Since this appears to be a very large docket, we will only show 500 entries at at time.
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531 |
Filed: 1/21/2025, Entered: None |
Order |
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Granted in Part ([Proposed] Order Granting Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients)
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Request |
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530 |
Filed: 1/21/2025, Entered: None |
Memorandum, Opinion |
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Memorandum Opinion Imposing Sanctions for Spoliation
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529 |
Filed: 1/21/2025, Entered: None |
Public Version |
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Public Version of Plaintiffs' Motion to Compel
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528 |
Filed: 1/17/2025, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and [Proposed] Order Concerning Plaintiffs' Motion to Compel
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Request |
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527 |
Filed: 1/15/2025, Entered: None |
Order |
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Granted ([Proposed] Order Granting Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30)
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526 |
Filed: 1/15/2025, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Deposition of Kenneth Chenault
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Request |
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525 |
Filed: 1/14/2025, Entered: None |
Public Version |
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PUBLIC VERSION Defendant Mark Zuckerberg's Opposition to Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
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524 |
Filed: 1/14/2025, Entered: None |
reply |
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(Confidential Filing) Plaintiffs’ Reply in Support of their Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
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523 |
Filed: 1/14/2025, Entered: None |
Public Version |
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Public Version of Defendant Mark Zuckerberg's Opposition to Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance With Ct. Ch. R. 30
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Request |
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522 |
Filed: 1/13/2025, Entered: None |
Letter |
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Letter to the Honorable J. Travis Laster from Samuel L. Closic, Esq. on behalf of co-lead plaintiffs and defendant Jan Koum to follow up from my January 3, 2025 letter concerning defendant Jan Koum’s request for leave to file a motion for summary judgment
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Request |
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521 |
Filed: 1/10/2025, Entered: None |
Minute Order |
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Unless the parties agree to a different schedule, any opposition to the plaintiffs' motion to compel must be filed on or before January 20, 2025. Any reply must be filed within 5 days after the opposition. Absent timely opposition, the motion will be granted.Linked from (1)
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Request |
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520 |
Filed: 1/10/2025, Entered: None |
Motion to Compel |
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(Confidential Filing) Plaintiffs' Motion to Compel
- Attachment 1 (Confidential Filing) Exhibit A-E to Plaintiffs' Motion to Compel
- Attachment 2 [Proposed] Order Granting Plaintiffs' Motion to Compel
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519 |
Filed: 1/9/2025, Entered: None |
Order |
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Granted ([Proposed] Order Granting Defendant Jan Koum's Motion for Withdrawal of Pro Hac Vice Admission of Brandon M. Stoffers, Esquire)
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Request |
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518 |
Filed: 1/9/2025, Entered: None |
Motion |
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Defendant Jan Koum's Motion for Withdrawal of Pro Hac Vice Admission of Brandon M. Stoffers, Esquire
- Attachment 1 [Proposed] Order Granting Defendant Jan Koum's Motion for Withdrawal of Pro Hac Vice Admission of Brandon M. Stoffers, Esquire
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Request |
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516 |
Filed: 1/7/2025, Entered: None |
Notice |
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Notice of Withdrawal of Notice of Deposition of Protiviti Inc.
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Request |
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517 |
Filed: 1/7/2025, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Deposition of Jeff Sanchez
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Request |
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515 |
Filed: 1/7/2025, Entered: None |
Letter |
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Letter to Vice Chancellor Laster from Callan R. Jackson enclosing courtesy copies of Defendant Mark Zuckerberg’s Opposition to Plaintiffs’ Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
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Request |
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514 |
Filed: 1/6/2025, Entered: None |
Opposition |
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Defendant Mark Zuckerberg's Opposition to Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30 [CONFIDENTIAL FILING]
- Attachment 1 Exhibits 1-10 to Defendant Mark Zuckerberg's Opposition to Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30 [CONFIDENTIAL FILING]
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513 |
Filed: 1/6/2025, Entered: None |
Response |
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Meta Platforms, Inc.’s Response to Plaintiffs’ Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30 [CONFIDENTIAL FILING]
- Attachment 1 Exhibits 1 - 2 to Meta Platforms, Inc.’s Response to Plaintiffs’ Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30 [CONFIDENTIAL FILING]
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512 |
Filed: 1/3/2025, Entered: None |
Letter |
