| Save 25% on a pre-paid one year subscription. |
|
|
468 |
Filed: 1/21/2025, Entered: None |
Notice of Appeal to Supreme Court |
|
Amended Notice of Appeal from the Orders dated 12-2-24 Letter Decision, 12-2-24 Fee Opinion, 12-13-24 Letter Decision and 12-13-24 Order and Final Judgement in the Court of Chancery by Chancellor McCormick, in C.A. No. 2018-0408-KSJM, with designation of no transcript. (amended caption in No. 534, 2024)
|
|
Request |
|
|
|
467 |
Filed: 1/21/2025, Entered: None |
Supreme Court Receipt and Return |
|
Register's Certificate, Supreme Court Receipt and complete Court of Chancery docket in matter on appeal to Supreme Court.
|
|
Request |
|
|
|
466 |
Filed: 1/15/2025, Entered: None |
Supreme Court Receipt and Return |
|
Register's Certificate, Supreme Court Receipt and complete Court of Chancery docket in matter on appeal to Supreme Court.
|
|
Request |
|
|
|
465 |
Filed: 1/14/2025, Entered: None |
Supreme Court Receipt and Return |
|
Register's Certificate, Supreme Court Receipt and complete Court of Chancery docket in matter on appeal to Supreme Court.
|
|
Request |
|
|
|
464 |
Filed: 1/13/2025, Entered: None |
Supreme Court Receipt and Return |
|
Register's Certificate, Supreme Court Receipt and complete Court of Chancery docket in matter on appeal to Supreme Court.
|
|
Request |
|
|
|
461 |
Filed: 1/9/2025, Entered: None |
bond |
|
Supersedeas Bond No. 0806308 in the amount of $100,000,000.00 on behalf of Tesla, Inc., signed by Chancellor McCormick on January 9, 2025
|
|
Request |
|
|
|
462 |
Filed: 1/9/2025, Entered: None |
bond |
|
Supersedeas Bond No. 72BSBJD5061 in the amount of $100,000,000.00 on behalf of Tesla, Inc., signed by Chancellor McCormick on January 9, 2025
|
|
Request |
|
|
|
463 |
Filed: 1/9/2025, Entered: None |
bond |
|
Supersedeas Bond No. 9462554 in the amount of $179,887,469.50 on behalf of Tesla, Inc., signed by Chancellor McCormick on January 9, 2025
|
|
Request |
|
|
|
460 |
Filed: 1/8/2025, Entered: None |
Letter |
|
Letter to the Honorable Kathaleen St. Jude McCormick from Rudolf Koch, Esq. enclosing Supersedeas Bonds on behalf of Tesla, Inc.
- Attachment 1 Supersedeas Bond No. 1 on behalf of Tesla, Inc.
- Attachment 2 Supersedeas Bond No. 2 on behalf of Tesla, Inc.
- Attachment 3 Supersedeas Bond No. 3 on behalf of Tesla, Inc.
|
|
Request |
|
|
|
458 |
Filed: 1/8/2025, Entered: None |
Notice of Appeal to Supreme Court |
|
Notice of Appeal from the Notice of Appeal from the Orders dated 1-30-24, 12-2-24, and 12-13-24 in the Court of Chancery by Chancellor McCormick, in C.A. No. 2018-0408, with designation of no transcript in No. 12, 2025.
|
|
Request |
|
|
|
459 |
Filed: 1/8/2025, Entered: None |
Letter |
|
Letter dated 1-8-25 from Senior Court Clerk to Chief Register in Chancery, advising the record is due 1-31-25 in No. 12, 2025.
|
|
Request |
|
|
|
454 |
Filed: 1/8/2025, Entered: None |
Notice of Appeal to Supreme Court |
|
Notice of Appeal from the Orders dated 1-30-24, 12-2-24, and 12-13-24 in the Court of Chancery by Chancellor McCormick, in C.A. No. 2018-0408, with designation of no transcript in No. 10, 2025.
|
|
Request |
|
|
|
455 |
Filed: 1/8/2025, Entered: None |
Notice |
|
Letter dated 1-8-25 from Senior Court Clerk to Chief Register in Chancery, advising the record is due 1-31-25 in No. 10, 2025.
|
|
Request |
|
|
|
456 |
Filed: 1/8/2025, Entered: None |
Notice of Appeal to Supreme Court |
|
Notice of Appeal from the Orders dated 1-30-24, 12-2-24, and 12-13-24 in the Court of Chancery by Chancellor McCormick, in C.A. No. 2018-0408, with designation of no transcript in No. 11, 2025.
|
|
Request |
|
|
|
457 |
Filed: 1/8/2025, Entered: None |
Letter |
|
Letter dated 1-8-25 from Senior Court Clerk to Chief Register in Chancery, advising the record is due 1-31-25 in No. 11, 2025.
|
|
Request |
|
|
|
452 |
Filed: 12/31/2024, Entered: None |
Notice of Appeal to Supreme Court |
|
Notice of Appeal from the Orders dated 12-2-24 Letter Decision, 12-2-24 Fee Opinion, 12-13-24 Letter Decision and 12-13-24 Order and Final Judgement in the Court of Chancery by Chancellor McCormick, in C.A. No. 2018-0408-KSJM, with designation of no transcript.
|
|
Request |
|
|
|
453 |
Filed: 12/31/2024, Entered: None |
Letter |
|
Letter dated 12-31-24 from Chief Deputy Clerk to Prothonotary, advising the record is due 1-23-25.
|
|
Request |
|
|
|
451 |
Filed: 12/13/2024, Entered: None |
Order |
|
Granted ([Proposed] Order And Final Judgment)
|
|
Request |
|
|
|
450 |
Filed: 12/13/2024, Entered: None |
Order |
|
Denied ([Proposed] Order Granting the Tesla Special Committee’s Motion to Intervene on a Limited Basis)
|
|
Request |
|
|
|
449 |
Filed: 12/13/2024, Entered: None |
Letter Decision |
|
Letter Decision
|
|
Request |
|
|
|
448 |
Filed: 12/12/2024, Entered: None |
Proposed Order |
|
[Proposed] Order And Final Judgment
- Attachment 1 Letter to The Honorable Kathaleen St. Jude McCormick dated December 12, 2024 from John L. Reed enclosing an agreed-to form of [Proposed] Order And Final Judgment
|
|
Request |
|
|
|
447 |
Filed: 12/11/2024, Entered: None |
Letter |
|
Letter from Anthony A. Rickey to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Objector Amy Steffen's Motion to Intervene
|
|
Request |
|
|
|
446 |
Filed: 12/10/2024, Entered: None |
Motion |
|
Objector Amy Steffens's Motion to Intervene
- Attachment 1 [Proposed] Order Granting Objector Amy Steffens's Motion to Intervene
|
|
Request |
|
|
|
445 |
Filed: 12/9/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esq. enclosing courtesy copies of the Florida Objectors' Motion for Clarification and Reconsideration
|
|
Request |
|
|
|
444 |
Filed: 12/6/2024, Entered: None |
Motion |
|
Florida Objectors' Motion for Clarification and Reconsideration
- Attachment 1 [Proposed] Order Granting Florida Objectors' Motion for Clarification and Reconsideration
|
|
Request |
|
|
|
443 |
Filed: 12/2/2024, Entered: None |
Letter Decision |
|
Letter Decision
|
|
|
|
|
|
442 |
Filed: 12/2/2024, Entered: None |
Opinion |
|
Opinion Awarding Attorney's Fees And Denying Motion to Revise The Post-Trial Opinion
|
|
|
|
|
|
441 |
Filed: 11/1/2024, Entered: None |
Notice |
|
Plaintiff's Notice of Withdrawal of Appearance of Glenn R. McGillivray
|
|
Request |
|
|
|
440 |
Filed: 10/31/2024, Entered: None |
Letter |
|
Letter to counsel.
|
|
Request |
|
|
|
439 |
Filed: 8/29/2024, Entered: None |
Notice |
|
Notice of Withdrawal of Appearance of Andrew J. Peach as counsel of record for plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
438 |
Filed: 8/29/2024, Entered: None |
Motion |
|
Florida Objectors' Motion for an Award of Attorneys' Fees and Expenses
- Attachment 1 [Proposed] Order Granting the Florida Objectors' Motion for an Award of Attorneys' Fees and Expenses
|
|
Request |
|
|
|
437 |
Filed: 8/26/2024, Entered: None |
Motion |
|
Objector Amy Steffens's Motion for an Award of Attorneys' Fees and Expenses
- Attachment 1 [Proposed] Order Awarding Fees and Expenses to Objector's Counsel
|
|
Request |
|
|
|
436 |
Filed: 8/19/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esq. Regarding Supplemental Authority related to Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 1 Exhibit A to Letter to Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esq. Regarding Supplemental Authority related to Plaintiff’s Application for An Award of Fees and Expenses
|
|
Request |
|
|
|
435 |
Filed: 8/12/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 8-2-2024 Oral Argument on Defendants' Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
434 |
Filed: 8/6/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from A. Thompson Bayliss, Esq. regarding David Hahn Screening
|
|
Request |
|
|
|
433 |
Filed: 8/5/2024, Entered: None |
Judicial Action Form - Non Trial |
|
8.2.2024 Oral Argument on Plaintiffs Motion for an award of Attorneys' Fees & Expenses. Matter taken under advisement. See Transcript.
|
|
Request |
|
|
|
432 |
Filed: 8/5/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance and Admission of Matthew L. Strand as Counsel for Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
431 |
Filed: 8/2/2024, Entered: None |
Motion |
|
Motion to Withdraw Pro Hac Vice Appearance and Admission of Matthew L. Strand as Counsel for Nominal Defendant Tesla, Inc.
- Attachment 1 [Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance and Admission of Matthew L. Strand as Counsel for Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
430 |
Filed: 8/2/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Bradley R. Aronstam of Ross Aronstam & Moritz LLP on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis
|
|
Request |
|
|
|
429 |
Filed: 8/1/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esquire enclosing materials that the Florida Objectors may rely upon at August 2, 2024 Hearing
- Attachment 1 Exhibits 1 to 6 to Letter to The Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esquire enclosing reference materials that the Florida Objectors may rely upon at August 2, 2024 Hearing
|
|
Request |
|
|
|
428 |
Filed: 7/31/2024, Entered: None |
Letter |
|
Letter from Anthony A. Rickey to The Honorable Kathaleen St. Jude McCormick enclosing recent opinion in In re: T-Mobile Customer Data Security Breach Litigation
- Attachment 1 Exhibit A to Letter from Anthony A. Rickey to The Honorable Kathaleen St. Jude McCormick enclosing recent opinion in In re: T-Mobile Customer Data Security Breach Litigation
|
|
Request |
|
|
|
426 |
Filed: 7/31/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Seeger, Kristen R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Kristen R. Seeger of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.)
|
|
Request |
|
|
|
427 |
Filed: 7/31/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Skakun III, John M.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of John M. Skakun III of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.)
|
|
Request |
|
|
|
424 |
Filed: 7/31/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Kristen R. Seeger of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
- Attachment 1 Certification of Kristen R. Seeger of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
- Attachment 2 Seeger, Kristen R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Kristen R. Seeger of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
- Attachment 3 Certification of John M. Skakun III of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
- Attachment 4 Skakun III, John M.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of John M. Skakun III of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
|
|
Request |
|
|
|
425 |
Filed: 7/31/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of John M. Skakun III of Sidley Austin LLP, to represent the Special Committee of the Board of Directors of Tesla, Inc.
|
|
Request |
|
|
|
423 |
Filed: 7/29/2024, Entered: None |
Letter |
|
Letter from Anthony A. Rickey to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Objector Amy Steffens's Supplement to Her Objection to Plaintiff's Motion for an Award of Attorneys' Fees and Expenses and Joinder to the Individual Defendants' Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
422 |
Filed: 7/26/2024, Entered: None |
Objection |
|
Objector Amy Steffens's Supplement to Her Objection to Plaintiff's Motion for an Award of Attorneys' Fees and Expenses and Joinder to the Individual Defendants' Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
421 |
Filed: 7/24/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from Adam K. Schulman, Esq. regarding the Special Committee’s Motion to Intervene on a Limited Basis
|
|
Request |
|
|
|
420 |
Filed: 7/24/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from David S. Eagle, Esq. enclosing courtesy copies of the Florida Objectors' Supplemental Objections to Plaintiff's Fee Application and His Related Request to Disenfranchise Tesla Stockholders
|
|
Request |
|
|
|
419 |
Filed: 7/23/2024, Entered: None |
Objection |
|
Florida Objectors' Supplemental Objections to Plaintiff's Fee Application and His Related Request to Disenfranchise Tesla Stockholders
|
|
|
|
|
|
418 |
Filed: 7/23/2024, Entered: None |
Brief |
|
Amicus Brief of Amicus Curiae Professor Charles M. Elson in Support of Plaintiff
|
|
|
|
|
|
417 |
Filed: 7/22/2024, Entered: None |
Brief |
|
Brief of Amicus Curiae Chamber of Commerce of the United States of America in Support of Nominal Defendant
- Attachment 1 Certificate of Service to Brief of Amicus Curiae Chamber of Commerce of the United States of America in Support of Nominal Defendant
|
|
|
|
|
|
416 |
Filed: 7/22/2024, Entered: None |
Letter Decision |
|
Letter Decision
|
|
|
|
|
|
415 |
Filed: 7/22/2024, Entered: None |
Letter |
|
Letter to Honorable Kathaleen St. Jude McCormick from Eliezer Y. Feinstein, Esq. enclosing courtesy copies of The Tesla Special Committee’s Motion to Intervene on a Limited Basis, the [Proposed] Brief of The Tesla Special Committee and accompanying documents
|
|
Request |
|
|
|
414 |
Filed: 7/22/2024, Entered: None |
Letter |
|
Letter from Jacob Perrone to Chancellor McCormick enclosing courtesy copies of Nominal Defendant Tesla, Inc.’s Joinder to Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
|
|
Request |
|
|
|
413 |
Filed: 7/21/2024, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing copies of transcript relied upon in Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 1 Exhibit 1 to Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing copies of transcript relied upon in Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
|
|
Request |
|
|
|
410 |
Filed: 7/19/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of A. Thompson Bayliss, Esq., Adam K. Schulman, Esq. and Eliezer Y. Feinstein, Esq. of Abrams & Bayliss LLP on behalf of Intervenor Kathleen Wilson-Thompson (the “Special Committee”)
|
|
Request |
|
|
|
411 |
Filed: 7/19/2024, Entered: None |
Motion |
|
The Tesla Special Committee's Motion to Intervene on a Limited Basis
- Attachment 1 Exhibit A to The Tesla Special Committee's Motion to Intervene on a Limited Basis (Proposed Brief of The Tesla Special Committee)
- Attachment 2 Exhibits B-E to The Tesla Special Committee's Motion to Intervene on a Limited Basis
- Attachment 3 Exhibit 1 to Exhibit A of The Tesla Special Committee's Motion to Intervene on a Limited Basis
|
|
|
|
|
|
412 |
Filed: 7/19/2024, Entered: None |
Proposed Order |
|
[Proposed] Order Granting the Tesla Special Committee’s Motion to Intervene on a Limited Basis
|
|
Request |
|
|
|
409 |
Filed: 7/19/2024, Entered: None |
Joinder |
|
Nominal Defendant Tesla, Inc.'s Joinder to Individual Defendants' Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
408 |
Filed: 7/19/2024, Entered: None |
Reply Brief |
|
Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 1 Transmittal Affidavit of David E. Ross in Connection with Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 2 Exhibits B - D to the Transmittal Affidavit of David E. Ross in Connection with Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 3 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Individual Defendants’ Reply Brief in Support of Their Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
407 |
Filed: 7/18/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 7-8-2024 Oral Argument on Plaintiff's Motion for an Award of Attorneys' Fees and Expenses
|
|
|
|
|
|
406 |
Filed: 7/16/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 7-3-2024 Teleconference Re Upcoming Hearing
|
|
|
|
|
|
405 |
Filed: 7/12/2024, Entered: None |
Answering Brief |
|
Plaintiff's Omnibus Brief in Opposition to the Individual Defendants' Motion to Revise the Post-Trial Opinion and Nominal Defendant Tesla, Inc.'s Joinder
- Attachment 1 Certificate of Service of Plaintiff's Omnibus Brief in Opposition to the Individual Defendants' Motion to Revise the Post-Trial Opinion and Nominal Defendant Tesla, Inc.'s Joinder
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff's Omnibus Brief in Opposition to the Individual Defendants' Motion to Revise the Post-Trial Opinion and Nominal Defendant Tesla, Inc.'s Joinder
|
|
|
|
|
|
404 |
Filed: 7/11/2024, Entered: None |
Letter |
|
Letter to counsel from Chancellor McCormick confirming the August 2, 2024 hearing.
