIONS GROUP
    BLUESTAR
    DEMAND
    LAW OFFICES
    SAN DIEGO
    ACQUISITION
    BUSINESS
    INVESTMENT
    UNITED STATES
    ACQUIRED COVAD
    LERACH LLP
    DSL
    ISP
    SOICHER
    LAWRENCE
    CHANNEL PARTNERS
    CLASS PERIOD
    ROBBINS
    HYNES
    MILBERG WEISS BERSHAD
    INDIVIDUAL DEFENDANTS
    
    
    
       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
    
       LAW OFFICES OF LAWRENCE G.
         SOICHER
       LAWRENCE G. SOICHER
       342 Madison Avenue, 18th Floor
       New York, NY 10173
       Telephone: 212/883-8000
    
       SPECTOR, ROSEMAN & KODROFF, P.C.
       JAMES A. CAPUTO (120485)
       600 West Broadway, Suite 1600
       San Diego, CA 92101
       Telephone: 619/338-4514
    
       Attorneys for Plaintiffs
    
       (Additional counsel appear on signature page.)
    
    
                            UNITED STATES DISTRICT COURT
    
                          NORTHERN DISTRICT OF CALIFORNIA
    
    
    
       PINCAY INVESTMENTS CO.,
       MYRON HARRIS and CARLOS
       PELLERANO, On Behalf of Themselves
       and All Others Similarly Situated,
    
                                         Plaintiffs,
    
            vs.
    
    
    SNIPPETS:
  • San Diego, CA 92101 Telephone:
  • LAW OFFICES OF LAWRENCE G. SOICHER LAWRENCE G. SOICHER
  • COVAD COMMUNICATIONS GROUP, INC., ROBERT E. KNOWLING,
  • 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 Covad Communications
  • Defendants misrepresented the revenues that Covad was deriving from its and its newly
  • This upsurge in Covad's stock caused by defendants' false and misleading statements enabled
  • On October 17, 2000^- 15 business days after the acquisition of BlueStar was completed and
  • Defendant Mark Perry was, during the Class Period, Chief Financial Officer of the Company.
  • The Individual Defendants, by reason of their stock ownership and positions with Covad, were
  • Prior to the acquisition, Covad was having difficulty gaining operational momentum within
  • As a result of the Individual Defendants' monitoring, each defendant was aware that Covad
  • Defendants knew that if Covad's inability to generate legitimate sales growth from customers
  • BlueStar is a provider of broadband and Internet services for small- and medium-sized
  • *** Recent Investment Commitment From SBC Cement Relationship With Covad.
  • CLASS ACTION ALLEGATIONS
  • Plaintiffs' claims are typical of those of the Class.
  • MILBERG WEISS BERSHAD HYNES & LERACH LLP WILLIAM S. LERACH DARREN J. ROBBINS

  • 13 . COMPLAINT A

    EXTRACTED KEY WORDS
    DEFENDANTS
    SECURITIES
    REVENUES
    PUBLICLY TRADED SECURITIES
    REPORTS
    MISLEADING
    TRADED SECURITIES
    INDIVIDUAL DEFENDANTS
    MARKET
    FINANCE
    PURCHASES
    PRICES
    SERVICE PROVIDERS
    OFFICER
    MEMBERS
    PLAINTIFF
    CONTROL
    DAMAGES
    DIRECTORS
    EXECUTIVES
    INTEGRITY
    CLARENT CORPORATION
    GROWTH
    FACTS
    CHAIRMAN
    DISCLOSURE
    CHIEF EXECUTIVE OFFICER
    MANAGER
    CHANG
    
     1 MILBERG WEISS BERSHAD
            HYNES & LERACH LLP
     2 REED R. KATHREIN (139304)
          100 Pine Street, Suite 2600
     3 San Francisco, CA  94111
          Telephone:  415/288-4545
     4 415/288-4534 (fax)
                 - and -
     5 WILLIAM S. LERACH (68581)
          DARREN J. ROBBINS (168593)
     6 600 West Broadway, Suite 1800
          San Diego, CA  92101
     7 Telephone:  619/231-1058
          619/231-7423 (fax)                                     CAULEY, GELLER, BOWMAN
     8                                                             & COATES, LLP
          SCHIFFRIN & BARROWAY, LLP                              PAUL J. GELLER
     9 MARC A. TOPAZ                                             One Boca Place, Suite 421A
          Three Bala Plaza East, Suite 400                       2255 Glades Road
    10 Bala Cynwyd, PA  19004                                    Boca Raton, FL  33431
          Telephone:  610/667-7706                               Telephone:  561/750-3000
    11 610/667-7056 (fax)                                        561/750-3364 (fax)
    
    12 Attorneys for Plaintiff
    
    13                                   UNITED STATES DISTRICT COURT
    14                              NORTHERN DISTRICT OF CALIFORNIA
    15
    
    16 MARK CARSON, On Behalf of Himself and               ) No.
          All Others Similarly Situated,                   )
    17                                                     ) CLASS ACTION
                                            Plaintiff,     )
    18                                                     ) COMPLAINT FOR VIOLATION OF THE
                 vs.                                       ) FEDERAL SECURITIES LAWS
    19                                                     )
          CLARENT CORPORATION, JERRY SHAW- )
    20 YAU CHANG and SIMON WONG,                           ))
    21                                      Defendants.    )) DEMAND FOR JURY TRIAL
    22
    
