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GORDON T CONNORS v MULTIMEDIA GAMES INC Click to find out why . . .



Keywords & Phrases
CaseNo: GTCVMGI197233, CourtName: MISC 4, Plaintiff: GORDON T CONNORS, State: CA California, UniqueCaseRef: LCD>GTCVMGI197233, Game, Megamania, Exchange Act, Mgam, Graves, Players, Gaming, Doj, Bingo, Violations, Nigc, United States, Gambling Device, Promulgated Thereunder, Illegal Class, Material Facts, Indian Gaming Regulatory, Securities, Misleading, Electronic Bingo, Acting General Counsel, Omissions, Sbn, Second Avenue, First Claim, Player Matches, Account Credit , ContentID: 120253756

Case Documents
1   CLASS ACTION COMPLAINT
[ see first page and extracted highlights below  ] ItemID: 130145
24 pages
PDF
Total Documents: 1 document , 24 pages
Price: $ 19.95


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1 . CLASS ACTION COMPLAINT

EXTRACTED KEY WORDS
MEGAMANIA
DEFENDANTS
PLAINTIFF
EXCHANGE ACT
ATTORNEY
MGAM
GRAVES
PLAYERS
GAMING
DOJ
BINGO
VIOLATIONS
NIGC
UNITED STATES
GAMBLING DEVICE
PROMULGATED THEREUNDER
ILLEGAL CLASS
MATERIAL FACTS
INDIAN GAMING REGULATORY
SECURITIES
MISLEADING
ELECTRONIC BINGO
ACTING GENERAL COUNSEL
OMISSIONS
SBN
SECOND AVENUE
FIRST CLAIM
PLAYER MATCHES
ACCOUNT CREDIT
  1  James C. Krause, Esq., SBN 066478
 2 Patrick N. Keegan, Esq., SBN 167698
        KRAUSE & KALFAYAN
 3 1010 Second Avenue, Suite 1521
        San Diego, CA  92101
 4 TEL: (619) 232-0331
        FAX: (619) 232-4019
 5  Attorneys for Plaintiff
 6
 7
 8                               UNITED STATES DISTRICT COURT
 9                              SOUTHERN DISTRICT OF CALIFORNIA
 10  GORDON T. CONNORS, on behalf of  )               Case No.
 11 himself and all others similarly situated,  )
                                                )     CLASS ACTION COMPLAINT FOR
 12                        Plaintiffs,          )     VIOLATIONS OF THE FEDERAL
                                                ) SECURITIES
                                                                   LAW

 13           vs.                               )
                                                )
 14 MULTIMEDIA GAMES, INC.;                     )
        GORDON T. GRAVES; and LARRY D.  )
 15 MONTGOMERY;
                              ) JURY
                                                           TRIAL
                                                                   DEMANDED
                                                )
 16                        Defendants.          )
        ________________________________)
 17

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SNIPPETS:
  • Patrick N. Keegan, Esq., SBN 167698
  • 1010 Second Avenue, Suite 1521
  • Attorneys for Plaintiff
  • The Individual Defendants
  • DESCRIPTION OF THE MEGAMANIA GAME
  • FIRST CLAIM FOR RELIEF
  • Violations of Section 20the Exchange Act
  • MGAM 8 reports that it provides satellite-linked, high-stakes electronic bingo games and
  • high- speed electronic bingo games played on a network of video machines in casinos 10 owned
  • 15 United States Department of Justice and of the United States Attorneys Offices
  • 17 whether MegaMania was a "Class III" gaming device.
  • 19 Tribal-State compact or as otherwise authorized by the Indian Gaming Regulatory Act
  • 23 concluded that defendants' game was an illegal Class III gambling device.
  • public filings with the Securities Commission that the NIGC letter, dated July 23, 1997, had
  • 10 Coleman, as acting General Counsel, had no authority to issue any binding opinion on
  • 13 contents of the letters sent in July 1997 by the DOJ to Indian tribes in which the DOJ
  • and 78t, respectively, and Rules 10b-5 promulgated thereunder, 17 C.F.R. § 240.10b-5.
  • MegaMania is a video gambling machine which is a gambling device as 17 defined by 15 U.S.C. §
  • 24 MegaMania players must wager money in order to gamble a chance at winning a payout.
  • casino's cashier to establish an account credit.
  • once a player matches all the
  • Defendant Graves also stated in the release that,
  • Attorney for the Western District of Oklahoma to Governor Bill Anoatubby,
  • These remarks were false and misleading.
  • 24 announcement the material facts that the DOJ continued to opine that MegaMania was an
  • 12 of false and misleading disclosures and omissions, all or part of which were contained in,
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