|
|
Request |
|
|
|
403 |
Filed: 7/8/2024, Entered: None |
Letter |
|
Letter from David S. Eagle to Chancellor McCormick enclosing courtesy copies of the ARK Investment Management LLC's Supplement and Joinder to the Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
|
|
Request |
|
|
|
401 |
Filed: 7/7/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of David S. Eagle and Sally E. Veghte as Counsel for ARK Investment Management LLC
|
|
|
|
|
|
402 |
Filed: 7/7/2024, Entered: None |
Joinder |
|
ARK Investment Management LLC's Supplement and Joinder to the Florida Objectors' Objections to Plaintiff's Application for an Award of Fees and Expenses
|
|
|
|
|
|
400 |
Filed: 7/5/2024, Entered: None |
Judicial Action Form |
|
7.3.2024 Teleconference re upcoming hearing. Counsel should prepare a letter for unexpected persons wishing to be heard.
|
|
|
|
|
|
399 |
Filed: 7/3/2024, Entered: None |
Affidavit |
|
Supplemental Affidavit of Catherine A. Gaul, Esq. Regarding Stockholder Letters
- Attachment 1 Exhibits A-B to Supplemental Affidavit of Catherine A. Gaul, Esq. Regarding Stockholder Letters
- Attachment 2 Exhibit C to Supplemental Affidavit of Catherine A. Gaul, Esq. Regarding Stockholder Letters [CONFIDENTIAL FILING]
|
|
|
|
|
|
398 |
Filed: 7/1/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Jacob M. Perrone enclosing Chambers’ copies of Nominal Defendant Tesla, Inc.’s Joinder to Individual Defendants’ Motion to Revise the Post-Trial Opinion and Their Opening Brief in Support Thereof, which was filed with the Court on June 28, 2024
|
|
Request |
|
|
|
397 |
Filed: 6/28/2024, Entered: None |
Joinder |
|
Nominal Defendant Tesla, Inc.'s Joinder to Individual Defendants' Motion to Revise the Post-Trial Opinion and Their Opening Brief in Support Thereof
|
|
|
|
|
|
396 |
Filed: 6/28/2024, Entered: None |
Motion |
|
Individual Defendants' Motion to Revise the Post-Trial Opinion
- Attachment 1 [Proposed] Order Implementing Stockholding Ratification
- Attachment 2 Individual Defendants' Opening Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 3 Exhibit A to the Individual Defendants' Opening Brief in Support of Their Motion to Revise the Post-Trial Opinion
- Attachment 4 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of (i) Individual Defendants’ Motion to Revise the Post-Trial Opinion and (ii) Individual Defendants’ Opening Brief in Support of Their Motion to Revise the Post-Trial Opinion
|
|
|
|
|
|
395 |
Filed: 6/28/2024, Entered: None |
Entry of Appearance |
|
Notice of Entry of Appearance of Michael A. Barlow of Quinn Emanuel Urquhart & Sullivan, LLP hereby enters his appearance on behalf of Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson, Brad W. Buss, and Ira Ehrenpreis
|
|
|
|
|
|
394 |
Filed: 6/27/2024, Entered: None |
Letter |
|
Letter to counsel from Chancellor McCormick regarding the July 8 hearing.
|
|
|
|
|
|
393 |
Filed: 6/27/2024, Entered: None |
Letter Decision |
|
Letter Decision
|
|
|
|
|
|
392 |
Filed: 6/26/2024, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing Proposed Form of Order and Final Judgment
- Attachment 1 Defendants' [Proposed] Form of Order and Final Judgment
|
|
|
|
|
|
391 |
Filed: 6/26/2024, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing form of [Proposed] Order and Final Judgment
|
|
|
|
|
|
390 |
Filed: 6/25/2024, Entered: None |
Reply |
|
Defendants’ Reply in Further Support of Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
- Attachment 1 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Defendants’ Reply in Further Support of Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
|
|
|
|
|
|
389 |
Filed: 6/24/2024, Entered: None |
Notice |
|
Notice of Filing of Declaration of Kurt Panouses in Support of Florida Objectors' Objections to Plaintiff's Application for an Award of Fees and Expenses
- Attachment 1 Exhibit A to Notice of Filing of Declaration of Kurt Panouses in Support of Florida Objectors' Objections to Plaintiff's Application for an Award of Fees and Expenses
|
|
|
|
|
|
388 |
Filed: 6/21/2024, Entered: None |
Opposition |
|
Plaintiff's Opposition to Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion, with certificate of service
- Attachment 1 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff’s Opposition to Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
- Attachment 2 Exhibits A - C to Plaintiff's Opposition to Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
|
|
|
|
|
|
387 |
Filed: 6/21/2024, Entered: None |
Reply Brief |
|
Plaintiff's Reply Brief in Further Support of Application for An Award of Fees and Expenses
- Attachment 1 Certificate of Service of Plaintiff's Reply Brief in Further Support of Application for An Award of Fees and Expenses
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff's Reply Brief in Further Support of Application for An Award of Fees and Expenses
- Attachment 3 Exhibits 1 - 2 to Plaintiff's Reply Brief in Further Support of Application for An Award of Fees and Expenses
- Attachment 4 Exhibits 3 - 5 to Plaintiff's Reply Brief in Further Support of Application for An Award of Fees and Expenses
|
|
|
|
|
|
386 |
Filed: 6/20/2024, Entered: None |
Motion |
|
Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
- Attachment 1 [Proposed] Order Granting Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick regarding Defendants’ Motion (1) to Set Aside April 11, 2024 Scheduling Order and (2) to Set a Schedule for Expedited Briefing on the Impact of Tesla Stockholder’s Ratification on the January 30, 2024 Post-Trial Opinion
|
|
|
|
|
|
385 |
Filed: 6/20/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Grady, Thomas: Proposed Order Granting Motion for Admission Pro Hac Vice of Thomas R. Grady to Represent The Florida Objectors)
|
|
|
|
|
|
384 |
Filed: 6/18/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Plaintiff's Unopposed Motion to Extend Word Limit)
|
|
|
|
|
|
383 |
Filed: 6/18/2024, Entered: None |
Letter |
|
Letter from David S. Eagle to Chancellor McCormick enclosing courtesy copies of the Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
|
|
|
|
|
|
382 |
Filed: 6/18/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Thomas R. Grady, Esquire to Represent The Florida Objectors with Certificate of Service
- Attachment 1 Certification of Thomas R. Grady, Esquire in Support of Motion for Admission Pro Hac Vice to Represent The Florida Objectors
- Attachment 2 Grady, Thomas: Proposed Order Granting Motion for Admission Pro Hac Vice of Thomas R. Grady to Represent The Florida Objectors
|
|
|
|
|
|
381 |
Filed: 6/17/2024, Entered: None |
Motion |
|
Plaintiff's Unopposed Motion to Extend Word Limit, with certificate of service
- Attachment 1 [Proposed] Order Granting Plaintiff's Unopposed Motion to Extend Word Limit
|
|
|
|
|
|
379 |
Filed: 6/17/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of David S. Eagle and Sally E. Veghte as Counsel for the Florida Objectors with Certificate of Service
- Attachment 2 Declaration of Florida Objector David Israel in Support of His Objections to Plaintiff's Application for an Award of Fees and Expenses
- Attachment 3 Exhibit A to Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
- Attachment 4 Certificate of Service of Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
|
|
Request |
|
|
|
380 |
Filed: 6/17/2024, Entered: None |
Objection |
|
Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
- Attachment 1 Declaration of Florida Objector David Israel in Support of His Objections to Plaintiff's Application for an Award of Fees and Expenses
- Attachment 2 Exhibit A to Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
- Attachment 3 Certificate of Service of Florida Objectors’ Objections to Plaintiff’s Application for an Award of Fees and Expenses
|
|
|
|
|
|
378 |
Filed: 6/14/2024, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick in response to Nominal Defendant Tesla, Inc.'s letter filed on June 14, 2024
|
|
|
|
|
|
377 |
Filed: 6/14/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from John L. Reed, Esq., dated June 14, 2024, regarding Vote
|
|
|
|
|
|
376 |
Filed: 6/12/2024, Entered: None |
Motion |
|
Motion of the Chamber of Commerce of the United States of American for Leave to Participate as Amicus Curiae in Support of Nominal Defendant
- Attachment 1 Exhibit A to Motion of the Chamber of Commerce of the United States of America for Leave to Participate as Amicus Curiae in Support of Nominal Defendant
- Attachment 2 Proposed Order Granting Motion of the Chamber of Commerce of the United States of America for Leave to Participate as Amicus Curiae in Support of Nominal Defendant
- Attachment 3 Certificate of Service to Motion of the Chamber of Commerce of the United States of America for Leave to Participate as Amicus Curiae in Support of Nominal Defendant
|
|
|
|
|
|
375 |
Filed: 6/12/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Daniel A. Griffith, Esquire as Attorney for Interested Party Amicus Curiae Chamber of Commerce of the United States of America with Certificate of Service
|
|
Request |
|
|
|
373 |
Filed: 6/12/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Theodore A. Kittila (Bar No. 3963) on behalf of Objector California Public Employees' Retirement System (CalPERS) and Certificate of Service
|
|
Request |
|
|
|
374 |
Filed: 6/12/2024, Entered: None |
Objection |
|
Joinder of California Public Employees' Retirement System (CalPERS) to Objection of Amy Steffens to Plaintiff's Motion for Award of Attorneys' Fees and Expenses and Certificate of Service
|
|
Request |
|
|
|
369 |
Filed: 6/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Verrilli, Donald B.: [Proposed] Order for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens)
|
|
Request |
|
|
|
370 |
Filed: 6/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Goldenberg, Elaine J..: [Proposed] Order for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens)
|
|
Request |
|
|
|
371 |
Filed: 6/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Phadke, Achyut J.: [Proposed] Order for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens)
|
|
Request |
|
|
|
372 |
Filed: 6/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Grundfest, Joseph A..: [Proposed] Order for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens)
|
|
Request |
|
|
|
| Save 25% on a pre-paid one year subscription. |
|
|
368 |
Filed: 6/7/2024, Entered: None |
Letter |
|
Letter from Ryan D. Stottmann to Chancellor McCormick enclosing courtesy copies of Nominal Defendant Tesla, Inc.’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses and supporting documents
|
|
Request |
|
|
|
364 |
Filed: 6/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens with Certificate of Service
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens
- Attachment 2 Verrilli, Donald B.: [Proposed] Order for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens
- Attachment 3 Certification in Support of Motion for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens
- Attachment 4 Verrilli, Donald B.: [Proposed] Order for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens
- Attachment 5 Verrilli, Donald B.: [Proposed] Order for Admission Pro Hac Vice of Donald B. Verrilli to represent Objector Amy Steffens
- Attachment 6 Certification in Support of Motion for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens
- Attachment 7 Goldenberg, Elaine J..: [Proposed] Order for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens
- Attachment 8 Certification in Support of Motion for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens
- Attachment 9 Phadke, Achyut J.: [Proposed] Order for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens
- Attachment 10 Certification in Support of Motion for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens
- Attachment 11 Grundfest, Joseph A..: [Proposed] Order for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens
|
|
Request |
|
|
|
365 |
Filed: 6/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens with Certificate of Service
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens
- Attachment 2 Goldenberg, Elaine J..: [Proposed] Order for Admission Pro Hac Vice of Elaine J. Goldenberg to represent Objector Amy Steffens
|
|
Request |
|
|
|
366 |
Filed: 6/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens with Certificate of Service
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens
- Attachment 2 Phadke, Achyut J.: [Proposed] Order for Admission Pro Hac Vice of Achyut J. Phadke to represent Objector Amy Steffens
|
|
Request |
|
|
|
367 |
Filed: 6/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens with Certificate of Service
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens
- Attachment 2 Grundfest, Joseph A..: [Proposed] Order for Admission Pro Hac Vice of Joseph A. Grundfest to represent Objector Amy Steffens
|
|
Request |
|
|
|
363 |
Filed: 6/7/2024, Entered: None |
Compendium |
|
Compendium of Selected Authorities Cited in Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
- Attachment 1 Tabs A-J Compendium of Selected Authorities Cited in Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
|
|
|
|
|
|
357 |
Filed: 6/7/2024, Entered: None |
Answering Brief |
|
Nominal Defendant Tesla, Inc.'s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
- Attachment 1 Exhibit A to Nominal Defendant Tesla, Inc.'s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
- Attachment 2 Certificate of Service to Nominal Defendant Tesla, Inc.'s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
- Attachment 6 Exhibit A to Nominal Defendant Tesla, Inc.'s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
- Attachment 7 Certificate of Service to Nominal Defendant Tesla, Inc.'s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
- Attachment 8 Exhibits 1-8 to Transmittal Affidavit of Ryan D. Stottmann In Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
|
|
|
|
|
|
358 |
Filed: 6/7/2024, Entered: None |
Affidavit |
|
Affidavit of Aaron Beckman in Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
|
|
|
|
|
|
359 |
Filed: 6/7/2024, Entered: None |
Exhibit(s) |
|
Expert Declaration of Steven R. Grenadier, Ph.D. in Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
|
|
|
|
|
|
360 |
Filed: 6/7/2024, Entered: None |
Exhibit(s) |
|
Expert Declaration of Douglas J. Skinner in Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
|
|
|
|
|
|
361 |
Filed: 6/7/2024, Entered: None |
Exhibit(s) |
|
Declaration of Daniel R. Fischel in Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
|
|
|
|
|
|
362 |
Filed: 6/7/2024, Entered: None |
Affidavit |
|
Transmittal Affidavit of Ryan D. Stottmann in Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses (with Certificate of Service)
- Attachment 1 Exhibits 1-8 to Transmittal Affidavit of Ryan D. Stottmann In Support of Nominal Defendant Tesla’s Answering Brief in Opposition to Plaintiff’s Counsel’s Request for an Award of Attorneys’ Fees and Expenses
|
|
|
|
|
|
356 |
Filed: 6/6/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Chritine M. Mackintosh on behalf of Professor Charles Elson
|
|
|
|
|
|
355 |
Filed: 6/6/2024, Entered: None |
Letter |
|
Letter from Anthony A. Rickey to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Amy Steffens’s Objection to Plaintiff’s Motion for Award of Attorneys’ Fees and Expenses and Supporting Documents
|
|
|
|
|
|
353 |
Filed: 6/5/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Anthony A. Rickey of Margrave Law LLC on behalf of Objector Amy Steffens with Certificate of Service
- Attachment 2 Affidavit of Amy L. Steffens in Support of Her Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 3 Affidavit of Professor David F. Larcker in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 4 Affidavit of Professor Adam Pritchard in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 5 Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 6 Certificate of Service to (i) Amy Steffens’s Objection to Plaintiff’s Motion for Award of Attorneys’ Fees and Expenses; (ii) Affidavit of Amy L. Steffens in Support of Her Objection; (iii) Affidavit of Professor David F. Larcker; (iv) Affidavit of Professor Adam Pritchard; (v) Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens’s Objection, and exhibits thereto
- Attachment 7 Exhibit A to the Affidavit of Amy L. Steffens in Support of Her Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 8 Exhibits A-B to the Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
|
|
|
|
|
|
354 |
Filed: 6/5/2024, Entered: None |
Objection |
|
Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 1 Affidavit of Amy L. Steffens in Support of Her Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 2 Affidavit of Professor David F. Larcker in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 3 Affidavit of Professor Adam Pritchard in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 4 Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 5 Certificate of Service to (i) Amy Steffens’s Objection to Plaintiff’s Motion for Award of Attorneys’ Fees and Expenses; (ii) Affidavit of Amy L. Steffens in Support of Her Objection; (iii) Affidavit of Professor David F. Larcker; (iv) Affidavit of Professor Adam Pritchard; (v) Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens’s Objection, and exhibits thereto
- Attachment 6 Exhibit A to the Affidavit of Amy L. Steffens in Support of Her Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
- Attachment 7 Exhibits A-B to the Transmittal Affidavit of Anthony A. Rickey in Support of Amy Steffens's Objection to Plaintiff's Motion for Award of Attorneys' Fees and Expenses
|
|
|
|
|
|
352 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 11 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Certificate of Service to Exhibit B Part 11 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
351 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 9 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit B Part 10 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit B Part 9 and 10 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
350 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 7 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit B Part 8 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit B Part 7 and 8 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
349 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 5 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit B Part 6 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit B Part 5 and 6 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
348 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 3 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit B Part 4 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit B Part 3 and 4 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
347 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit B Part 1 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit B Part 2 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit B Parts 1 and 2 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
346 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit A Part 6 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit A Part 7 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Exhibit A Part 6 and 7 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
345 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit A Part 5 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Certificate of Service to Exhibit A Part 5 Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
344 |
Filed: 5/31/2024, Entered: None |
Exhibit(s) |
|
Exhibit A Part 4 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Certificate of Service to Exhibit A Part 4 Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
343 |
Filed: 5/31/2024, Entered: None |
Affidavit |
|
Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 1 Exhibit A Part 1 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 2 Certificate of Service to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 3 Exhibit A Part 2 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
- Attachment 4 Exhibit A Part 3 to Affidavit of Catherine A. Gaul Regarding Stockholder Letters
|
|
|
|
|
|
342 |
Filed: 5/30/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Walker, Melanie E.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Melanie E Walker to Represent Nominal Defendant, Tesla, Inc.)