    23
    
    24
    
    25
    
    26
    
    27
    
    SNIPPETS:
  • CLARENT CORPORATION, JERRY SHAW-)
  • securities of Clarent Corporation between April 20,
  • Securities Exchange Act of 1934.
  • 10 Investigation of Potential Overstatement of Historical Revenues;
  • and Kevin Chang, General Manager of Clarent's Northern Asia operations.
  • The Board of Directors intends to name Michael Vargo
  • Chief Executive Officer.
  • additional disclosure at its investigation progresses.
  • and misleading statements were made in or issued from this District.
  • 13 telecommunications service providers to rapidly deploy voice, fax, and data services over
  • 16 Company's Chairman of the Board.
  • The Individual Defendants, because of their positions with the Company,
  • Each defendant was provided with copies of the Company's reports and press
  • assumed control over the Company's financial reporting and communications with the market.
  • many of the internal reports showing Clarent's forecasted and actual growth were prepared by
  • the finance department under Wong's direction and thus he was aware of the significant
  • 14 omissions complained of herein would adversely affect the integrity of the market for the
  • 17 and deceit upon plaintiff and other members of the Class.
  • 20 facts about Clarent's financial results.
  • 21 operated as a fraud or deceit on purchasers of Clarent publicly traded securities was a
  • 23 the prices of Clarent publicly traded securities; and caused plaintiff and other members
  • this quarter," said Jerry Chang, Chief Executive Officer, Clarent Corporation.
  • Investigation of Potential Overstatement of Historical Revenues; Places Three Executives On
  • or deceit upon plaintiff and others similarly situated in connection with their purchases of
  • 22 measure of damages.

  • 14 . DOCKET

    EXTRACTED KEY WORDS
    ENTRY
    GOSMAN
    MOTION
    MICHAEL
    LEAD PLTF
    APPOINMENT
    C/S
    GLASS
    CAREMATRIX CORPORATI
    LEAD COUNSEL
    FREDERICK LEATHERS
    ANDREW GOSMAN
    ROBERT KAUFMAN
    CONSOLIDATE
    SUPPORT
    ABRAHAM
    COMPLAINT
    DISTRICT COURT
    DOCKET
    FRED TAYLOR
    MEMORANDUM
    ATTORNEY
    APPEARANCE
    STIPULATION
    EDIT
    WOLF
    JUDGE
    DEFENDANT
    FRED TAYLOR ISQUITH
    
    Case docket was last updated on: 08/18/00.
    
    
    Docket as of August 18, 2000 9:53 pm               Page 1
    
    Proceedings include all events.
    1:99cv12323 Glass v. CareMatrix Corporati, et al
                                                                      1cv99  12318
                                                                1cv99  12318
                           U.S. District Court
              U.S. District Court - Massachusetts (Boston)
    
                  CIVIL DOCKET FOR CASE #: 99-CV-12323
    
    Glass v. CareMatrix Corporati, et al                        Filed: 11/12/99
    Assigned to: Judge Mark L. Wolf              Jury demand: Plaintiff
    Demand: $0,000                               Nature of Suit:  160
    Lead Docket: 99-CV-12286                     Jurisdiction: Federal Question
    Dkt# in other court: None
    
    Cause: 15:78m(a) Securities Exchange Act
    
    
    MICHAEL E. GLASS
         Plaintiff
    
    
       v.
    
    
    CAREMATRIX CORPORATI
         Defendant
    
    
    ABRAHAM D. GOSMAN                 Peter M. Saparoff
         Defendant                    (COR LD NTC)
                                      Mintz, Levin, Cohn, Ferris,
                                      Glovsky & Popeo, P.C.
                                      One Financial Center
                                      Boston, MA 02111
                                      617-542-6000
    
    
    ANDREW GOSMAN                     Peter M. Saparoff
         Defendant                    (See above)
                                      (COR LD NTC)
    
    
    
    SNIPPETS:
  • Case docket was last updated on:
  • 1:99cv12323 Glass v. CareMatrix Corporati,
  • U.S. District Court - Massachusetts
  • MICHAEL E. GLASS
  • Defendant
  • Case assigned to Judge: Wolf.
  • Fee Status: pd (ktb)
  • (Entry date 11/15/99)
  • (Edit date 11/15/99)
  • Abraham D. Gosman in 1:99-cv-12323, Andrew Gosman in
  • 1:99-cv-12323, Robert Kaufman in 1:99-cv-12323, Frederick
  • Leathers in 1:99-cv-12323, Michael Gosman in 1:99-cv-12323
  • 12/1/99 for Frederick Leathers
  • CareMatrix Corporati in 1:99-cv-12323, Abraham D. Gosman in
  • defts have an extension of time to respond to the complaint
  • at which time a further Stipulation will be
  • Gosman in 1:99-cv-12323 by Peter M. Saparoff, filed, c/s.
  • 12/6/99 8 Notice of appearance of attorney for Frederick Leathers in
  • 1/3/00 9 Motion by Michael E. Glass in 1:99-cv-12323 for appoinment
  • of lead pltf and approval of lead counsel, filed, c/s.
  • 1/3/00 10 Memorandum by Michael E. Glass in support of motion
  • for appoinment of lead pltf and approval of lead counsel,
  • 1/6/00 15 Affidavit of Fred Taylor Isquith in support re:
  • motion for appoinment of lead pltf Fred Taylor Isquith,
  • granting motion to consolidate cases (EOD Date
  •    |