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Letter to the Honorable J. Travis Laster from Samuel L. Closic, Esq. on behalf of co-lead plaintiffs and defendant Jan Koum in response to Mr. Koum's December 20, 2024 letter seeking permission to file a motion for summary judgment
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Request |
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511 |
Filed: 12/30/2024, Entered: None |
Public Version |
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Public Version dated December 30, 2024 of the Letter to the Honorable J. Travis Laster from Rebecca L. Butcher on Behalf of Defendant Jan Koum Requesting Leave to Move for Summary Judgment
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510 |
Filed: 12/26/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
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Transcript of 12-9-2024 Oral Argument on Plaintiffs' Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
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509 |
Filed: 12/20/2024, Entered: None |
Letter |
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[CONFIDENTIAL DOCUMENT] Letter to the Honorable J. Travis Laster from Rebecca L. Butcher on Behalf of Defendant Jan Koum Requesting Leave to Move for Summary Judgment
- Attachment 1 Transmittal Affidavit of Rebecca L. Butcher in Support of Letter on Behalf of Defendant Jan Koum Requesting Leave to Move for Summary Judgment
- Attachment 2 [CONFIDENTIAL DOCUMENT] Exhibits A-C to Transmittal Affidavit of Rebecca L. Butcher in Support of Letter on Behalf of Defendant Jan Koum Requesting Leave to Move for Summary Judgment
- Attachment 3 [CONFIDENTIAL DOCUMENT] Exhibits D-E to Transmittal Affidavit of Rebecca L. Butcher in Support of Letter on Behalf of Defendant Jan Koum Requesting Leave to Move for Summary Judgment
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Request |
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508 |
Filed: 12/20/2024, Entered: None |
Order |
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Granted (Stipulation and Proposed Order Concerning Plaintiffs' Motion to Compel Defendant Kenneth Chenault to Appear for a Deposition and Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30, on behalf of Plaintiffs and the Individual Defendants)
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Request |
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507 |
Filed: 12/20/2024, Entered: None |
Order |
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Granted with Modifications (Amended Joint Stipulation and [Proposed] Order Governing Case Schedule)
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Request |
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506 |
Filed: 12/20/2024, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and Proposed Order Concerning Plaintiffs' Motion to Compel Defendant Kenneth Chenault to Appear for a Deposition and Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30, on behalf of Plaintiffs and the Individual Defendants
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Request |
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505 |
Filed: 12/20/2024, Entered: None |
Stipulation & (Proposed) Order |
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Amended Joint Stipulation and [Proposed] Order Governing Case Schedule
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Request |
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504 |
Filed: 12/19/2024, Entered: None |
Notice of Service of Objections to Discovery |
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Notice of Service of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Responses and Objections to Plaintiffs’ Fourth Set of Interrogatories and (ii) Nominal Defendant Meta Platforms, Inc.’s Responses and Objections to Plaintiffs’ First Set of Requests for Admission
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Request |
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503 |
Filed: 12/19/2024, Entered: None |
Public Version |
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Public Version of Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
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502 |
Filed: 12/13/2024, Entered: None |
Order |
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Granted (Amended Stipulation and [Proposed] Order for the Production and Exchange of Confidential and Highly Confidential Information)
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Request |
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501 |
Filed: 12/13/2024, Entered: None |
Notice |
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Notice of Withdrawal of Notice of Deposition of Michael Schroepfer
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Request |
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500 |
Filed: 12/13/2024, Entered: None |
Stipulation & (Proposed) Order |
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Amended Stipulation and [Proposed] Order for the Production and Exchange of Confidential and Highly Confidential Information
- Attachment 1 Exhibit A to Amended Stipulation and [Proposed] Order for the Production and Exchange of Confidential and Highly Confidential Information
- Attachment 2 Letter to The Honorable J. Travis Laster from Stacey A. Greenspan regarding Amended Stipulation and [Proposed] Order for the Production and Exchange of Confidential and Highly Confidential Information
- Attachment 3 Exhibit 1 to Letter to The Honorable J. Travis Laster from Stacey A. Greenspan regarding Amended Stipulation and [Proposed] Order for the Production and Exchange of Confidential and Highly Confidential Information (Redline)
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Request |
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499 |
Filed: 12/12/2024, Entered: None |
Minute Order |
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Unless the parties agree by stipulation to a different schedule, any opposition to the plaintiffs' motion to hold the deposition of Mark Zuckerberg In in accordance with Ct. Ch. R. 30 is due on or before December 23, 2024. Otherwise, the motion will be granted as unopposed.Linked from (2)
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Request |
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498 |
Filed: 12/12/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Amended Notice of Deposition of Protiviti Inc.