|
|
|
|
|
|
341 |
Filed: 5/29/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Melanie E Walker to Represent Nominal Defendant, Tesla, Inc., with Certificate of Service
- Attachment 1 Certification of Melanie E. Walker in Support of Motion for Admission Pro Hac Vice to Represent Nominal Defendant, Tesla, Inc., with Certificate of Service
- Attachment 2 Walker, Melanie E.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Melanie E Walker to Represent Nominal Defendant, Tesla, Inc.
|
|
|
|
|
|
340 |
Filed: 5/28/2024, Entered: None |
Letter Decision |
|
Letter Decision
|
|
|
|
|
|
339 |
Filed: 5/23/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Expert Depositions, with certificate of service
|
|
Request |
|
|
|
338 |
Filed: 5/23/2024, Entered: None |
Letter |
|
Letter from Christine M. Mackintosh, Esquire to The Honorable Kathaleen St. Jude McCormick, dated, May 23, 2024 enclosing Courtesy Copies of (1) Professor Charles M. Elson's Reply in Support of Motion for Leave to Participate as Amicus Curiae (with Certificate of Service) and (2) Affidavit of Professor Charles M. Elson in Support of Reply
|
|
Request |
|
|
|
337 |
Filed: 5/22/2024, Entered: None |
Notice of Deposition |
|
Nominal Defendant Tesla Inc.'s Notice of Depositions of Lucian Bebchuk (on May 27, 2024), Daniel Taylor (on May 27, 2024), and Robert Jackson, Jr. (on May 31, 2024) with Certificate of Service
|
|
Request |
|
|
|
336 |
Filed: 5/22/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick, dated May 22, 2024, from Rudolf Koch (#4947) enclosing courtesy copies of Nominal Defendant Tesla, Inc.’s Opposition to Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
|
|
Request |
|
|
|
335 |
Filed: 5/22/2024, Entered: None |
Reply |
|
Professor Charles M. Elson's Reply in Support of Motion for Leave to Participate as Amicus Curiae (with Certificate of Service)
- Attachment 1 Affidavit of Professor Charles M. Elson in Support of Professor Charles M. Elson's Reply in Support of Motion for Leave to Participate as Amicus Curiae
|
|
|
|
|
|
334 |
Filed: 5/21/2024, Entered: None |
Opposition |
|
Nominal Defendant Tesla, Inc.’s Opposition to Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
- Attachment 1 Exhibit 1 to Nominal Defendant Tesla, Inc.’s Opposition to Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
- Attachment 2 Certificate of Service to Nominal Defendant Tesla, Inc.’s Opposition to Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
|
|
|
|
|
|
333 |
Filed: 5/20/2024, Entered: None |
Reply |
|
Plaintiff's Omnibus Reply in Further Support of Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs, with certificate of service
- Attachment 1 Exhibit A to Plaintiff's Omnibus Reply in Further Support of Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff's Omnibus Reply in Further Support of Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs
|
|
|
|
|
|
332 |
Filed: 5/20/2024, Entered: None |
Notice |
|
Notice of Change of Address of Cravath, Swaine & Moore LLP (with Certificate of Service)
|
|
Request |
|
|
|
331 |
Filed: 5/14/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Christine M. Mackintosh regarding Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae
|
|
|
|
|
|
330 |
Filed: 5/14/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick, dated May 14, 2024, from Rudolf Koch (#4947) regarding Professor Charles M. Elson’s Motion For Leave To Participate as Amicus Curiae
|
|
|
|
|
|
328 |
Filed: 5/13/2024, Entered: None |
Entry of Appearance |
|
Notice of Limited Entry of Appearance of Christine M. Mackintosh with Certificate of Service
- Attachment 2 Exhibit A to Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae
- Attachment 3 [Proposed] Order Granting Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae
|
|
Request |
|
|
|
329 |
Filed: 5/13/2024, Entered: None |
Motion |
|
Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae with Certificate of Service
- Attachment 1 Exhibit A to Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae
- Attachment 2 [Proposed] Order Granting Professor Charles M. Elson's Motion for Leave to Participate as Amicus Curiae
|
|
|
|
|
|
327 |
Filed: 5/8/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick, dated May 8, 2024, from Rudolf Koch (#4947), enclosing courtesy copies of Nominal Defendant Tesla, Inc.’s Consolidated Opposition to Plaintiff’s Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs and the exhibits in support thereof
|
|
Request |
|
|
|
326 |
Filed: 5/8/2024, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of the Individual Defendants’ Opposition to Plaintiff’s Motions for Expedited Anti-Suit Injunction and to Enter Implementing Order and Award Costs
|
|
Request |
|
|
|
325 |
Filed: 5/7/2024, Entered: None |
Opposition |
|
Individual Defendants’ Opposition to Plaintiff’s Motions for Expedited Anti-Suit Injunction and to Enter Implementing Order and Award Costs (with Certificate of Service)
|
|
Request |
|
|
|
324 |
Filed: 5/7/2024, Entered: None |
Opposition |
|
Nominal Defendant Tesla, Inc.’s Consolidated Opposition to Plaintiff’s Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs
- Attachment 1 Exhibits 1 and 2 to Nominal Defendant Tesla, Inc.’s Consolidated Opposition to Plaintiff’s Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs
- Attachment 2 Certificate of Service to Nominal Defendant Tesla, Inc.’s Consolidated Opposition to Plaintiff’s Motion for Expedited Anti-Suit Injunction, Motion for Sequestration and Constructive Trust, and Motion to Enter Implementing Order and Award Costs
|
|
Request |
|
|
|
321 |
Filed: 5/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Frawley, Brian T.: [Proposed] Order for Admission Pro Hac Vice of Brian T. Frawley to represent Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
322 |
Filed: 5/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Schwartz, Matthew A.: [Proposed] Order for Admission Pro Hac Vice of Matthew A. Schwartz to represent Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
323 |
Filed: 5/7/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Strand, Matthew L.: [Proposed] Order for Admission Pro Hac Vice of Matthew L. Strand to represent Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
318 |
Filed: 5/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Brian T. Frawley to represent Nominal Defendant Tesla, Inc.
- Attachment 3 Certification in Support of Motion for Admission Pro Hac Vice of Brian T. Frawley to represent Nominal Defendant Tesla, Inc.
- Attachment 4 Frawley, Brian T.: [Proposed] Order for Admission Pro Hac Vice of Brian T. Frawley to represent Nominal Defendant Tesla, Inc.
- Attachment 5 Certification in Support of Motion for Admission Pro Hac Vice of Matthew A. Schwartz to represent Nominal Defendant Tesla, Inc.
- Attachment 6 Schwartz, Matthew A.: [Proposed] Order for Admission Pro Hac Vice of Matthew A. Schwartz to represent Nominal Defendant Tesla, Inc.
- Attachment 7 Certification in Support of Motion for Admission Pro Hac Vice of Matthew L. Strand to represent nominal defendant Tesla, Inc.
- Attachment 8 Strand, Matthew L.: [Proposed] Order for Admission Pro Hac Vice of Matthew L. Strand to represent Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
319 |
Filed: 5/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Matthew A. Schwartz to represent Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
320 |
Filed: 5/7/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Matthew L. Strand to represent nominal defendant Tesla, Inc.
|
|
Request |
|
|
|
317 |
Filed: 5/6/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Briefing and Word Limits on Plaintiff's Motions)
|
|
Request |
|
|
|
316 |
Filed: 5/5/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Briefing and Word Limits on Plaintiff's Motions
- Attachment 1 Certificate of Service to Stipulation and [Proposed] Order Governing Briefing and Word Limits on Plaintiff's Motions
|
|
Request |
|
|
|
315 |
Filed: 4/25/2024, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick in response to Defendants' letters regarding Plaintiff's motions
|
|
|
|
|
|
314 |
Filed: 4/25/2024, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick in response to the motions filed by the Plaintiff on April 23, 2024 , the letter filed by the Plaintiff on April 24, 2024, and the letter filed by nominal defendant Tesla, Inc. on April 25, 2024
|
|
|
|
|
|
313 |
Filed: 4/25/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. J. McCormick from John L. Reed, Esq., dated April 25, 2024, regarding Plaintiff's (1) Motion for Expedited Anti-Suit Injunction, (2) Motion for Sequestration and Constructive Trust, and (3) Motion to Enter Implementing Order and Awards Costs, as well as the accompanying Motion to Expedite Proceedings
|
|
Request |
|
|
|
312 |
Filed: 4/24/2024, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of 1) Plaintiff's Motion for Expedited Anti-Suit Injunction, 2) Plaintiff's Motion for Sequestration and Constructive Trust, 3) Plaintiff's Motion to Expedite Proceedings, and 4) Plaintiff's Motion to Enter Implementing Order and Award Costs
|
|
Request |
|
|
|
311 |
Filed: 4/23/2024, Entered: None |
Motion to Expedite |
|
Plaintiff's Motion to Expedite Proceedings, with certificate of service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Expedite Proceedings
|
|
|
|
|
|
310 |
Filed: 4/23/2024, Entered: None |
Motion |
|
Plaintiff's Motion to Enter Implementing Order and Award Costs, with certificate of service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Enter Implementing Order and Award Costs
- Attachment 2 Plaintiff's Bill of Costs
- Attachment 3 Affidavit of Jeroen van Kwawegen in Support of Plaintiff's Bill of Costs
- Attachment 4 Affidavit of Peter B. Andrews in Support of Plaintiff's Bill of Costs
|
|
Request |
|
|
|
309 |
Filed: 4/23/2024, Entered: None |
Motion |
|
Plaintiff's Motion for Sequestration and Constructive Trust, with certificate of service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion for Sequestration and Constructive Trust
|
|
|
|
|
|
308 |
Filed: 4/23/2024, Entered: None |
Motion |
|
Plaintiff's Motion for Expedited Anti-Suit Injunction, with certificate of service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion for Expedited Anti-Suit Injunction
|
|
|
|
|
|
307 |
Filed: 4/17/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of William M. Lafferty, Susan W. Waesco, Ryan D. Stottmann, Miranda N. Gilbert and Jacob M. Perrone as counsel for Nominal Defendant Tesla, Inc. (with Certificate of Service)
|
|
Request |
|
|
|
306 |
Filed: 4/17/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of John L. Reed, Ronald N. Brown, III, Caleb G. Johnson and Daniel P. Klusman as attorneys for Nominal Defendant Tesla, Inc., with Certificate of Service
- Attachment 1 Letter to The Honorable Kathaleen St. Jude McCormick dated April 17, 2024 from John L. Reed enclosing copy of Nominal Defendant, Tesla, Inc.'s Preliminary Proxy
- Attachment 2 Exhibit A to letter to The Honorable Kathaleen St. Jude McCormick dated April 17, 2024 from John L. Reed enclosing copy of Nominal Defendant, Tesla, Inc.'s Preliminary Proxy
|
|
Request |
|
|
|
305 |
Filed: 4/17/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Rudolf Koch, John D. Hendershot, Kevin M. Gallagher, and Andrew L. Milam of Richards, Layton & Finger, P.A. as additional counsel to nominal defendant Tesla, Inc., with Certificate of Service
|
|
Request |
|
|
|
304 |
Filed: 4/11/2024, Entered: None |
Order |
|
Granted (Amended Stipulation and [Proposed] Order Governing Briefing on Motion For Award of Attorneys' Fees and Expenses)
|
|
|
|
|
|
303 |
Filed: 4/10/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Amended Stipulation and [Proposed] Order Governing Briefing on Motion For Award of Attorneys' Fees and Expenses
|
|
Request |
|
|
|
302 |
Filed: 3/18/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Briefing on Motion for Award of Attorneys' Fees and Expenses)
|
|
Request |
|
|
|
301 |
Filed: 3/18/2024, Entered: None |
Minute Order |
|
The proposed procedure set out in Ms. Gaul’s March 15, 2024 letter to the court is approved. Please contact Chambers to arrange a time to send a courier to collect the communications received to date.Linked from (11)
|
|
Request |
|
|
|
300 |
Filed: 3/18/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Briefing on Motion for Award of Attorneys' Fees and Expenses
|
|
Request |
|
|
|
299 |
Filed: 3/18/2024, Entered: None |
Minute Order |
|
The hearing on the Motion for Attorneys' Fees will be held on July 8, 2024, at 1:30 p.m.Linked from (3)
|
|
Request |
|
|
|
298 |
Filed: 3/15/2024, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Catherine A. Gaul, Esq. on behalf of the Parties in response to the Court's March 12, 2024 Letter
|
|
Request |
|
|
|
297 |
Filed: 3/12/2024, Entered: None |
Letter |
|
Letter to counsel from Chancellor McCormick.
|
|
Request |
|
|
|
296 |
Filed: 3/1/2024, Entered: None |
Motion |
|
Plaintiff’s Motion for An Award of Fees and Expenses, with Certificate of Service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion for An Award of Fees and Expenses
- Attachment 2 Plaintiff’s Opening Brief in Support of Application for An Award of Fees and Expenses
- Attachment 3 Affidavit of Jeroen van Kwawegen in support of Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 4 Affidavit of Peter B. Andrews in support of Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 5 Affidavit of Jeremy Friedman in support of Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 6 Affidavit of Daniel J. Taylor in support of Plaintiff’s Application for An Award of Fees and Expenses with exhibit attached.
