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BRIAN BARRY et al v JP MORGAN CHASE & CO Click to find out why . . .



Keywords & Phrases
CaseNo: BBEAVJMCC178940, CourtName: MISC 2, Plaintiff: BRIAN BARRY et al, State: NY New York, UniqueCaseRef: LCD>BBEAVJMCC178940, Morgan, Class Action, Morgan Chase, Enron, Act, Exposure, Class Period, York, Complaint, News, Alleges, Common Stock, Bank, Plaintiff Brian Barry, Enron-related Exposure, Securities, Transactions, Surety Bonds, Loss Exposure, Materiallywithheld, Arrangements, Misleading, Natural Gas, Binkow Llp, Glancy, Personal Knowledge, Publicly-filed Documents , ContentID: 120252015

Case Documents
1   COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 126604
19 pages
PDF
Total Documents: 1 document , 19 pages
Price: $ 19.95


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1 . COMPLAINT

EXTRACTED KEY WORDS
PLAINTIFF
CLASS ACTION
DEFENDANT
MORGAN CHASE
ENRON
ACT
EXPOSURE
CLASS PERIOD
YORK
COMPLAINT
NEWS
ALLEGES
COMMON STOCK
BANK
PLAINTIFF BRIAN BARRY
MEMBERS
ENRON-RELATED EXPOSURE
SECURITIES
TRANSACTIONS
SURETY BONDS
LOSS EXPOSURE
MATERIALLYWITHHELD
ARRANGEMENTS
MISLEADING
NATURAL GAS
BINKOW LLP
GLANCY
PERSONAL KNOWLEDGE
PUBLICLY-FILED DOCUMENTS
IRA M. PRESS (IP 5313)
PAMELA E. KULSRUD (PK 4310)
KIRBY MCINERNEY & SQUIRE, LLP
830 Third Avenue, 10th Floor
New York, New York  10022
Telephone: (212) 371-6600
Facsimile:             (212) 751-2540

LIONEL Z. GLANCY #134180
NEAL A. DUBLINSKY #135712
MICHAEL GOLDBERG #188669
GLANCY & BINKOW LLP
1801 Avenue of the Stars Suite 311
Los Angeles, California  90067
Telephone: (310) 201-9150
Facsimile:             (310) 201-9160

Attorneys for Plaintiff Brian Barry and
The Barry Family LP


                                        UNITED STATES DISTRICT COURT

                                 FOR THE SOUTHERN DISTRICT OF NEW YORK


 BRIAN BARRY, On Behalf of the Barry                      Case No.
 Family LP, individually, and on behalf of all
 others similarly situated,
                                                          CLASS ACTION COMPLAINT FOR
                                                          VIOLATIONS OF THE FEDERAL
             Plaintiff,                                   SECURITIES LAWS

      v.
                                                          JURY TRIAL DEMANDED
 JP MORGAN CHASE & CO.

             Defendant.


           Plaintiff, by his attorneys, for his Class Action Complaint, alleges the following upon

personal knowledge as to himself and his own acts, and upon information and belief based


                                                     1



SNIPPETS:
  • New York, New York 10022 Telephone:
  • LIONEL Z. GLANCY #134180 NEAL A. DUBLINSKY #135712 MICHAEL GOLDBERG #188669 GLANCY & BINKOW
  • Plaintiff, by his attorneys, for his Class Action Complaint, alleges the following upon
  • personal knowledge as to himself and his own acts, and upon information and belief based
  • defendant J.P. Morgan Chase & Co., Inc., press releases
  • and news articles.
  • the common stock of JP Morgan during the period from November 28,
  • On the first day of the Class Period, the Company recklessly issued a public
  • statement which did not fully disclose its risk and loss exposure related to its transactions
  • the Company listed its total exposure in this
  • Enron was once this nation's seventh-largest
  • expose which, at long last, detailed and explained the complicated missing and
  • corrected the Company's materially false and misleading statements which it had
  • Securities Exchange Act of 1934, 15 U.S.C. §78aa, as well as pursuant to
  • Plaintiff Brian Barry, on behalf of the Barry Family LP, purchased shares of
  • The Company's principal bank subsidiaries are The
  • The Class is so numerous that joinder of all the members of the Class is
  • only $900 million in loss exposure connected to its dealings with Enron.
  • has initiated litigation against several major insurance companies seeking payment under
  • The surety contracts were issued by the insurance companies to guarantee obligations of Enron
  • As one Wall Street banker put it, the arrangements "practically guaranteed" Enron would come
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