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Request |
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497 |
Filed: 12/11/2024, Entered: None |
Motion |
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(Confidential Filing) Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
- Attachment 1 (Confidential Filing) Exhibits 1-2 to Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
- Attachment 2 [Proposed] Order Granting Plaintiffs' Motion to Hold the Deposition of Mark Zuckerberg in Accordance with Ct. Ch. R. 30
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495 |
Filed: 12/11/2024, Entered: None |
Order Pro Hac Vice |
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Granted (Haldin, James W.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
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Request |
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496 |
Filed: 12/11/2024, Entered: None |
Order Pro Hac Vice |
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Granted (Scheinkman, Michael: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
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Request |
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494 |
Filed: 12/11/2024, Entered: None |
Letter |
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Letter to Vice Chancellor Laster from Callan R. Jackson on behalf of the parties enclosing an excerpt from Ms. Sandberg’s deposition transcript
- Attachment 1 Exhibit A to Letter to Vice Chancellor Laster from Callan R. Jackson on behalf of the parties enclosing an excerpt from Ms. Sandberg’s deposition transcript [CONFIDENTIAL FILING]
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Request |
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492 |
Filed: 12/11/2024, Entered: None |
Motion for Pro Hac Vice |
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Haldin, James W.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 2 Certification in Support of Motion for Admission Pro Hac Vice of James W. Haldin on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 3 Haldin, James W.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 4 Certification in Support of Motion for Admission Pro Hac Vice of Michael Scheinkman on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 5 Scheinkman, Michael: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
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Request |
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493 |
Filed: 12/11/2024, Entered: None |
Motion for Pro Hac Vice |
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Scheinkman, Michael: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
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Request |
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491 |
Filed: 12/11/2024, Entered: None |
Notice |
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Notice of Withdrawal of Notice of Deposition of Dropbox, Inc.
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Request |
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490 |
Filed: 12/11/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Amended Notice of Deposition of Protiviti Inc.
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Request |
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489 |
Filed: 12/9/2024, Entered: None |
Judicial Action Form - Non Trial |
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Oral Argument for Motion for Sanctions before Vice Chancellor Laster on 12.9.2024-Taken under advisement. See transcript.
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Request |
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488 |
Filed: 12/9/2024, Entered: None |
Minute Order |
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Unless the parties agree by stipulation to a different schedule, any opposition to the plaintiffs' motion to compel defendant Kenneth Chenault to appear for a deposition is due on or before December 23, 2024. Otherwise, the motion will be granted as unopposed.Linked from (1)
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Request |
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487 |
Filed: 12/6/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
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Notice of Service of Nominal Defendant Meta Platforms, Inc.’s Supplemental Responses and Objections to Plaintiffs’ Second Set of Interrogatories Directed to All Defendants (with Verification)
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Request |
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486 |
Filed: 12/6/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Rule 30(b)(6) Deposition of Nominal Defendant Meta Platforms, Inc.
- Attachment 1 Schedule A to Plaintiffs’ Notice of Rule 30(b)(6) Deposition of Nominal Defendant Meta Platforms, Inc.
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Request |
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485 |
Filed: 12/6/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Depositions of Erin Egan and Kenneth Chenault
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Request |
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484 |
Filed: 12/6/2024, Entered: None |
Motion to Compel |
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Plaintiffs' Motion to Compel Defendant Kenneth Chenault to Appear for a Deposition
- Attachment 1 Exhibit A to Plaintiffs’ Motion to Compel Defendant Kenneth Chenault to Appear for a Deposition
- Attachment 2 [Proposed] Order Granting Plaintiffs’ Motion to Compel Defendant Kenneth Chenault to Appear for a Deposition
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Request |
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483 |
Filed: 12/5/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
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Notice of Service of Individual Defendants' Supplemental Responses and Objections to Plaintiffs' ESI-Related Interrogatories Directed to Defendants Mark Zuckerberg, Sheryl K. Sandberg, Peggy Alford, Marc L. Andreessen, Kenneth I. Chenault, Peter A. Thiel, Jeffrey D. Zients, Erskine B. Bowles, Susan Desmond-Hellmann, Reed Hastings, and Konstantinos Papamiltiadis
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Request |
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482 |
Filed: 12/4/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Deposition of Marc Andreessen
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Request |
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481 |
Filed: 12/3/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Deposition of Dropbox, Inc.
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Request |
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479 |
Filed: 12/3/2024, Entered: None |
Public Version |
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Public Version of Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
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Request |
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480 |
Filed: 12/3/2024, Entered: None |
Public Version |
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Public Version of Transmittal Affidavit of Stacey A. Greenspan in Support of Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
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Request |
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476 |
Filed: 11/27/2024, Entered: None |
Notice of Deposition |
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Individual Defendants' Notice of Deposition of Co-Lead Plaintiff City of Birmingham Retirement and Relief System
- Attachment 3 Schedule A to the Individual Defendants' Notice of Deposition of Co-Lead Plaintiff City of Birmingham Retirement and Relief System
- Attachment 4 Schedule A to the Individual Defendants' Notice of Deposition of Co-Lead Plaintiff Construction and General Building Laborers' Local Union No. 79 General Fund
- Attachment 5 Schedule A to the Individual Defendants' Notice of Deposition of Co-Lead Plaintiff California State Teachers' Retirement System
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Request |
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477 |
Filed: 11/27/2024, Entered: None |
Notice of Deposition |
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Individual Defendants' Notice of Deposition of Co-Lead Plaintiff Construction and General Building Laborers' Local Union No. 79 General Fund
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Request |
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478 |
Filed: 11/27/2024, Entered: None |
Notice of Deposition |
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Individual Defendants' Notice of Deposition of Co-Lead Plaintiff California State Teachers' Retirement System
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Request |
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475 |
Filed: 11/22/2024, Entered: None |
reply |
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(Confidential Filing) Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 1 (Confidential Filing) Transmittal Affidavit of Stacey A. Greenspan in Support of Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 2 Transmittal Affidavit of Maxwell R. Huffman in Support of Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 3 (Confidential Filing) Exhibits 38-51 to Transmittal Affidavit of Stacey A. Greenspan in Support of Plaintiffs’ Reply in Support of their Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
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474 |
Filed: 11/21/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Notice of Deposition of Protiviti Inc.