- Attachment 7 Affidavit of Professor Ethan Yale in support of Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 8 Joint Declaration of Lucian Bebchuk and Robert J. Jackson Jr. in support of Plaintiff’s Application for An Award of Fees and Expenses
- Attachment 9 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff’s Opening Brief in Support of Application for An Award of Fees and Expenses
|
|
|
|
|
|
295 |
Filed: 2/14/2024, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick identifying all issues that need to be addressed to bring this matter to a conclusion at the trial level
|
|
|
|
|
|
294 |
Filed: 1/30/2024, Entered: None |
Opinion |
|
Post-Trial Opinion
|
|
|
|
|
|
293 |
Filed: 7/31/2023, Entered: None |
Letter |
|
Letter to counsel.
|
|
Request |
|
|
|
292 |
Filed: 4/25/2023, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Defendants' demonstratives used during trial and post-trial argument
|
|
Request |
|
|
|
291 |
Filed: 4/25/2023, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen McCormick enclosing copies of Plaintiff's Demonstratives used during trial
- Attachment 1 Attachments - Plaintiff's Demonstratives
|
|
Request |
|
|
|
290 |
Filed: 4/25/2023, Entered: None |
Supplemental Submissions |
|
Joint Schedule of Evidence, with certificate of service
- Attachment 1 Exhibit A to Joint Schedule of Evidence
- Attachment 2 Exhibit B to Joint Schedule of Evidence
- Attachment 3 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen McCormick enclosing courtesy copies of the Joint Schedule of Evidence
|
|
Request |
|
|
|
289 |
Filed: 4/11/2023, Entered: None |
Reply Brief |
|
Director Defendants' Supplemental Reply Brief
- Attachment 1 Certificate of Service of Director Defendants' Supplemental Reply Brief
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants' Supplemental Reply Brief
|
|
|
|
|
|
288 |
Filed: 3/31/2023, Entered: None |
Supplemental Submissions |
|
Plaintiff's Post-Trial Supplemental Brief
- Attachment 1 Certificate of Service of Plaintiff's Post-Trial Supplemental Brief
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick enclosing courtesy copies of Plaintiff's Post-Trial Supplemental Brief
|
|
|
|
|
|
287 |
Filed: 3/28/2023, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance of Jackie L. Carleton as Counsel for Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis)
|
|
Request |
|
|
|
286 |
Filed: 3/28/2023, Entered: None |
Motion |
|
Motion to Withdraw Pro Hac Vice Appearance of Jackie L. Carleton as Counsel for Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance of Jackie L. Carleton as Counsel for Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis
|
|
Request |
|
|
|
285 |
Filed: 3/14/2023, Entered: None |
Opening Brief |
|
Director Defendants’ Supplemental Opening Brief
- Attachment 1 Certificate of Service of Director Defendants’ Supplemental Opening Brief
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants’ Supplemental Opening Brief
|
|
Request |
|
|
|
284 |
Filed: 3/3/2023, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 2.21.23 Post-Trial Oral Argument
|
|
Request |
|
|
|
283 |
Filed: 3/1/2023, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Scheduling Order Regarding Supplemental Briefing)
|
|
Request |
|
|
|
282 |
Filed: 2/28/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Scheduling Order Regarding Supplemental Briefing
|
|
Request |
|
|
|
281 |
Filed: 2/23/2023, Entered: None |
Judicial Action Form |
|
Post-Trial Oral Argument held before Chancellor McCormick on 2.21.2023- Counsel to confer on supplemental briefing. See Transcript.
|
|
Request |
|
|
|
280 |
Filed: 2/22/2023, Entered: None |
Letter |
|
Letter to counsel requesting supplemental briefing.
|
|
Request |
|
|
|
279 |
Filed: 2/17/2023, Entered: None |
Letter |
|
Letter confirming public access line for post-trial argument scheduled to take place on February 21, 2023, at 1:30 p.m.
|
|
Request |
|
|
|
278 |
Filed: 2/17/2023, Entered: None |
Letter |
|
Letter from Glenn R. McGillivray, Esq. to The Honorable Kathaleen St. J. McCormick enclosing hyperlinked version of Plaintiff’s Post-Trial Answering Brief
|
|
Request |
|
|
|
277 |
Filed: 2/16/2023, Entered: None |
Letter |
|
Letter from Thomas C. Mandracchia to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of hyperlinked versions of (i) Director Defendants’ Opening Post-Trial Brief, and (ii) Director Defendants’ Answering Post-Trial Brief
|
|
Request |
|
|
|
275 |
Filed: 2/10/2023, Entered: None |
Answering Brief |
|
Director Defendants' Answering Post-Trial Brief
- Attachment 2 Certificate of Service to Director Defendants' Answering Post-Trial Brief
|
|
|
|
|
|
276 |
Filed: 2/10/2023, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants' Answering Post-Trial Brief
|
|
Request |
|
|
|
274 |
Filed: 2/10/2023, Entered: None |
Answering Brief |
|
Plaintiff's Post-Trial Answering Brief
- Attachment 1 Certificate of Service of Plaintiff's Post-Trial Answering Brief
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick enclosing courtesy copies of Plaintiff's Post-Trial Answering Brief
|
|
|
|
|
|
273 |
Filed: 2/9/2023, Entered: None |
Order Pro Hac Vice |
|
Granted (Carleton, Jackie L.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis)
|
|
Request |
|
|
|
272 |
Filed: 2/9/2023, Entered: None |
Motion for Pro Hac Vice |
|
Carleton, Jackie L.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis (with Certificate of Service)
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Jackie L. Carleton on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis
- Attachment 2 Carleton, Jackie L.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis
|
|
Request |
|
|
|
271 |
Filed: 1/31/2023, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw the Appearance of Benjamin Z. Grossberg, Esquire)
|
|
Request |
|
|
|
270 |
Filed: 1/30/2023, Entered: None |
Motion |
|
Motion to Withdraw the Appearance of Benjamin Z. Grossberg, Esquire (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Motion to Withdraw the Appearance of Benjamin Z. Grossberg, Esquire
|
|
Request |
|
|
|
269 |
Filed: 1/30/2023, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Thomas C. Mandracchia on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, and Ira Ehrenpreis (with Certificate of Service)
|
|
Request |
|
|
|
| Save 25% on a pre-paid one year subscription. |
|
|
268 |
Filed: 1/25/2023, Entered: None |
Letter |
|
Letter from Glenn R. McGillivray, Esq. to The Honorable Kathaleen St. J. McCormick enclosing hyperlinked version of Plaintiff’s Post-Trial Brief
|
|
|
|
|
|
267 |
Filed: 1/23/2023, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Kimberly A. Evans, Esquire Regarding courtesy copy of the Amicus Curiae Brief of Professor Charles M. Elson in Support of Plaintiff
|
|
Request |
|
|
|
266 |
Filed: 1/23/2023, Entered: None |
Opening Brief |
|
Amicus Curiae Brief of Professor Charles M. Elson in Support of Plaintiff with Certificate of Service
|
|
|
|
|
|
265 |
Filed: 1/20/2023, Entered: None |
Order |
|
Granted (Proposed Order for Professor Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae)
|
|
|
|
|
|
264 |
Filed: 1/18/2023, Entered: None |
Opening Brief |
|
Plaintiff's Post-Trial Brief
- Attachment 1 Exhibit A to Plaintiff's Post-Trial Brief
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff's Post-Trial Brief
- Attachment 3 Certificate of Service of Plaintiff's Post-Trial Brief
|
|
|
|
|
|
263 |
Filed: 1/17/2023, Entered: None |
Brief |
|
Director Defendants' Opening Post-Trial Brief
- Attachment 1 Certificate of Service to Director Defendants' Opening Post-Trial Brief
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants' Opening Post-Trial Brief
|
|
|
|
|
|
262 |
Filed: 1/13/2023, Entered: None |
Letter |
|
Letter to The Honorable Kathaleen St. Jude McCormick from Kimberly A. Evans, Esquire enclosing courtesy copy of Professor Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae with Proposed Order and Proposed Amicus Curiae Brief
|
|
|
|
|
|
261 |
Filed: 1/13/2023, Entered: None |
Motion |
|
Professor Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae with Certificate of Service
- Attachment 1 Proposed Order for Professor Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
- Attachment 2 Exhibit A to Professor Charles M. Elson’s Motion for Leave to Participate as Amicus Curiae
|
|
Request |
|
|
|
260 |
Filed: 1/9/2023, Entered: None |
Letter |
|
Letter Regarding Motion to Conform Pleadings to the Evidence
|
|
|
|
|
|
259 |
Filed: 12/29/2022, Entered: None |
Public Version |
|
PUBLIC VERSION of Exhibits 9, 13, 24, 25, 35, 36, 37, 38 and 39 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
|
|
|
|
|
|
258 |
Filed: 12/29/2022, Entered: None |
Public Version |
|
Public Version of Exhibits A through RR to the Unsworn Transmittal Declaration of David M. Sborz, along with Certificate of Service
|
|
|
|
|
|
257 |
Filed: 12/22/2022, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick in response to Director Defendants’ Opposition to Plaintiff’s Motion to Conform Pleadings to Evidence
|
|
Request |
|
|
|
256 |
Filed: 12/21/2022, Entered: None |
Motion |
|
Defendants' Motion for Continued Confidential Treatment (with Certificate of Service)
- Attachment 1 [Proposed] Order Authorizing Continued Confidential Treatment
- Attachment 2 Exhibits 1 - 4 to Defendants' Motion for Continued Confidential Treatment
- Attachment 3 Letter to The Honorable Kathaleen St. Jude McCormick from Benjamin Z. Grossberg enclosing two courtesy copies of Defendants' Motion for Continued Confidential Treatment
|
|
|
|
|
|
255 |
Filed: 12/20/2022, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants’ Opposition to Plaintiff’s Motion to Conform Pleadings to Evidence
|
|
Request |
|
|
|
254 |
Filed: 12/19/2022, Entered: None |
Opposition |
|
Director Defendants’ Opposition to Plaintiff’s Motion to Conform Pleadings to Evidence (with Certificate of Service)
- Attachment 1 Exhibits 1-7 to Director Defendants’ Opposition to Plaintiff’s Motion to Conform Pleadings to Evidence
|
|
|
|
|
|
253 |
Filed: 12/8/2022, Entered: None |
Motion |
|
Plaintiff's Motion to Conform Pleadings to Evidence, with Certificate of Service
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Conform Pleadings to Evidence
- Attachment 2 Exhibit A to Plaintiff's Motion to Conform Pleadings to Evidence
- Attachment 3 Letter from Glenn R. McGillivray, Esq. to The Honorable Kathaleen St. J. McCormick enclosing courtesy copies of Plaintiff's Motion to Conform Pleadings to Evidence
|
|
|
|
|
|
252 |
Filed: 11/30/2022, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Scheduling Order Regarding Post-Trial Briefing and Argument)
|
|
Request |
|
|
|
251 |
Filed: 11/29/2022, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Scheduling Order Regarding Post-Trial Briefing and Argument
|
|
|
|
|
|
250 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.7.22 Pretrial Conference
|
|
Request |
|
|
|
245 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.14.22 Trial - Volume I
|
|
|
|
|
|
246 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.15.22 Trial - Volume II
|
|
|
|
|
|
247 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.16.22 Transcript - Volume III
|
|
|
|
|
|
248 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.17.22 Trial - Volume IV
|
|
|
|
|
|
249 |
Filed: 11/28/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11.18.22 Trial - Volume V
|
|
|
|
|
|
244 |
Filed: 11/21/2022, Entered: None |
Judicial Action Form |
|
Trial before Chancellor McCormick on 11.14.2022-11.18.2022.
|
|
Request |
|
|
|
243 |
Filed: 11/14/2022, Entered: None |
Order |
|
Granted ([CONFIDENTIAL FILING] Stipulation and [Proposed] Pre-Trial Order)
|
|
|
|
|
|
242 |
Filed: 11/14/2022, Entered: None |
Order Pro Hac Vice |
|
Granted (Sanborn-Lowing, Margaret: [Proposed] Order Granting Admission Pro Hac Vice as Counsel to Plaintiff Richard J. Tornetta)
|
|
Request |
|
|
|
241 |
Filed: 11/13/2022, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Margaret Sanborn-Lowing of Bernstein Litowitz Berger & Grossmann LLP as Counsel to Plaintiff Richard J. Tornetta, with certificate of service
- Attachment 1 Certification for Admission Pro Hac Vice of Margaret Sanborn-Lowing as Counsel to Plaintiff Richard J. Tornetta
- Attachment 2 Sanborn-Lowing, Margaret: [Proposed] Order Granting Admission Pro Hac Vice as Counsel to Plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
240 |
Filed: 11/10/2022, Entered: None |
Letter |
|
Letter providing public access lines.
|
|
Request |
|
|
|
239 |
Filed: 11/10/2022, Entered: None |
Letter |
|
Letter to counsel concerning video feed and real-time feed.
|
|
Request |
|
|
|
238 |
Filed: 11/10/2022, Entered: None |
Judicial Action Form |
|
Pre-Trial Conference held 11.7.2022.
|
|
Request |
|
|
|
237 |
Filed: 11/10/2022, Entered: None |
Order |
|
Order Establishing Trial Protocols
|
|
Request |
|
|
|
236 |
Filed: 11/9/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Defendants' Motion for Enlargement of Time)
|
|
Request |
|
|
|
235 |
Filed: 11/7/2022, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick regarding list of live trial witnesses
|
|
Request |
|
|
|
234 |
Filed: 11/7/2022, Entered: None |
Motion |
|
Defendants' Motion for Enlargement of Time (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Defendants' Motion for Enlargement of Time
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Defendants' Motion for Enlargement of Time
|
|
Request |
|
|
|
233 |
Filed: 11/7/2022, Entered: None |
Order |
|
Granted (Proposed Form of Order Granting Motion to Withdraw)
|
|
Request |
|
|
|
232 |
Filed: 11/4/2022, Entered: None |
Motion |
|
Motion by Julia Bettina Klein and Klein LLC Pursuant to Chancery Rule 5(aa) for Leave to Withdraw as Counsel of Record for Aaron Greenspan (with Certificate of Service)
- Attachment 1 Proposed Form of Order Granting Motion to Withdraw
|
|
|
|
|
|
230 |
Filed: 11/3/2022, Entered: None |
Notice of Challenge (5.1) |
|
Letter E-Mail from Aaron Greenspan dated October 26, 2022 re: Rule 5.1(f) Challenge : Case No. 2018-0408-KSJM, Richard J. Tornetta v. Elon Musk
|
|
|
|
|
|
231 |
Filed: 11/3/2022, Entered: None |
Letter |
|
Response of Register in Chancery to Aaron Greenspan dated November 3, 2022 re: his Rule 5.1(f) challenge and the procedures of the Court
|
|
|
|
|
|
229 |
Filed: 11/1/2022, Entered: None |
Public Version |
|
Public Version of Plaintiff's Pre-Trial Brief (as filed on Oct. 26, 2022), with Certificate of Service
|
|
|
|
|
|
228 |
Filed: 10/26/2022, Entered: None |
Pretrial Brief |
|
Plaintiff's Pre-Trial Brief [FILED UNDER SEAL]
- Attachment 1 Exhibits A - C to Plaintiff's Pre-Trial Brief [FILED UNDER SEAL]
- Attachment 2 Certificate of Service of Plaintiff's Pre-Trial Brief
- Attachment 3 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick regarding Plaintiff's Pre-Trial Brief
- Attachment 4 Exhibit A to Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick enclosing courtesy copies of Plaintiff's Pre-Trial Brief
|
|
|
|
|
|
227 |
Filed: 10/25/2022, Entered: None |
Pretrial Brief |
|
Director Defendants’ Pretrial Brief
- Attachment 1 Certificate of Service of Director Defendants’ Pretrial Brief
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing courtesy copies of Director Defendants’ Pretrial Brief
|
|
|
|
|
|
226 |
Filed: 10/25/2022, Entered: None |
Pretrial Brief |
|
Plaintiff's Pre-Trial Brief [FILED UNDER SEAL]
- Attachment 1 Certificate of Service of Plaintiff's Pre-Trial Brief
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Kathaleen S. McCormick enclosing courtesy copies of Plaintiff's Pre-Trial Brief
|
|
|
|
|
|
225 |
Filed: 10/24/2022, Entered: None |
Public Version |
|
Public Version of Stipulation and [Proposed] Pre-Trial Order (with Certificate of Service)
|
|
Request |
|
|
|
224 |
Filed: 10/19/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Plaintiff’s Unopposed Motion to Extend Pre-Trial Brief Word Limit)
|
|
Request |
|
|
|
223 |
Filed: 10/19/2022, Entered: None |
Motion |
|
Plaintiff’s Unopposed Motion to Extend Pre-Trial Brief Word Limit (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Plaintiff’s Unopposed Motion to Extend Pre-Trial Brief Word Limit
|
|
Request |
|
|
|
222 |
Filed: 10/18/2022, Entered: None |
Letter |
|
Letter to counsel.
|
|
Request |
|
|
|
221 |
Filed: 10/17/2022, Entered: None |
Stipulation & (Proposed) Order |
|
[CONFIDENTIAL FILING] Stipulation and [Proposed] Pre-Trial Order
- Attachment 1 Exhibit A to Stipulation and [Proposed] Pre-Trial Order (Joint Trial Exhibit List)
|
|
|
|
|
|
220 |
Filed: 8/12/2022, Entered: None |
Order |
|
Granted (Fourth Amended Stipulation and [Proposed] Order Governing Case Schedule)
|
|
|
|
|
|
219 |
Filed: 8/12/2022, Entered: None |
Stipulation & (Proposed) Order |
|
Fourth Amended Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
218 |
Filed: 7/27/2022, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for the Substitution of Counsel for Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
217 |
Filed: 7/27/2022, Entered: None |
Stip. & (Proposed) Order -Substitution of Counsel |
|
Stipulation and [Proposed] Order for the Substitution of Counsel for Nominal Defendant Tesla, Inc.