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Request |
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473 |
Filed: 11/20/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Depositions of Sheryl Sandberg, Edward O’Neil, and Jan Koum
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Request |
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471 |
Filed: 11/20/2024, Entered: None |
Order Pro Hac Vice |
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Granted (Stoffers, Brandon M.: [Proposed] Order Granting Admission Pro Hac Vice)
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Request |
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472 |
Filed: 11/20/2024, Entered: None |
Order Pro Hac Vice |
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Granted (Olsen, Emily D.: [Proposed] Order Granting Admission Pro Hac Vice)
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Request |
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469 |
Filed: 11/20/2024, Entered: None |
Motion for Pro Hac Vice |
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Stoffers, Brandon M.: Motion for Admission Pro Hac Vice to represent Defendant Jan Koum
- Attachment 2 Stoffers, Brandon M.: Certification of Counsel to Motion for Admission Pro Hac Vice
- Attachment 3 Stoffers, Brandon M.: [Proposed] Order Granting Admission Pro Hac Vice
- Attachment 4 Olsen, Emily D.: Certification of Counsel to Motion for Admission Pro Hac Vice
- Attachment 5 Olsen, Emily D.: [Proposed] Order Granting Admission Pro Hac Vice
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Request |
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470 |
Filed: 11/20/2024, Entered: None |
Motion for Pro Hac Vice |
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Olsen, Emily D.: Motion for Admission Pro Hac Vice to represent Defendant Jan Koum
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Request |
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467 |
Filed: 11/18/2024, Entered: None |
Public Version |
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Redacted Public Version of Defendants’ Opposition To Plaintiffs’ Motion For Curative Relief And Sanctions Against Defendants Sheryl Sandberg And Jeffrey Zients
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Request |
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468 |
Filed: 11/18/2024, Entered: None |
Public Version |
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Redacted Public Version of Affidavit of Laura G. Readinger in support of Defendants’ Opposition To Plaintiffs’ Motion For Curative Relief And Sanctions Against Defendants Sheryl Sandberg And Jeffrey Zients
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Request |
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466 |
Filed: 11/18/2024, Entered: None |
Order Pro Hac Vice |
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Granted (Aycock, Amanda M.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
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Request |
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465 |
Filed: 11/15/2024, Entered: None |
Motion for Pro Hac Vice |
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Aycock, Amanda M.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Amanda M. Aycock on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 2 Aycock, Amanda M.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
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Request |
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464 |
Filed: 11/15/2024, Entered: None |
Order Pro Hac Vice |
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Granted (May, Melissa: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Melissa May, Esquire, as Counsel for Plaintiff City of Birmingham Relief and Retirement System)
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Request |
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463 |
Filed: 11/15/2024, Entered: None |
Motion for Pro Hac Vice |
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Motion for Admission Pro Hac Vice of Melissa May, Esquire, as Counsel for Plaintiff City of Birmingham Relief and Retirement System
- Attachment 1 Certification of Melissa May in support of Motion for Admission Pro Hac Vice of Melissa May, Esquire, as Counsel for Plaintiff City of Birmingham Relief and Retirement System
- Attachment 2 May, Melissa: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Melissa May, Esquire, as Counsel for Plaintiff City of Birmingham Relief and Retirement System
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Request |
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462 |
Filed: 11/14/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Depositions of Susan Desmond-Hellmann, Konstantinos Papamiltiadis, And Reed Hastings
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Request |
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460 |
Filed: 11/13/2024, Entered: None |
Notice |
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Notice of Withdrawal of Notice of Deposition of Michel Protti
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Request |
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461 |
Filed: 11/13/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Depositions of Tracey Travis, Colin Stretch, and Konstantinos Papamiltiadis
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Request |
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459 |
Filed: 11/12/2024, Entered: None |
Letter |
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Letter to Vice Chancellor Laster from Callan R. Jackson enclosing courtesy copies of Defendants’ Opposition To Plaintiffs’ Motion For Curative Relief And Sanctions Against Defendants Sheryl Sandberg And Jeffrey Zients and supporting papers
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Request |
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457 |
Filed: 11/8/2024, Entered: None |
Opposition |
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Defendants’ Opposition To Plaintiffs’ Motion For Curative Relief And Sanctions Against Defendants Sheryl Sandberg And Jeffrey Zients [CONFIDENTIAL FILING]
- Attachment 2 Affidavit of Laura G. Readinger in support of Defendants’ Opposition To Plaintiffs’ Motion For Curative Relief And Sanctions Against Defendants Sheryl Sandberg And Jeffrey Zients [CONFIDENTIAL FILING]
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458 |
Filed: 11/8/2024, Entered: None |
Entry of Appearance |
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Entry of Appearance of Laura G. Readinger of Potter Anderson & Corroon LLP as counsel for Defendants Mark Zuckerberg, Sheryl K. Sandberg, Konstantinos Papamiltiadis, Jeffrey D. Zients, Peggy Alford, Kenneth I. Chenault, Peter A. Thiel, Susan D. Desmond-Hellmann, Reed Hastings, Marc L. Andreessen, and Erskine B. Bowles
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Request |
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455 |
Filed: 11/7/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Notice of Deposition of Mark Zuckerberg
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Request |
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456 |
Filed: 11/7/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Deposition of Marc Andreessen
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Request |
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454 |
Filed: 11/7/2024, Entered: None |
Order |
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Granted (Stipulation and [Proposed] Order Governing Briefing on Plaintiffs’ Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients)
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Request |
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453 |
Filed: 11/6/2024, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and [Proposed] Order Governing Briefing on Plaintiffs’ Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
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Request |
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452 |
Filed: 11/6/2024, Entered: None |
Minute Order |
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The plaintiffs filed a motion for sanctions on September 25, 2024. More than 30 days have passed and the defendants have not responded. Why not? The parties must submit a joint letter by November 8 explaining the status of the motion.
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Request |
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451 |
Filed: 11/5/2024, Entered: None |
Notice of Service of Discovery |
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Notice of Service of (1) Plaintiffs' Fourth Set of Interrogatories Directed to Meta Platforms, Inc., (2) Plaintiffs’ First Set of Requests for Admission Directed to Meta Platforms, Inc. and (3) this Notice of Service
|
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Request |
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449 |
Filed: 11/5/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Notice of Deposition of Andrew Houston
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Request |
|
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450 |
Filed: 11/5/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Amended Notice of Depositions of Dan Rose and Jan Koum
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Request |
|
|
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448 |
Filed: 11/4/2024, Entered: None |
Notice of Service of Interrogatories |
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Notice of Service of Defendant Jan Koum's First Set of Interrogatories Directed to Plaintiffs
|
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Request |
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447 |
Filed: 10/30/2024, Entered: None |
Notice of Deposition |
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Plaintiffs' Amended Notice of Deposition of Douglas Purdy
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Request |
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446 |
Filed: 10/24/2024, Entered: None |
Notice of Service |
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Notice of Service of Plaintiffs' Subpoena Ad Testificandum Directed to Dropbox, Inc.
- Attachment 1 Plaintiffs’ Subpoena Ad Testificandum Directed to Dropbox, Inc. with Proof of Service
- Attachment 2 Schedule B to Plaintiffs’ Subpoena Ad Testificandum Directed to Dropbox, Inc.
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Request |
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445 |
Filed: 10/23/2024, Entered: None |
Notice |
|
Notice of Withdrawal of Notice of Deposition of Nancy Killefer
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|
Request |
|
|
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444 |
Filed: 10/22/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Depositions of Reed Hastings and Michael Schroepfer
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Request |
|
|
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443 |
Filed: 10/15/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Deposition of Peter A. Thiel
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Request |
|
|
|
442 |
Filed: 10/11/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Deposition of PricewaterhouseCoopers LLP
|
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Request |
|
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|
441 |
Filed: 10/7/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Deposition of Michael Richter
|
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Request |
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|
440 |
Filed: 10/7/2024, Entered: None |
Notice of Deposition |
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Plaintiffs’ Amended Notice of Deposition of Peggy Alford
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Request |
|
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|
439 |
Filed: 10/4/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Deposition of Michael Richter
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|
Request |
|
|
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437 |
Filed: 10/3/2024, Entered: None |
Public Version |
|
Public Version of Plaintiffs' Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
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Request |
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|
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438 |
Filed: 10/3/2024, Entered: None |
Public Version |
|
Public Version of the Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions Against Defendants Sheryl Sandberg and Jeffrey Zients
|
|
Request |
|
|
|
436 |