- Attachment 1 Certificate of Service of Stipulation and [Proposed] Order for the Substitution of Counsel for Nominal Defendant Tesla, Inc.
|
|
|
|
|
|
216 |
Filed: 7/25/2022, Entered: None |
Affidavit |
|
Affidavit of Service of Plaintiff's Subpoenas Ad Testificandum directed to Kimbal Musk, Deepak Ahuja, Todd Maron, and Tom Brown
- Attachment 1 Plaintiff's Subpoena Ad Testificandum directed to Kimbal Musk
- Attachment 2 Plaintiff's Subpoena Ad Testificandum directed to Deepak Ahuja
- Attachment 3 Plaintiff's Rule 5.1 Compliance Letter
- Attachment 4 Exhibits 12-24 to the Transmittal Affidavit of Garrett B. Moritz in Connection with Defendants' Opening Brief in Support of their Motion to Dismiss the Complaint
- Attachment 5 [Proposed] Order Granting Defendants' Motion to Dismiss the Complaint
|
|
|
|
|
|
215 |
Filed: 6/10/2022, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Deposition of Defendants' Expert Witness Paul A. Gompers on July 28, 2022 at 9am ET (with Certificate of Service)
|
|
Request |
|
|
|
214 |
Filed: 5/23/2022, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) the Sur-Reply Expert Report of Paul A. Gompers and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
213 |
Filed: 4/26/2022, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Jackson E. Warren of Andrews & Springer LLC on behalf of Plaintiff Richard J. Tornetta (with Certificate of Service)
|
|
Request |
|
|
|
212 |
Filed: 4/1/2022, Entered: None |
Order |
|
Granted (Third Amended Stipulation and [Proposed] Order Governing Case Schedule)
|
|
|
|
|
|
211 |
Filed: 4/1/2022, Entered: None |
Stipulation & (Proposed) Order |
|
Third Amended Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
210 |
Filed: 3/9/2022, Entered: None |
Public Version |
|
[Public] Redacted Version of the Verified Amended Derivative Complaint, with certificate of service
|
|
|
|
|
|
209 |
Filed: 3/2/2022, Entered: None |
Amended Complaint |
|
Verified Amended Derivative Complaint [FILED UNDER SEAL]
- Attachment 1 Unsworn Declaration and Verification of Richard J. Tornetta pursuant to 10 Del. C. Sec. 3927 in Support of Verified Amended Derivative Complaint
- Attachment 2 REDLINE to Verified Amended Derivative Complaint [FILED UNDER SEAL]
- Attachment 3 Certificate of Service of Verified Amended Derivative Complaint
- Attachment 4 Letter from Glenn R. McGillivray, Esq. to The Honorable Kathaleen S. McCormick enclosing courtesy copies of Verified Amended Derivative Complaint
|
|
|
|
|
|
208 |
Filed: 3/1/2022, Entered: None |
Notice |
|
Notice of Change of Address of Ross Aronstam & Moritz LLP, effective March 1, 2022 (with Certificate of Service)
|
|
Request |
|
|
|
207 |
Filed: 2/24/2022, Entered: None |
Letter |
|
Letter to counsel from Chancellor McCormick.
|
|
|
|
|
|
206 |
Filed: 2/17/2022, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 2-7-2022 Telephonic Scheduling Conference
|
|
|
|
|
|
205 |
Filed: 2/7/2022, Entered: None |
Judicial Action Form |
|
2.7.2022 - Tele-conference on Scheduling was held. Counsel to secure dates for argument on the motion for summary judgment and for trial. See transcript.
|
|
|
|
|
|
204 |
Filed: 2/3/2022, Entered: None |
Public Version |
|
Revised Public version of Plaintiff’s Motion to Compel the Production of Documents, with certificate of service
|
|
|
|
|
|
203 |
Filed: 2/1/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Authorizing Continued Confidential Treatment)
|
|
|
|
|
|
202 |
Filed: 1/31/2022, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Kathaleen St. Jude McCormick enclosing [Proposed] Order Authorizing Continued Confidential Treatment
- Attachment 1 [Proposed] Order Authorizing Continued Confidential Treatment
|
|
|
|
|
|
201 |
Filed: 1/14/2022, Entered: None |
Minute Order |
|
The court will conduct a telephonic scheduling conference on Monday, February 7, 2022, at 11:00 a.m.
|
|
Request |
|
|
|
200 |
Filed: 1/14/2022, Entered: None |
Letter Decision |
|
Letter Opinion issued by Vice Chancellor Slights on January 14, 2022, on (1) Notice of Challenge by Aaron Greenspan to Confidential Treatment, and (2) Defendants' Motion for Continued Confidential Treatment
|
|
|
|
|
|
199 |
Filed: 1/12/2022, Entered: None |
Letter |
|
Reassignment Letter
|
|
|
|
|
|
198 |
Filed: 1/3/2022, Entered: None |
Public Version |
|
Public Inspection Version of Plaintiff's Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants' Motion for Partial Summary Judgment
- Attachment 1 Certificate of Service for Public Inspection Version of Plaintiff's Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants' Motion for Partial Summary Judgment
|
|
|
|
|
|
197 |
Filed: 1/3/2022, Entered: None |
Public Version |
|
Public version of Plaintiff’s Reply in Support of His Motion For Leave to File a Verified Amended Derivative Complaint, with certificate of service
|
|
|
|
|
|
196 |
Filed: 12/27/2021, Entered: None |
Letter |
|
Letter dated December 27, 2021, from VC Slights to counsel changing the oral argument scheduled for January 6, 2022, at 9:15 a.m. from an in-court proceeding to a Zoom proceeding
|
|
|
|
|
|
195 |
Filed: 12/23/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) the Defendants’ Identification of Trial Witnesses, and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
194 |
Filed: 12/23/2021, Entered: None |
Reply Brief |
|
[CONFIDENTIAL FILING] Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment
- Attachment 1 Unsworn Transmittal Declaration of David M. Sborz Pursuant to 10 Del. C. § 3927 in Support of Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment
- Attachment 2 Certificate of Service to (i) Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment; and (ii) Unsworn Transmittal Declaration of David M. Sborz Pursuant to 10 Del. C. § 3927 in Support of Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment
- Attachment 3 Letter to The Honorable Joseph R. Slights III from David M. Sborz enclosing courtesy copies of (i) Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment; and (ii) Unsworn Transmittal Declaration of David M. Sborz Pursuant to 10 Del. C. § 3927 in Support of Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial S
- Attachment 4 [CONFIDENTIAL FILING] Exhibits 25-32 to Unsworn Transmittal Declaration of David M. Sborz Pursuant to 10 Del. C. § 3927 in Support of Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment
- Attachment 5 Exhibit 33 to Unsworn Transmittal Declaration of David M. Sborz Pursuant to 10 Del. C. § 3927 in Support of Plaintiff’s Brief in Further Support of His Motion for Summary Judgment and in Opposition to the Director Defendants’ Motion for Partial Summary Judgment
|
|
|
|
|
|
193 |
Filed: 12/23/2021, Entered: None |
Reply |
|
Plaintiff’s Reply in Support of His Motion for Leave to File a Verified Amended Derivative Complaint, with certificate of service [FILED UNDER SEAL]
- Attachment 1 Letter from Glenn R. McGillivray, Esq. to The Honorable Joseph R. Slights III enclosing courtesy copies of Plaintiff’s Reply in Support of His Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 2 Exhibits C - O to Plaintiff’s Reply in Support of His Motion for Leave to File a Verified Amended Derivative Complaint [FILED UNDER SEAL]
|
|
|
|
|
|
192 |
Filed: 12/21/2021, Entered: None |
Entry of Appearance |
|
Notice of Entry of Appearance of Glenn R. McGillivray, Esq. of Bernstein Litowitz Berger & Grossmann LLP as counsel on behalf of Plaintiff Richard J. Tornetta, with certificate of service
|
|
Request |
|
|
|
191 |
Filed: 12/14/2021, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Andrew J. Peach of Andrews & Springer LLC on behalf of plaintiff Richard J. Tornetta (with Certificate of Service)
|
|
Request |
|
|
|
190 |
Filed: 11/29/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment (with Certificate of Service)
|
|
|
|
|
|
189 |
Filed: 11/29/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint (with Certificate of Service)
|
|
|
|
|
|
188 |
Filed: 11/19/2021, Entered: None |
Motion for Summary Judgment |
|
The Director Defendants’ Motion For Partial Summary Judgment (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting the Director Defendants’ Motion For Partial Summary Judgment
|
|
|
|
|
|
187 |
Filed: 11/19/2021, Entered: None |
Letter |
|
Letter from Julia B. Klein (DE 5198) to the Honorable Joseph R. Slights III Regarding Defendants' Motion for Confidential Treatment
|
|
Request |
|
|
|
186 |
Filed: 11/18/2021, Entered: None |
Exhibit(s) |
|
Exhibits 24-25 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 1 Exhibits 26-34 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 2 Exhibits 35-39 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 3 Exhibits 40-61 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 4 Certificate of Service of (i) Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment and (ii) Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
|
|
|
|
|
|
185 |
Filed: 11/18/2021, Entered: None |
Opposition |
|
Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 1 Appendix A to Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 2 Exhibit A to Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 3 Certificate of Service to Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 4 Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing courtesy copies of Defendants' Opposition to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
|
|
|
|
|
|
184 |
Filed: 11/18/2021, Entered: None |
Answering Brief |
|
Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 1 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 2 Exhibits 1-5 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 3 Exhibits 6-7 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 4 Exhibit 8 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 5 Exhibit 9 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 6 Exhibits 10-12 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 7 Exhibit 13 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment [CONFIDENTIAL FILING]
- Attachment 8 Exhibits 14-23 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 9 Certificate of Service of (i) Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment and (ii) Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
- Attachment 10 Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing courtesy copies of Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
|
|
|
|
|
|
183 |
Filed: 11/16/2021, Entered: None |
Order |
|
Granted with Modifications (Proposed Form of Order Granting Motion for Leave)
|
|
|
|
|
|
180 |
Filed: 11/11/2021, Entered: None |
Public Version |
|
Public Redacted versions of Exhibits 1 - 15, 19 - 22 and 24 to the Unsworn Transmittal Declaration of David M. Sborz in support of Plaintiff's Motion for Summary Judgment
- Attachment 3 Certificate of Service of Public Redacted versions of Exhibits to Plaintiff’s Motion for Leave to File a Verified Amended Derivative Complaint, and to the Unsworn Transmittal Declaration of David M. Sborz in support of Plaintiff's Motion for Summary Judgment
|
|
|
|
|
|
181 |
Filed: 11/11/2021, Entered: None |
Public Version |
|
Public Redacted version of Exhibit A to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
|
|
|
|
|
|
182 |
Filed: 11/11/2021, Entered: None |
Public Version |
|
Public Redacted version of Exhibit B to Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 1 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Director Defendants’ Brief in Opposition to Plaintiff’s Motion for Summary Judgment and in Support of Director Defendants’ Motion for Partial Summary Judgment
|
|
|
|
|
|
179 |
Filed: 11/10/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Exhibit 3 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment (with Certificate of Service)
- Attachment 1 PUBLIC VERSION Exhibits 5 - 18 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
- Attachment 2 PUBLIC VERSION Exhibits 20 - 24 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
|
|
|
|
|
|
178 |
Filed: 11/10/2021, Entered: None |
Motion |
|
Aaron Greenspan's Motion for Leave to File Short Letter Response (With Certificate of Service)
- Attachment 1 Proposed Form of Order Granting Motion for Leave
|
|
|
|
|
|
177 |
Filed: 11/8/2021, Entered: None |
Reply |
|
Defendants' Reply in Further Support of Their Motion For Continued Confidential Treatment (with Certificate of Service)
- Attachment 1 Letter to The Honorable Joseph R. Slights III from Benjamin Z. Grossberg enclosing courtesy copies of Defendants' Reply in Further Support of Their Motion For Continued Confidential Treatment, which was filed with the Court today
|
|
|
|
|
|
176 |
Filed: 10/28/2021, Entered: None |
Exhibit(s) |
|
Public Redacted Versions of Exhibits A-N to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents
- Attachment 1 Certificate of Service for Public Redacted Versions of Exhibits A-N to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents
|
|
|
|
|
|
175 |
Filed: 10/27/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Decertification of Class, Dismissal with Prejudice of Direct Claims, and Schedule and Terms For Plaintiff’s Motion For Leave to File Verified Amended Derivative Complaint)
|
|
Request |
|
|
|
174 |
Filed: 10/27/2021, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Joseph R. Slights III attaching form of proposed Amended Complaint to be substituted as Exhibit A to Plaintiff’s pending Motion for Leave to File an Amended Complaint
- Attachment 1 Exhibit A to Plaintiff’s pending Motion for Leave to File an Amended Complaint [FILED UNDER SEAL]
|
|
Request |
|
|
|
173 |
Filed: 10/27/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Decertification of Class, Dismissal with Prejudice of Direct Claims, and Schedule and Terms For Plaintiff’s Motion For Leave to File Verified Amended Derivative Complaint
|
|
|
|
|
|
172 |
Filed: 10/27/2021, Entered: None |
Letter |
|
Letter dated October 27, 2021, from VC Slights to counsel requesting a reply from Defendants concerning their Motion for Continued Confidential Treatment
|
|
|
|
|
|
171 |
Filed: 10/27/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order to Enlarge Time to Comply with Rule 5.1.)
|
|
|
|
|
|
170 |
Filed: 10/27/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order to Enlarge Time to Comply with Rule 5.1.