Filed: 10/2/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Depositions of Peggy Alford, Peter A. Thiel, Nancy Killefer, Michel Protti, Colin Stretch, and Dan Rose
|
|
Request |
|
|
|
435 |
Filed: 9/27/2024, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs' Subpoena Ad Testificandum Directed to PricewaterhouseCoopers LLP
- Attachment 1 Subpoena Ad Testificandum Directed to PricewaterhouseCoopers LLP with Proof of Service
- Attachment 2 Schedule B to Subpoena Ad Testificandum Directed to PricewaterhouseCoopers LLP
|
|
Request |
|
|
|
434 |
Filed: 9/26/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Hall, Donald R.: [Proposed] Order for Admission Pro Hac Vice of Donald R. Hall, Esquire, as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System)
|
|
Request |
|
|
|
433 |
Filed: 9/25/2024, Entered: None |
Motion for sanctions |
|
[CONFIDENTIAL FILING] Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 1 [Proposed] Order Granting Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 2 [CONFIDENTIAL FILING] Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 3 [CONFIDENTIAL FILING] Exhibits 1-6 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 4 Exhibit 7 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 5 [CONFIDENTIAL FILING] Exhibits 8-13 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 6 [CONFIDENTIAL FILING] Exhibits 14-16 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 7 [CONFIDENTIAL FILING] Exhibits 17-19 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 8 [CONFIDENTIAL FILING] Exhibits 20-22 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 9 [CONFIDENTIAL FILING] Exhibits 23-29 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
- Attachment 10 [CONFIDENTIAL FILING] Exhibits 30-37 to Transmittal Affidavit of Samuel L. Closic in Support of Plaintiffs' Motion for Curative Relief and Sanctions against Defendants Sheryl Sandberg and Jeffrey Zients
|
|
|
|
|
|
432 |
Filed: 9/25/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Donald R. Hall, Esquire, as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 1 Certification of Donald R. Hall in Support of Motion for Admission Pro Hac Vice of Donald R. Hall, Esquire, as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 2 Hall, Donald R.: [Proposed] Order for Admission Pro Hac Vice of Donald R. Hall, Esquire, as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
|
|
Request |
|
|
|
Save 25% on a pre-paid one year subscription. |
|
|
431 |
Filed: 9/25/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Renotice of Deposition of Edward O’Neil and Nancy Killefer
|
|
Request |
|
|
|
429 |
Filed: 9/24/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Wallace, Brooke Myers: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
430 |
Filed: 9/24/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Yang, Brian: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
425 |
Filed: 9/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Falconer, Russell H.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
426 |
Filed: 9/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Schwing, Austin V.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
427 |
Filed: 9/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Baker, Katy R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
428 |
Filed: 9/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Buongiorno, Matthew B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
424 |
Filed: 9/23/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Deposition of Edward O’Neil, Tracey Travis, Robert Kimmitt, and Nancy Killefer
|
|
Request |
|
|
|
418 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Falconer, Russell H.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 6 Certification in Support of Motion for Admission Pro Hac Vice of Russell H. Falconer on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 7 Falconer, Russell H.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 8 Certification in Support of Motion for Admission Pro Hac Vice of Austin V. Schwing on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 9 Schwing, Austin V.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 10 Certification in Support of Motion for Admission Pro Hac Vice of Brooke Myers Wallace on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 11 Wallace, Brooke Myers: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 12 Certification in Support of Motion for Admission Pro Hac Vice of Brian Yang on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 13 Yang, Brian: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 14 Certification in Support of Motion for Admission Pro Hac Vice of Katy R. Baker on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 15 Baker, Katy R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 16 Certification in Support of Motion for Admission Pro Hac Vice of Matthew B. Buongiorno on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 17 Buongiorno, Matthew B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
419 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Schwing, Austin V.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
420 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Wallace, Brooke Myers: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
421 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Yang, Brian: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
422 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Baker, Katy R.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
423 |
Filed: 9/23/2024, Entered: None |
Motion for Pro Hac Vice |
|
Buongiorno, Matthew B.: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
417 |
Filed: 9/17/2024, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Ad Testificandum Directed to Eugene Zarashaw
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Ad Testificandum Directed to Eugene Zarashaw
|
|
Request |
|
|
|
416 |
Filed: 9/11/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Amended Notice of Deposition of Justin Osofsky
|
|
Request |
|
|
|
415 |
Filed: 9/6/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Depositions of Ime Archibong and Douglas Purdy
|
|
Request |
|
|
|
414 |
Filed: 9/4/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Pursuant to Delaware Rule of Evidence 510(f))
|
|
Request |
|
|
|
413 |
Filed: 9/4/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs’ Notice of Depositions of Michael Vernal, Justin Osofsky and Yul Kwon