- Attachment 1 Certificate of Service of Stipulation and [Proposed] Order to Enlarge Time to Comply with Rule 5.1.
|
|
|
|
|
|
169 |
Filed: 10/26/2021, Entered: None |
Letter |
|
Letter from Julia B. Klein (DE 5198) to the Honorable Joseph R. Slights III Advising that the October 25, 2021, Is Withdrawn
|
|
|
|
|
|
| Save 25% on a pre-paid one year subscription. |
|
|
168 |
Filed: 10/25/2021, Entered: None |
Letter |
|
Letter from Julia B. Klein (DE 5198) to the Honorable Joseph R. Slights III Enclosing Proposed Order Unsealing Sealed Filings
- Attachment 1 Enclosure to Letter (Proposed Form of Order)
|
|
|
|
|
|
167 |
Filed: 10/13/2021, Entered: None |
Notice |
|
Notice by Aaron Greenspan, Pursuant to Chancery Court Rule 5.1(f)(1) and (2), of Challenge to Confidential Treatment (with Certificate of Service)
|
|
|
|
|
|
166 |
Filed: 10/8/2021, Entered: None |
Public Version |
|
Public Version of Plaintiff’s Opening Brief in Support of Motion for Summary Judgment (with Certificate of Service)
|
|
|
|
|
|
165 |
Filed: 10/7/2021, Entered: None |
Public Version |
|
Public version of Plaintiff’s Motion for Leave to File a Verified Amended Derivative Complaint, with certificate of service
|
|
|
|
|
|
164 |
Filed: 10/4/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Garrett B. Moritz regarding Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 1 Exhibit 1 to the Letter to The Honorable Joseph R. Slights III from Garrett B. Moritz regarding Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
|
|
Request |
|
|
|
163 |
Filed: 10/1/2021, Entered: None |
Motion for Summary Judgment |
|
Plaintiff's Motion for Summary Judgment
- Attachment 1 [CONFIDENTIAL FILING] Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 2 [Proposed] Order Granting Plaintiff's Motion for Summary Judgment
- Attachment 3 Certificate of Service to (i) Plaintiff's Motion for Summary Judgment; (ii) Plaintiff's Opening Brief in Support of Motion for Summary Judgment; and (iii) Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 4 Letter to The Honorable Joseph R. Slights III from David M. Sborz enclosing courtesy copies of (i) Plaintiff's Motion for Summary Judgment; (ii) Plaintiff's Opening Brief in Support of Motion for Summary Judgment; and (iii) Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 5 Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 6 [CONFIDENTIAL FILING] Exhibits 1-15 to Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 7 Exhibits 16-18 to Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 8 [CONFIDENTIAL FILING] Exhibits 19-22 to Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 9 Exhibit 23 to Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
- Attachment 10 [CONFIDENTIAL FILING] Exhibit 24 to Unsworn Transmittal Declaration of David M. Sborz, Pursuant to 10 Del. C. Sec. 3927 and Court of Chancery Standing Order No. 7, in support of Plaintiff's Opening Brief in Support of Motion for Summary Judgment
|
|
Request |
|
|
|
162 |
Filed: 10/1/2021, Entered: None |
Motion for Summary Judgment |
|
Defendants Kimbal Musk and Steve Jurvetson’s Motion for Summary Judgment (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Defendants Kimbal Musk and Steve Jurvetson’s Motion for Summary Judgment
- Attachment 2 Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of their Motion for Summary Judgment
- Attachment 3 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
- Attachment 4 Exhibits 1 - 2 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
- Attachment 5 Exhibit 3 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment [CONFIDENTIAL FILING]
- Attachment 6 Exhibit 4 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
- Attachment 7 Exhibits 5 - 18 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment [CONFIDENTIAL FILING]
- Attachment 8 Exhibit 19 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment
- Attachment 9 Exhibits 20 - 24 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of the Motion for Summary Judgment [CONFIDENTIAL FILING]
- Attachment 10 Letter to The Honorable Joseph R. Slights III from Garrett B. Moritz enclosing courtesy copies of (i) Defendants Kimbal Musk and Steve Jurvetson’s Motion for Summary Judgment; (ii) Defendants Kimbal Musk and Steve Jurvetson’s Opening Brief in Support of their Motion for Summary Judgment; and (iii) Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg, which were filed with the Court today
|
|
|
|
|
|
161 |
Filed: 9/30/2021, Entered: None |
Motion to File Amended Complaint |
|
Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint, with certificate of service [FILED UNDER SEAL]
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 2 Exhibit A - [Proposed] Verified Amended Derivative Complaint [FILED UNDER SEAL]
- Attachment 3 Exhibit B - REDLINE to [Proposed] Verified Amended Derivative Complaint [FILED UNDER SEAL]
- Attachment 4 Letter from Gregory V. Varallo, Esq. to The Honorable Joseph R. Slights III enclosing courtesy copies of Plaintiff's Motion for Leave to File a Verified Amended Derivative Complaint
- Attachment 5 Unsworn Declaration and Verification of Richard J. Tornetta pursuant to 10 Del. C. Sec. 3927 in support of Verified Amended Derivative Complaint
|
|
|
|
|
|
160 |
Filed: 9/14/2021, Entered: None |
Response |
|
Aaron Greenspan's Response to Defendants' Motion for Continued Confidential Treatment (with Certificate of Service)
|
|
|
|
|
|
159 |
Filed: 9/14/2021, Entered: None |
Order |
|
Granted with Modifications (Proposed Order Granting Motion for Enlargement of Time)
|
|
|
|
|
|
158 |
Filed: 9/14/2021, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III regarding non-opposition to Non-Party Aaron Greenspan's request for an extension of time to file his opposition today, September 14, 2021
|
|
|
|
|
|
157 |
Filed: 9/13/2021, Entered: None |
Response |
|
Defendants' Response to Aaron Greenspan's Motion for Enlargement of Time (with Certificate of Service)
|
|
|
|
|
|
156 |
Filed: 9/13/2021, Entered: None |
Motion |
|
Aaron Greenspan's Motion for Enlargement of Time (with Certificate of Service)
- Attachment 1 Proposed Order Granting Motion for Enlargement of Time
|
|
|
|
|
|
155 |
Filed: 9/10/2021, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III in Response to Letter filed by Counsel for Non-Party Aaron Greenspan regarding Defendants' Motion for Confidential Treatment
|
|
|
|
|
|
154 |
Filed: 9/9/2021, Entered: None |
Letter |
|
Letter from Julia B. Klein (DE 5198) to the Honorable Joseph R. Slights III Regarding Defendants' Motion for Confidential Treatment
|
|
|
|
|
|
153 |
Filed: 8/31/2021, Entered: None |
Motion |
|
Defendants' Motion for Continued Confidential Treatment (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Defendants' Motion for Continued Confidential Treatment
- Attachment 2 Exhibits 1 - 4 to Defendants' Motion for Continued Confidential Treatment
- Attachment 3 Letter to The Honorable Joseph R. Slights III from Garrett B. Moritz enclosing two courtesy copies of Defendants’ Motion for Continued Confidential Treatment
|
|
|
|
|
|
152 |
Filed: 8/17/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Confidential Expert Rebuttal Report of Brian D. Dunn; (ii) Confidential Expert Rebuttal Report of Andrew P. Restaino; (iii) Confidential Expert Rebuttal Report of Brent Goldfarb; and (iv) this Notice and Certificate of Service
|
|
Request |
|
|
|
151 |
Filed: 8/16/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) the Rebuttal Report of Professor Kevin J. Murphy and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
150 |
Filed: 8/6/2021, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Defendants’ Motion for Enlargement of Time)
|
|
|
|
|
|
149 |
Filed: 8/5/2021, Entered: None |
Motion |
|
Defendants’ Motion for Enlargement of Time (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Defendants’ Motion for Enlargement of Time
- Attachment 2 Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing Defendants’ Motion for Enlargement of Time
|
|
|
|
|
|
148 |
Filed: 8/4/2021, Entered: None |
Notice |
|
Plaintiff's Notice of Non-Opposition to Aaron Greenspan's Notice of Challenge to Confidential Treatment (with Certificate of Service)
|
|
|
|
|
|
146 |
Filed: 8/3/2021, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Julia B. Klein of Klein LLC on Behalf of Aaron Greenspan (with Certificate of Service)
|
|
|
|
|
|
147 |
Filed: 8/3/2021, Entered: None |
Notice of Challenge (5.1) |
|
Notice of Challenge by Aaron Greenspan to Confidential Treatment (with Certificate of Service)
|
|
|
|
|
|
145 |
Filed: 7/23/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Plaintiff’s Rebuttal Expert Witness Disclosure; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
144 |
Filed: 7/23/2021, Entered: None |
Notice of Service of Other Discovery |
|
Notice and Certificate of Service of (i) the Individual Defendants' Rebuttal Expert Designations and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
143 |
Filed: 7/6/2021, Entered: None |
Letter |
|
Letter dated July 6, 2021, from VC Slights to counsel rescheduling oral argument on the parties' motions for summary judgment from January 13, 2022 to January 6, 2022, at 9:15 a.m., in Wilmington
|
|
Request |
|
|
|
142 |
Filed: 6/24/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) the Report of Professor Kevin J. Murphy; (ii) the Expert Report of Jonathan F. Foster; (iii) the Expert Report of Paul A. Gompers; and (iv) this Notice and Certificate of Service
|
|
Request |
|
|
|
141 |
Filed: 6/24/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Opening Expert Report of Brian D. Dunn; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
140 |
Filed: 6/21/2021, Entered: None |
Notice of Lodging |
|
Plaintiff's Second Notice of Lodging of Deposition Transcripts (with Certificate of Service)
- Attachment 1 [CONFIDENTIAL FILING] Exhibits A-J to Plaintiff's Second Notice of Lodging of Deposition Transcripts
|
|
Request |
|
|
|
139 |
Filed: 6/7/2021, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of (i) Individual Defendants’ Expert Designations and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
138 |
Filed: 5/26/2021, Entered: None |
Notice |
|
Notice of Change of Address of Andrews & Springer LLC, effective June 1, 2021 (with Certificate of Service)
|
|
Request |
|
|
|
137 |
Filed: 5/21/2021, Entered: None |
Notice of Deposition |
|
Defendants’ Amended Notice of Deposition of Plaintiff Richard J. Tornetta on June 8, 2021 at 10:00 a.m. Eastern (with Certificate of Service)
|
|
Request |
|
|
|
136 |
Filed: 5/19/2021, Entered: None |
Notice of Deposition |
|
Plaintiff's Amended Notice of Deposition of Defendant Ira Ehrenpreis on May 26, 2021 at 1pm Eastern (with Certificate of Service)
|
|
Request |
|
|
|
135 |
Filed: 5/18/2021, Entered: None |
Notice of Lodging |
|
Plaintiff's Notice of Lodging of Deposition Transcripts (with Certificate of Service)
- Attachment 1 [CONFIDENTIAL FILING] Exhibits A-K to Plaintiff's Notice of Lodging of Deposition Transcripts
|
|
Request |
|
|
|
134 |
Filed: 5/17/2021, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Responses and Objections to Plaintiff’s Fifth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Defendants’ and Nominal Defendant Tesla Inc.’s Responses and Objections to Plaintiff’s Fourth Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
133 |
Filed: 5/12/2021, Entered: None |
Notice of Service |
|
Plaintiff's Notice of Service of Subpoena Duces Tecum Directed to Morgan Stanley & Co. LLC, with certificate of service
- Attachment 1 Subpoena Duces Tecum Directed to Morgan Stanley & Co. LLC, with affidavit of service
- Attachment 2 Rule 45 and Schedule A to Subpoena Duces Tecum Directed to Morgan Stanley & Co. LLC
|
|
Request |
|
|
|
132 |
Filed: 5/11/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Carleton, Jackie L.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
131 |
Filed: 5/11/2021, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Plaintiff's Motion to Compel the Production of Documents)
|
|
Request |
|
|
|
130 |
Filed: 5/11/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
|
5-3-2021 Telephonic Oral Argument Re Plaintiff's Motion To Compel And The Court's Ruling
|
|
Request |
|
|
|
129 |
Filed: 5/10/2021, Entered: None |
Motion for Pro Hac Vice |
|
Carleton, Jackie L.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Jackie L. Carleton on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 2 Carleton, Jackie L.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
|
|
Request |
|
|
|
128 |
Filed: 5/10/2021, Entered: None |
Letter |
|
Letter from Gregory V. Varallo, Esq. to The Honorable Joseph R. Slights III attaching [Proposed] Order Granting Plaintiff's Motion to Compel the Production of Documents
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Compel the Production of Documents
|
|
Request |
|
|
|
127 |
Filed: 5/7/2021, Entered: None |
Notice of Service |
|
Plaintiff's Notice of Service of Subpoena Duces Tecum Directed to Goldman Sachs & Co. LLC, with certificate of service
- Attachment 1 Verification of Richard J. Tornetta to Verified Stockholder Class Action and Derivative Complaint
- Attachment 2 Supplemental Information Sheet and Statement of Good Cause
|
|
Request |
|
|
|
126 |
Filed: 5/6/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Friedman, Jeremy S.: [Proposed] Order Granting Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta)
|
|
Request |
|
|
|
125 |
Filed: 5/5/2021, Entered: None |
Public Version |
|
Public [redacted] version of Plaintiff's Reply in Support of His Motion to Compel the Production of Documents
|
|
|
|
|
|
124 |
Filed: 5/5/2021, Entered: None |
Motion for Pro Hac Vice |
|
Friedman, Jeremy S.: Motion for Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta (with Certificate of Service)
- Attachment 1 Friedman, Jeremy S.: Certification in Support of Motion for Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta
- Attachment 2 Friedman, Jeremy S.: [Proposed] Order Granting Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
123 |
Filed: 5/4/2021, Entered: None |
Notice of Deposition |
|
Defendants’ Notice of Deposition of Plaintiff Richard J. Tornetta on May 19, 2021 (with Certificate of Service)
|
|
Request |
|
|
|
122 |
Filed: 5/4/2021, Entered: None |
Judicial Action Form |
|
Judicial Action Form-Telephonic Oral Argument on Plaintiff's Motion to Compel held 05.03.2021. VC Slights. Jeanne Cahill, Court Reporter. Motion granted in part, denied in part. See Transcript.
|
|
Request |
|
|
|
121 |
Filed: 4/28/2021, Entered: None |
Exhibit(s) |
|
Exhibits A – N to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents [FILED UNDER SEAL]
- Attachment 1 Exhibit O to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents
- Attachment 2 Exhibit P to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents [FILED UNDER SEAL]
- Attachment 3 Certificate of Service of Exhibits A – P to Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents
- Attachment 4 Letter from Gregory V. Varallo, Esq. to The Honorable Joseph R. Slights III enclosing courtesy copies of Plaintiff’s Reply in Support of His Motion to Compel the Production of Documents
|
|
|
|
|
|
120 |
Filed: 4/28/2021, Entered: None |
Reply |
|
Plaintiff's Reply in Support of His Motion to Compel the Production of Documents, with certificate of service [FILED UNDER SEAL]
|
|
|
|
|
|
119 |
Filed: 4/27/2021, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of Nominal Defendant Tesla, Inc.'s Amended Responses and Objections to Interrogatory No. 9 in Plaintiff's Fourth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., with Certificate of Service
|
|
Request |
|
|
|
118 |
Filed: 4/23/2021, Entered: None |
Joinder |
|
Joinder of Nominal Defendant Tesla, Inc. in Opposition to Plaintiff's Motion to Compel the Production of Documents, and Certificate of Service
|
|
Request |
|
|
|
117 |
Filed: 4/23/2021, Entered: None |
Response to Motion to Compel |
|
Defendants’ Response in Opposition to Plaintiff’s Motion to Compel (with Certificate of Service)
- Attachment 1 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants’ Response in Opposition to Plaintiff’s Motion to Compel
- Attachment 2 Exhibits 1-16 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants’ Response in Opposition to Plaintiff’s Motion to Compel [CONFIDENTIAL FILING]
- Attachment 3 Exhibit 17 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants’ Response in Opposition to Plaintiff’s Motion to Compel
- Attachment 4 Exhibits 18-19 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants’ Response in Opposition to Plaintiff’s Motion to Compel [CONFIDENTIAL FILING]
- Attachment 5 Declaration of Ira Ehrenpreis Pursuant to 10 Del. C. § 3927 In Support of Defendants' Opposition to Plaintiff's Motion to Compel
- Attachment 6 Declaration of Jonathan Chang Pursuant to 10 Del. C. § 3927 In Support of Defendants' Opposition to Plaintiff's Motion to Compel
- Attachment 7 Declaration of Todd Maron Pursuant to 10 Del. C. § 3927 In Support of Defendants' Opposition to Plaintiff's Motion to Compel
- Attachment 8 Declaration of Vanessa A. Lavely Pursuant to 10 Del. C. § 3927 In Support of Defendants' Opposition to Plaintiff's Motion to Compel
- Attachment 9 Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing courtesy copies of (i) Defendants’ Response in Opposition to Plaintiff’s Motion to Compel and (ii) Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Benjamin Z. Grossberg in Connection with Defendants’ Response in Opposition to Plaintiff’s Motion to Compel
|
|
Request |
|
|
|
116 |
Filed: 4/19/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) Verification of Elon Musk to Responses and Objections to Plaintiff’s Fourth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., (ii) Verification of Steve Jurveston to Responses and Objections to Plaintiff’s Fourth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
115 |
Filed: 4/16/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Meyer, Daniel E.: [Proposed] Order Granting Admission Pro Hac Vice as Counsel to Plaintiff Richard J. Tornetta)
|
|
Request |
|
|
|
114 |
Filed: 4/16/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Oster, Spencer: [Proposed] Order Granting Pro Hac Vice Admission on behalf of Plaintiff Richard J. Tornetta)
|
|
Request |
|
|
|
113 |
Filed: 4/15/2021, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Daniel E. Meyer as Counsel to Plaintiff Richard J. Tornetta, with certificate of service
- Attachment 1 Certification for Admission Pro Hac Vice of Daniel E. Meyer as Counsel to Plaintiff Richard J. Tornetta
- Attachment 2 Meyer, Daniel E.: [Proposed] Order Granting Admission Pro Hac Vice as Counsel to Plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
112 |
Filed: 4/15/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Plaintiff’s Fifth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Plaintiff’s Fourth Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
111 |
Filed: 4/15/2021, Entered: None |
Motion for Pro Hac Vice |
|
Oster, Spencer: Motion for Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta (with Certificate of Service)
- Attachment 1 Oster, Spencer: Certification in Support of Motion for Admission Pro Hac Vice on behalf of Plaintiff Richard J. Tornetta
- Attachment 2 Oster, Spencer: [Proposed] Order Granting Pro Hac Vice Admission on behalf of Plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
110 |
Filed: 4/14/2021, Entered: None |
Letter |
|
Letter dated April 14, 2021, from VC Slights to counsel scheduling a telephonic argument for May 3, 2021, at 3:00 p.m. concerning Plaintiff's Motion to Compel the Production of Documents
|
|
Request |
|
|
|
109 |
Filed: 4/12/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Schedule on Plaintiff's Motion to Compel)
|
|
Request |
|
|
|
108 |
Filed: 4/12/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Schedule on Plaintiff's Motion to Compel
|
|
Request |
|
|
|
107 |
Filed: 4/10/2021, Entered: None |
Public Version |
|
Public [redacted] version of Plaintiff’s Motion to Compel the Production of Documents, with certificate of service
|
|
|
|
|
|
106 |
Filed: 4/7/2021, Entered: None |
Notice of Deposition |
|
Plaintiff's Amended Notice of Depositions of Linda Johnson Rice, Kenneth Moore, Jonathan Chang, Gabrielle Toledano, Ira Ehrenpreis, and Elon Musk (with Certificate of Service)
|
|
|
|
|
|
105 |
Filed: 4/2/2021, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Responses and Objections to Plaintiff’s Fourth Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Defendants’ and Nominal Defendant Tesla Inc.’s Responses and Objections to Plaintiff’s Requests for Admission Directed to Defendants and Nominal Defendant Tesla; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
104 |
Filed: 4/2/2021, Entered: None |
Motion to Compel |
|
Plaintiff's Motion to Compel the Production of Documents, with certificate of service [FILED UNDER SEAL]
- Attachment 1 Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents
- Attachment 2 Letter from Gregory V. Varallo, Esq. to The Honorable Joseph R. Slights III enclosing courtesy copies of Plaintiff's Motion to Compel the Production of Documents
- Attachment 3 [Proposed] Order Granting Plaintiff's Motion to Compel the Production of Documents
- Attachment 4 Exhibit A to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents [FILED UNDER SEAL]
- Attachment 5 Exhibit B to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents
- Attachment 6 Exhibits C - E to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents [FILED UNDER SEAL]
- Attachment 7 Exhibits F - G to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents
- Attachment 8 Exhibits H - Z to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents [FILED UNDER SEAL]
- Attachment 9 Exhibits AA- RR to Unsworn Transmittal Declaration of David M. Sborz pursuant to 10 Del. C. Sec. 3927 in Support of Plaintiff's Motion to Compel the Production of Documents [FILED UNDER SEAL]
|
|
|
|
|
|
103 |
Filed: 3/31/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (van Kwawegen, Jeroen: [Proposed] Order Granting Admission Pro Hac Vice as counsel on behalf of Plaintiff Richard J. Tornetta)
|
|
Request |
|
|
|
102 |
Filed: 3/30/2021, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Jeroen van Kwawegen of Bernstein Litowitz Berger & Grossmann LLP as counsel on behalf of Plaintiff Richard J. Tornetta, with certificate of service
- Attachment 1 Certification for Admission Pro Hac Vice of Jeroen van Kwawegen of Bernstein Litowitz Berger & Grossmann LLP as counsel on behalf of Plaintiff Richard J. Tornetta
- Attachment 2 van Kwawegen, Jeroen: [Proposed] Order Granting Admission Pro Hac Vice as counsel on behalf of Plaintiff Richard J. Tornetta
|
|
Request |
|
|
|
101 |
Filed: 3/16/2021, Entered: None |
Notice of Deposition |
|
Plaintiff's Amended Notice of Depositions of Martin Viecha, James Murdoch, Deepak Ahuja, Robyn Denholm, Linda Johnson Rice, Brad Buss, Phuong Phillips, Kimbal Musk, Antonio Gracias, Jon Burg, Kenneth Moore, Todd Maron, Ira Ehrenpreis, and Tom Brown (with Certificate of Service)
|
|
Request |
|
|
|
100 |
Filed: 3/4/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Remote Depositions)
|
|
Request |
|
|
|
99 |
Filed: 3/3/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Remote Depositions
|
|
Request |
|
|
|
98 |
Filed: 2/24/2021, Entered: None |
Notice of Service of Other Discovery |
|
Notice and Certificate of Service to (i) Plaintiff’s First Requests for Admission Directed to Defendants and Nominal Defendant Tesla, Inc.; (ii) Plaintiff’s Fourth Set of Interrogatories Directed to Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
97 |
Filed: 2/24/2021, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Gregory V. Varallo of Bernstein Litowitz Berger & Grossmann LLP as counsel on behalf of Plaintiff Richard J. Tornetta, with certificate of service
|
|
Request |
|
|
|
96 |
Filed: 1/26/2021, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) Verification of Elon Musk to Responses and Objections to Plaintiff’s Third Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., (ii) Verification of Steve Jurveston to Responses and Objections to Plaintiff’s Third Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
95 |
Filed: 1/25/2021, Entered: None |
Notice of Service of Other Discovery |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Responses and Objections to Plaintiff’s Third Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Defendants’ and Nominal Defendant Tesla Inc.’s Responses and Objections to Plaintiff’s Third Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
94 |
Filed: 1/25/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for Class Certification)
|
|
Request |
|
|
|
93 |
Filed: 1/25/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order for Class Certification
|
|
Request |
|
|
|
92 |
Filed: 1/21/2021, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Depositions of Phuong Phillips, Kimbal Musk, Robyn Denholm, Deepak Ahuja, Kenneth Moore, Brad Buss, Martin Viecha, James Murdoch, Antonio Gracias, Linda Johnson Rice, Ira Ehrenpreis, Jonathan Chang, Gabrielle Toledano, Todd Maron, and Elon Musk (with Certificate of Service)
|
|
Request |
|
|
|
91 |
Filed: 12/4/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service to (i) Plaintiff’s Responses and Objections to the Individual Defendants’ First Set of Interrogatories Directed to Plaintiff Richard J. Tornetta; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
90 |
Filed: 12/1/2020, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Plaintiff’s Third Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Plaintiff’s Third Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
89 |
Filed: 11/11/2020, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service of (i) Individual Defendants’ First Set of Interrogatories Directed to Plaintiff Richard J. Tornetta and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
88 |
Filed: 11/4/2020, Entered: None |
Order |
|
Granted (Second Amended Stipulation and [Proposed] Order Governing Case Schedule)
|
|
|
|
|
|
87 |
Filed: 10/20/2020, Entered: None |
Stipulation & (Proposed) Order |
|
Second Amended Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
86 |
Filed: 8/19/2020, Entered: None |
Order |
|
Granted (Stipulation and Proposed Order Pursuant to Delaware Rule of Evidence 510, on behalf of the parties)
|
|
Request |
|
|
|
85 |
Filed: 8/18/2020, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and Proposed Order Pursuant to Delaware Rule of Evidence 510, on behalf of the parties
- Attachment 1 Exhibit A to the Stipulation and Proposed Order Pursuant to Delaware Rule of Evidence 510, on behalf of the parties
|
|
Request |
|
|
|
84 |
Filed: 8/4/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk’s (i) Individual Amended Responses and Objections to Plaintiff’s First Set of Interrogatories; (ii) Individual Responses and Objections to Plaintiff’s Second Set of Interrogatories; (iii) Verifications Pursuant to 10 Del. C. § 3927; and (iv) this Notice and Certificate of Service
|
|
Request |
|
|
|
83 |
Filed: 8/3/2020, Entered: None |
Notice of Service |
|
Notice of Service to Nominal Defendant Tesla, Inc's (1) Amended Responses and Objections to Plaintiff's First Set of Interrogatories and (2) Responses and Objections to Plaintiff's Second Set of Interrogatories Directed to all Defendants and Nominal Defendant Tesla, Inc., and Certificate of Service
|
|
Request |
|
|
|
82 |
Filed: 7/6/2020, Entered: None |
Subpoena |
|
Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PricewaterhouseCoopers LLP (with Affidavit of Service)
- Attachment 1 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PricewaterhouseCoopers LLP
- Attachment 2 Certificate of Service to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PricewaterhouseCoopers LLP
|
|
Request |
|
|
|
81 |
Filed: 6/22/2020, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Deposition of Tom Brown of Compensia, Inc. on October 23, 2020 at 9:30 a.m. Pacific (with Certificate of Service)
|
|
Request |
|
|
|
79 |
Filed: 6/15/2020, Entered: None |
Subpoena |
|
Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Sard Verbinnen & Co., LLC, with Affidavit of Service
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Sard Verbinnen & Co., LLC
- Attachment 3 Certificate of Service to (i) Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Sard Verbinnen & Co., LLC; and (ii) Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PJT Partners Inc.
- Attachment 4 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PJT Partners Inc.
|
|
Request |
|
|
|
80 |
Filed: 6/15/2020, Entered: None |
Subpoena |
|
Plaintiff's Subpoena Duces Tecum and Ad Testificandum to PJT Partners Inc.
|
|
Request |
|
|
|
78 |
Filed: 6/11/2020, Entered: None |
Subpoena |
|
Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Space Exploration Technologies Corp. (with Affidavit of Service)
- Attachment 1 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Space Exploration Technologies Corp.
- Attachment 2 Certificate of Service to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Space Exploration Technologies Corp.
|
|
Request |
|
|
|
77 |
Filed: 6/5/2020, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Responses and Objections to Plaintiff’s Second Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc. and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
76 |
Filed: 6/2/2020, Entered: None |
Order |
|
Granted (Amended Stipulation and [Proposed] Order Governing Case Schedule)
|
|
Request |
|
|
|
75 |
Filed: 6/1/2020, Entered: None |
Stipulation & (Proposed) Order |
|
Amended Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
74 |
Filed: 4/21/2020, Entered: None |
Notice of Service |
|
Notice and Certificate of Service to (i) Plaintiff's Second Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Plaintiff's Second Request for Production Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
73 |
Filed: 3/9/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Defendant Elon Musk's Responses and Objections to Plaintiff’s First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc. and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
72 |
Filed: 3/2/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Defendants Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk's Individual Responses and Objections to Interrogatory Nos. 2, 3, 4, 8, and 11-39 From Plaintiff’s First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Verifications Pursuant to 10 Del. C. § 3927 to Responses to Interrogatories; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
71 |
Filed: 3/2/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of Tesla, Inc.'s Responses and Objections to Interrogatory Nos. 2, 3, 4, 8, and 11-36 from Plaintiff’s First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc., and Certificate of Service
|
|
Request |
|
|
|
70 |
Filed: 1/31/2020, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Amended Responses and Objections to Interrogatory Nos. 5 and 9 From Plaintiff’s First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; (ii) Verifications Pursuant to 10 Del. C. § 3927 to Responses to Interrogatories; and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
69 |
Filed: 1/31/2020, Entered: None |
Order |
|
Granted (Amended Stipulation and [Proposed] Order Governing Case Schedule)
|
|
Request |
|
|
|
| Save 25% on a pre-paid one year subscription. |
|
|
68 |
Filed: 1/29/2020, Entered: None |
Stipulation & (Proposed) Order |
|
Amended Stipulation and [Proposed] Order Governing Case Schedule
|
|
|
|
|
|
67 |
Filed: 1/23/2020, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Radford Valuation Services (with Certificate of Service)
- Attachment 1 Plaintiff's Delaware and California Subpoenas Duces Tecum and Ad Testificandum to Radford Valuation Services (with Affidavit of Service)
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Radford Valuation Services
|
|
Request |
|
|
|
66 |
Filed: 1/13/2020, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
65 |
Filed: 1/8/2020, Entered: None |
Subpoena |
|
Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Innisfree M&A Incorporated, with Affidavit of Service
- Attachment 1 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Innisfree M&A Incorporated
- Attachment 2 Certificate of Service to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Innisfree M&A Incorporated
|
|
Request |
|
|
|
64 |
Filed: 12/17/2019, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Defendants’ and Nominal Defendant Tesla, Inc.’s Responses and Objections to Interrogatory Nos. 1, 5, 6, 7, 9, 10, 11, 13 and 26 from Plaintiff’s First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
63 |
Filed: 12/16/2019, Entered: None |
Confidentiality Order |
|
Stipulation and Order Governing the Production and Exchange of Confidential and Highly Confidential Information, approved by Vice Chancellor Slights on December 16, 2019
|
|
Request |
|
|
|
62 |
Filed: 12/12/2019, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing The Production and Exchange of Confidential and Highly Confidential Information
- Attachment 1 Exhibit A to Stipulation and [Proposed] Order Governing The Production and Exchange of Confidential and Highly Confidential Information
|
|
Request |
|
|
|
61 |
Filed: 12/10/2019, Entered: None |
Public Version |
|
PUBLIC VERSION of Director Defendants’ Answer to the Verified Stockholder Class Action and Derivative Complaint (with Certificate of Service)
|
|
|
|
|
|
60 |
Filed: 12/3/2019, Entered: None |
Answer |
|
Answer of Nominal Defendant Tesla, Inc. and Certificate of Service
|
|
Request |
|
|
|
59 |
Filed: 12/3/2019, Entered: None |
Answer |
|
Director Defendants’ Answer to the Verified Stockholder Class Action and Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 1 Certificate of Service to Director Defendants’ Answer to the Verified Stockholder Class Action and Derivative Complaint
|
|
|
|
|
|
58 |
Filed: 11/27/2019, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Expert Discovery)
|
|
Request |
|
|
|
57 |
Filed: 11/27/2019, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Expert Discovery
|
|
Request |
|
|
|
56 |
Filed: 11/20/2019, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Semler Brossy Consulting Group, LLC (with Certificate of Service)
- Attachment 1 Plaintiff's Delaware and California Subpoenas Duces Tecum and Ad Testificandum to Semler Brossy Consulting Group, LLC (with Affidavit of Service)
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Semler Brossy Consulting Group, LLC
|
|
Request |
|
|
|
55 |
Filed: 11/15/2019, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice of Service of Nominal Defendant’s Responses and Objections to Plaintiff’s First Request for Production of Documents Directed to All Defendants and Nominal Defendant Tesla, Inc., and Certificate of Service
|
|
Request |
|
|
|
50 |
Filed: 11/12/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Chesler, Evan R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
51 |
Filed: 11/12/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Slifkin, Daniel: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
52 |
Filed: 11/12/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Gruenstein, Benjamin: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
53 |
Filed: 11/12/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Lavely, Vanessa A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
54 |
Filed: 11/12/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Ritholtz, Jeffrey A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk)
|
|
Request |
|
|
|
49 |
Filed: 11/12/2019, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Regarding Substitution of Counsel for Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
48 |
Filed: 11/12/2019, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw Wachtell, Lipton, Rosen & Katz as Pro Hac Vice Counsel for Director Defendants and Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
47 |
Filed: 11/12/2019, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Institutional Shareholder Services, Inc. (with Certificate of Service)
- Attachment 1 Delaware and Maryland Subpoenas Duces Tecum and Ad Testificandum to Institutional Shareholder Services, Inc. (with Affidavit of Service)
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Institutional Shareholder Services, Inc.