|
|
Request |
|
|
|
412 |
Filed: 8/29/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Pursuant to Delaware Rule of Evidence 510(f)
|
|
Request |
|
|
|
411 |
Filed: 8/6/2024, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Supplemental Subpoena Duces Tecum Directed to Robert Kimmitt
- Attachment 1 Plaintiffs’ Supplemental Subpoena Duces Tecum Directed to Robert Kimmitt with Proof of Service
- Attachment 2 Schedule A to Plaintiffs’ Supplemental Subpoena Duces Tecum Directed to Robert Kimmitt
- Attachment 3 Exhibit 1 to Plaintiffs’ Supplemental Subpoena Duces Tecum Directed to Robert Kimmitt
|
|
|
|
|
|
408 |
Filed: 8/2/2024, Entered: None |
Public Version |
|
Public Version of Transmittal Affidavit of Thaddeus J. Weaver in Support of Plaintiffs' Omnibus Opposition to Defendants' Motion to Dismiss or, in the Alternative, Stay these Proceedings
- Attachment 1 Exhibits 4-7 to Transmittal Affidavit of Thaddeus J. Weaver in Support of Plaintiffs' Omnibus Opposition to Defendants' Motion to Dismiss or, in the Alternative, Stay these Proceedings
- Attachment 3 Exhibits 4-7 to Transmittal Affidavit of Thaddeus J. Weaver in Support of Plaintiffs' Omnibus Opposition to Defendants' Motion to Dismiss or, in the Alternative, Stay these Proceedings
- Attachment 4 Public Version of Annex B to Plaintiffs' Answering Brief in Opposition to Defendants’ Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
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|
|
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|
409 |
Filed: 8/2/2024, Entered: None |
Public Version |
|
Public Version of Exhibit 1 to Second Amended and Consolidated Verified Stockholder Derivative Complaint (Redline)
|
|
|
|
|
|
410 |
Filed: 8/2/2024, Entered: None |
Public Version |
|
Public Version of Annex A to Plaintiffs' Answering Brief in Opposition to Defendants’ Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 1 Public Version of Annex B to Plaintiffs' Answering Brief in Opposition to Defendants’ Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
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|
|
|
|
406 |
Filed: 7/26/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Elizabeth M. Taylor of Ross Aronstam & Moritz LLP as counsel on behalf Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
407 |
Filed: 7/26/2024, Entered: None |
Response |
|
Nominal Defendant Meta Platforms, Inc.'s Response to Notice of Challenge to Confidential Treatment
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|
|
|
|
|
405 |
Filed: 7/26/2024, Entered: None |
Notice of Deposition |
|
Plaintiffs' Notice of Depositions of Marc Andreessen, Susan Desmond-Hellmann, Konstantinos Papamiltiadis, Jan Koum and Sheryl Sandberg
|
|
Request |
|
|
|
403 |
Filed: 7/26/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Schwartz, Aaron L.: [Proposed] Order for Admission Pro Hac Vice of Aaron L. Schwartz, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System)
|
|
Request |
|
|
|
404 |
Filed: 7/26/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Fox, Frederic S.: [Proposed] Order for Admission Pro Hac Vice of Frederic S. Fox, Esquire, as Counsel for Plaintiff California State Teachers’ Retirement System)
|
|
Request |
|
|
|
401 |
Filed: 7/25/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Aaron L. Schwartz, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System
- Attachment 2 Certification of Aaron L. Schwartz in Support of Motion for Admission Pro Hac Vice of Aaron L. Schwartz, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System
- Attachment 3 Schwartz, Aaron L.: [Proposed] Order for Admission Pro Hac Vice of Aaron L. Schwartz, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System
- Attachment 4 Certification of Frederic S. Fox in Support of Motion for Admission Pro Hac Vice of Frederic S. Fox, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System
- Attachment 5 Fox, Frederic S.: [Proposed] Order for Admission Pro Hac Vice of Frederic S. Fox, Esquire, as Counsel for Plaintiff California State Teachers’ Retirement System
|
|
Request |
|
|
|
402 |
Filed: 7/25/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Frederic S. Fox, Esquire, as Counsel for Plaintiff California State Teachers' Retirement System
|
|
Request |
|
|
|
400 |
Filed: 7/22/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance of Kathleen A. Herkenhoff, Esquire as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System)
|
|
Request |
|
|
|
399 |
Filed: 7/19/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for Enlargement of Time)
|
|
Request |
|
|
|
398 |
Filed: 7/18/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order for Enlargement of Time
|
|
Request |
|
|
|
397 |
Filed: 7/18/2024, Entered: None |
Motion |
|
Motion to Withdraw Pro Hac Vice Appearance of Kathleen A. Herkenhoff, Esquire as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 1 [Proposed] Order Granting Motion to Withdraw Pro Hac Vice Appearance of Kathleen A. Herkenhoff, Esquire as Counsel for Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
|
|
Request |
|
|
|
396 |
Filed: 7/16/2024, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs' Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 1 Plaintiffs' Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC with Proof of Service (Delaware Subpoena)
- Attachment 2 Washington Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 3 Schedule A to Plaintiffs' Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 4 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 5 Schedule A to Washington Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 6 Attestation Pursuant to House Bill 1469 to Washington Plaintiffs' Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
|
|
Request |
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|
395 |
Filed: 7/12/2024, Entered: None |
Notice of Challenge (5.1) |
|
Notice by Aaron Greenspan of Challenge to Confidential Treatment
|
|
|
|
|
|
394 |
Filed: 7/3/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Clark, Martie Kutscher: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.)
|
|
Request |
|
|
|
393 |
Filed: 7/3/2024, Entered: None |
Motion for Pro Hac Vice |
|
Clark, Martie Kutscher: Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 1 Certification in Support of Motion for Admission Pro Hac Vice of Martie Kutscher Clark on behalf of Nominal Defendant Meta Platforms, Inc.