|
|
Request |
|
|
|
46 |
Filed: 11/11/2019, Entered: None |
Motion |
|
Motion to Withdraw Wachtell, Lipton, Rosen & Katz as Pro Hac Vice Counsel for Director Defendants and Nominal Defendant Tesla, Inc. (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Motion to Withdraw Wachtell, Lipton, Rosen & Katz as Pro Hac Vice Counsel for Director Defendants and Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
45 |
Filed: 11/11/2019, Entered: None |
Stip. & (Proposed) Order -Substitution of Counsel |
|
Stipulation and [Proposed] Order Regarding Substitution of Counsel for Nominal Defendant Tesla, Inc.
- Attachment 1 Certificate of Service of Stipulation and [Proposed] Order for the Substitution of Counsel for Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
44 |
Filed: 11/8/2019, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice and Certificate of Service of (i) Defendants’ Responses and Objections to Plaintiff’s First Request for Production of Documents Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
39 |
Filed: 11/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Chesler, Evan R.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
- Attachment 5 Chesler, Evan R.: Certification in Support of Motion for Admission Pro Hac Vice of Evan R. Chesler on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 6 Chesler, Evan R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 7 Slifkin, Daniel: Certification in Support of Motion for Admission Pro Hac Vice of Daniel Slifkin on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 8 Slifkin, Daniel: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 9 Gruenstein, Benjamin: Certification in Support of Motion for Admission Pro Hac Vice of Benjamin Gruenstein on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 10 Gruenstein, Benjamin: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 11 Lavely, Vanessa A.: Certification in Support of Motion for Admission Pro Hac Vice of Vanessa A. Lavely on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 12 Lavely, Vanessa A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 13 Ritholtz, Jeffrey A.: Certification in Support of Motion for Admission Pro Hac Vice of Jeffrey A. Ritholtz on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
- Attachment 14 Ritholtz, Jeffrey A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk
|
|
Request |
|
|
|
40 |
Filed: 11/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Slifkin, Daniel: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
|
|
Request |
|
|
|
41 |
Filed: 11/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Gruenstein, Benjamin: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
|
|
Request |
|
|
|
42 |
Filed: 11/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Lavely, Vanessa A.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
|
|
Request |
|
|
|
43 |
Filed: 11/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Ritholtz, Jeffrey A.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson and Kimbal Musk (with Certificate of Service)
|
|
Request |
|
|
|
38 |
Filed: 11/4/2019, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Compensia, Inc. (with Certificate of Service)
- Attachment 1 Delaware and California Subpoenas Duces Tecum and Ad Testificandum to Compensia, Inc., with Affidavit of Service
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Compensia, Inc.
|
|
Request |
|
|
|
37 |
Filed: 11/4/2019, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Glass, Lewis & Co. LLC (with Certificate of Service)
- Attachment 1 Plaintiff's New York and Delaware Subpoenas Duces Tecum and Ad Testificandum to Glass, Lewis & Co. LLC, with Affidavit of Service
- Attachment 2 Attachments to Plaintiff's Subpoena Duces Tecum and Ad Testificandum to Glass, Lewis & Co. LLC
|
|
Request |
|
|
|
36 |
Filed: 10/24/2019, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service to (i) Plaintiff's First Set of Interrogatories Directed to All Defendants and Nominal Defendant Tesla, Inc.; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
35 |
Filed: 10/9/2019, Entered: None |
Notice of Service of Request for Production |
|
Notice and Certificate of Service for Plaintiff's First Request for Production of Documents Directed to All Defendants and Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
34 |
Filed: 10/4/2019, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Extending Defendants' Time to File Answer to Plaintiff's Verified Complaint and Permitting Confidential Filing of Answer)
|
|
|
|
|
|
33 |
Filed: 10/3/2019, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Extending Defendants' Time to File Answer to Plaintiff's Verified Complaint and Permitting Confidential Filing of Answer
|
|
|
|
|
|
32 |
Filed: 9/20/2019, Entered: None |
Opinion |
|
Opinion issued by Vice Chancellor Slights on September 20, 2019 on Defendants' Motion to Dismiss the Complaint
|
|
|
|
|
|
31 |
Filed: 6/10/2019, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III in Response to Plaintiff's June 4, 2019 Letter and Further Addressing Plaintiff's Submission at the Oral Argument on Defendants' Motion to Dismiss
|
|
Request |
|
|
|
30 |
Filed: 6/4/2019, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Peter B. Andrews in Response to Defendants' June 3, 2019 Letter
|
|
Request |
|
|
|
29 |
Filed: 6/3/2019, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III Addressing Plaintiff's Submission at the Oral Argument on Defendants' Motion to Dismiss
|
|
Request |
|
|
|
28 |
Filed: 5/20/2019, Entered: None |
Official Transcript (Addl Fees Apply) |
|
5-9-2019 ORAL ARGUMENT RE DEFENDANTS' MOTION TO DISMISS
|
|
|
|
|
|
27 |
Filed: 5/10/2019, Entered: None |
Judicial Action Form |
|
Oral Argument on Defendants' Motion to Dismiss before Vice Chancellor Slights on 5.9.2019. Decision reserved. See transcript.
|
|
Request |
|
|
|
25 |
Filed: 5/8/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Savitt, William: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
26 |
Filed: 5/8/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Yavitz, Noah B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.)
|
|
Request |
|
|
|
23 |
Filed: 5/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Savitt, William: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc. (with Certificate of Service)
- Attachment 2 Savitt, William: Certification in Support of Motion for Admission Pro Hac Vice of William Savitt on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.
- Attachment 3 Savitt, William: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.
- Attachment 4 Yavitz, Noah B.: Certification in Support of Motion for Admission Pro Hac Vice of Noah B. Yavitz on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.
- Attachment 5 Yavitz, Noah B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc.
|
|
Request |
|
|
|
24 |
Filed: 5/7/2019, Entered: None |
Motion for Pro Hac Vice |
|
Yavitz, Noah B.: Motion for Admission Pro Hac Vice on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk and Nominal Defendant Tesla, Inc. (with Certificate of Service)
|
|
Request |
|
|
|
22 |
Filed: 5/6/2019, Entered: None |
Order Pro Hac Vice |
|
Granted (Tejtel, David F.E.: [Proposed] Order Granting Pro Hac Vice Admission on behalf of Plaintiff)
|
|
Request |
|
|
|
21 |
Filed: 4/30/2019, Entered: None |
Motion for Pro Hac Vice |
|
Tejtel, David F.E.: Motion for Admission Pro Hac Vice on behalf of Plaintiff (with Certificate of Service)
- Attachment 1 Tejtel, David F.E.: Certification in Support of Motion for Admission Pro Hac Vice on behalf of Plaintiff
- Attachment 2 Tejtel, David F.E.: [Proposed] Order Granting Pro Hac Vice Admission on behalf of Plaintiff
|
|
Request |
|
|
|
20 |
Filed: 12/21/2018, Entered: None |
Public Version |
|
PUBLIC VERSION Defendants' Reply Brief in Further Support of Their Motion to Dismiss the Complaint (with Certificate of Service)
|
|
Request |
|
|
|
19 |
Filed: 12/18/2018, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Scheduling Order Further Amending Briefing Schedule on Motion to Dismiss)
|
|
Request |
|
|
|
18 |
Filed: 12/17/2018, Entered: None |
Letter |
|
Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing courtesy copies of Defendants' Opening Brief in Further Support of their Motion to Dismiss the Complaint
|
|
Request |
|
|
|
17 |
Filed: 12/14/2018, Entered: None |
Reply Brief |
|
Defendants' Reply Brief in Further Support of Their Motion to Dismiss the Complaint [CONFIDENTIAL FILING]
- Attachment 1 Certificate of Service to Defendants' Reply Brief in Further Support of Their Motion to Dismiss the Complaint
|
|
|
|
|
|
16 |
Filed: 12/13/2018, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Scheduling Order Further Amending Briefing Schedule on Motion to Dismiss
|
|
Request |
|
|
|
15 |
Filed: 11/27/2018, Entered: None |
Letter |
|
Letter dated November 27, 2018 from VC Slights to counsel scheduling oral argument on Defendants' Motion to Dismiss for May 9, 2019, at 9:15 a.m., in Dover
|
|
Request |
|
|
|
14 |
Filed: 11/9/2018, Entered: None |
Public Version |
|
[PUBLIC VERSION] Plaintiff's Answering Brief in Opposition to Defendants' Motion to Dismiss (with Certificate of Service)
|
|
Request |
|
|
|
13 |
Filed: 11/2/2018, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Craig J. Springer enclosing courtesy copies of Plaintiff's Answering Brief in Opposition to Defendants' Motion to Dismiss
|
|
Request |
|
|
|
12 |
Filed: 11/1/2018, Entered: None |
Answering Brief |
|
Plaintiff's Answering Brief in Opposition to Defendants' Motion to Dismiss [CONFIDENTIAL FILING]
- Attachment 1 Certificate of Service to Plaintiff's Answering Brief in Opposition to Defendants' Motion to Dismiss
|
|
|
|
|
|
11 |
Filed: 9/7/2018, Entered: None |
Public Version |
|
PUBLIC VERSION Defendants' Opening Brief in support of their Motion to Dismiss the Complaint (with Certificate of Service)
|
|
Request |
|
|
|
10 |
Filed: 8/30/2018, Entered: None |
Motion to Dismiss |
|
Defendants' Motion to Dismiss the Complaint
- Attachment 1 Defendants' Opening Brief in support of their Motion to Dismiss the Complaint [CONFIDENTIAL FILING]
- Attachment 2 Transmittal Affidavit of Garrett B. Moritz in Connection with Defendants' Opening Brief in Support of their Motion to Dismiss the Complaint
- Attachment 3 Exhibits 1-11 to the Transmittal Affidavit of Garrett B. Moritz in Connection with Defendants' Opening Brief in Support of their Motion to Dismiss the Complaint [CONFIDENTIAL FILING]
- Attachment 4 Exhibits 12-24 to the Transmittal Affidavit of Garrett B. Moritz in Connection with Defendants' Opening Brief in Support of their Motion to Dismiss the Complaint
- Attachment 5 [Proposed] Order Granting Defendants' Motion to Dismiss the Complaint
- Attachment 6 Certificate of Service to (i) Defendants' Motion to Dismiss the Complaint; (ii) [Proposed] Order Granting Defendants' Motion to Dismiss the Complaint; (iii) Defendants' Opening Brief in Support of Their Motion to Dismiss the Complaint; and (iv) Transmittal Affidavit of Garrett B. Moritz
- Attachment 7 Letter from Garrett B. Moritz to The Honorable Joseph R. Slights III enclosing courtesy copies of (i) Defendants' Motion to Dismiss the Complaint; (ii) [Proposed] Order Granting Defendants' Motion to Dismiss the Complaint; (iii) Defendants' Opening Brief in Support of their Motion to Dismiss the Complaint; and (iv) Transmittal Affidavit of Garrett B. Moritz
|
|
Request |
|
|
|
9 |
Filed: 8/29/2018, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Unopposed Motion for Confidential Treatment [Defendant's Opening Brief in Support of their Motion to Dismiss the Verified Stockholder Class Action and Derivative Complaint, along with certain exhibits and supporting papers accompanying the Opening Brief, may be filed as confidential filings and any related Answering and Reply Briefs (along with their exhibits and supporting papers) may also be filed as confidential filings])
|
|
|
|
|
|
8 |
Filed: 8/29/2018, Entered: None |
Motion |
|
Unopposed Motion for Confidential Treatment filed on behalf of Defendants (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Unopposed Motion for Confidential Treatment [Defendant's Opening Brief in Support of their Motion to Dismiss the Verified Stockholder Class Action and Derivative Complaint, along with certain exhibits and supporting papers accompanying the Opening Brief, may be filed as confidential filings and any related Answering and Reply Briefs (along with their exhibits and supporting papers) may also be filed as confidential filings]
|
|
Request |
|
|
|
7 |
Filed: 8/27/2018, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Amended Scheduling Order Governing Defendants' Deadlines to Answer, Move, or Otherwise Respond to the Complaint and Briefing Schedule on Motions to Dismiss)
|
|
Request |
|
|
|
6 |
Filed: 8/24/2018, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Amended Scheduling Order Governing Defendants' Deadlines to Answer, Move, or Otherwise Respond to the Complaint and Briefing Schedule on Motions to Dismiss
|
|
Request |
|
|
|
5 |
Filed: 7/2/2018, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Defendants' Deadlines to Answer, Move, or Otherwise Respond to the Complaint and Briefing Schedule on Motions to Dismiss)
|
|
Request |
|
|
|
3 |
Filed: 6/29/2018, Entered: None |
Entry of Appearance |
|
Entry of Appearance of David E. Ross, Garrett B. Moritz and Benjamin Z. Grossberg of Ross Aronstam & Moritz LLP on behalf of Defendants Elon Musk, Robyn M. Denholm, Antonio J. Gracias, James Murdoch, Linda Johnson Rice, Brad W. Buss, Ira Ehrenpreis, Steve Jurvetson, Kimbal Musk, and Nominal Defendant Tesla, Inc. (with Certificate of Service)
|
|
Request |
|
|
|
4 |
Filed: 6/29/2018, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Defendants' Deadlines to Answer, Move, or Otherwise Respond to the Complaint and Briefing Schedule on Motions to Dismiss
|
|
Request |
|
|
|
2 |
Filed: 6/7/2018, Entered: None |
Public Version |
|
PUBLIC Version of Verified Stockholder Class Action And Derivative Complaint
|
|
|
|
|
|
1 |
Filed: 6/5/2018, Entered: None |
Complaint-class action or derivative>10defs |
|
Verified Stockholder Class Action and Derivative Complaint for Breach of Fiduciary Duties (CONFIDENTIAL FILING)
- Attachment 1 Verification of Richard J. Tornetta to Verified Stockholder Class Action and Derivative Complaint
- Attachment 2 Supplemental Information Sheet and Statement of Good Cause
- Attachment 3 Plaintiff's Rule 5.1 Compliance Letter
|
|
|
|