- Attachment 2 Clark, Martie Kutscher: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Nominal Defendant Meta Platforms, Inc.
|
|
Request |
|
|
|
392 |
Filed: 6/20/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of David C. Skoranski and Kirsten M. Valania of Prickett, Jones & Elliott, P.A. as Co-Lead Counsel and Counsel to Co-Lead Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and to Plaintiff Lidia Levy with Certificate of Service
|
|
Request |
|
|
|
391 |
Filed: 6/20/2024, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Duces Tecum upon Bill & Melinda Gates Foundation, LLC with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Duces Tecum upon Bill & Melinda Gates Foundation, LLC (Delaware Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC)
- Attachment 2 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 3 Exhibits 1-2 to Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 4 Washington Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
- Attachment 5 Schedule A to Washington Plaintiffs’ Subpoena Duces Tecum Directed to Bill & Melinda Gates Foundation, LLC
|
|
Request |
|
|
|
390 |
Filed: 6/3/2024, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service of (1) Plaintiffs’ Third Set of Interrogatories Directed to Individual Defendants and (2) this Notice of Service
|
|
Request |
|
|
|
389 |
Filed: 5/23/2024, Entered: None |
Order |
|
Granted (Amended Joint Stipulation and [Proposed] Order Governing Case Schedule)
|
|
Request |
|
|
|
388 |
Filed: 5/21/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Amended Joint Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
387 |
Filed: 5/20/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Supplemental Responses and Objections to Plaintiffs’ Second Set of Interrogatories Directed to All Defendants (with Verifications); and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
386 |
Filed: 5/14/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment)
|
|
Request |
|
|
|
385 |
Filed: 5/8/2024, Entered: None |
Motion |
|
Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment
- Attachment 2 Affidavit of David E. Ross in Support of Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment
- Attachment 3 Exhibit A to Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment
- Attachment 4 Letter from David E. Ross to The Honorable J. Travis Laster enclosing courtesy copies of Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Continued Confidential Treatment
|
|
|
|
|
|
383 |
Filed: 5/3/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Callan R. Jackson of Potter Anderson & Corroon LLP on behalf of Mark Zuckerberg, Sheryl K. Sandberg, Peggy Alford, Marc L. Andreessen, Kenneth I. Chenault, Peter A. Thiel, Jeffery D. Zients, Erskine B. Bowles, Susan Desmond-Hellmann, Reed Hastings, and Konstantinos Papamiltiadis
- Attachment 2 Certificate of Service to the Entry of Appearance and Notice of Service
|
|
Request |
|
|
|
384 |
Filed: 5/3/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service to Individual Defendants’ Responses and Objections to Plaintiffs’ ESI-Related Interrogatories Directed to Defendants Mark Zuckerberg, Sheryl K. Sandberg, Peggy Alford, Marc L. Andreessen, Kenneth I. Chenault, Peter A. Thiel, Jeffery D. Zients, Erskine B. Bowles, Susan Desmond-Hellmann, Reed Hastings, and Konstantinos Papamiltiadis
|
|
Request |
|
|
|
382 |
Filed: 4/3/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Enlargement of Time)
|
|
Request |
|
|
|
381 |
Filed: 4/3/2024, Entered: None |
Motion |
|
Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Enlargement of Time (with Certificate of Service)
- Attachment 1 [Proposed] Order Granting Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Enlargement of Time
- Attachment 2 Exhibit A to Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Enlargement of Time
- Attachment 3 Letter from R. Garrett Rice to The Honorable J. Travis Laster enclosing courtesy copies of Nominal Defendant Meta Platforms, Inc.’s Unopposed Motion for Enlargement of Time
|
|
|
|
|
|
380 |
Filed: 4/3/2024, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service of (1) Plaintiffs' ESI-Related Interrogatories Directed to Defendants Mark Zuckerberg, Sheryl Sandberg, Peggy Alford, Marc L. Andreessen, Kenneth I. Chenault, Peter A. Thiel, Jeffery D. Zients, Erskine B. Bowles, Susan Desmond-Hellman, Reed Hastings, and Konstantinos Papamiltiadis and (2) this Notice of Service
|
|
Request |
|
|
|
379 |
Filed: 4/1/2024, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Responses and Objections to Plaintiffs’ Third Set of Interrogatories Directed to All Defendants with Verifications; and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
378 |
Filed: 3/28/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Supplemental Responses and Objections to Plaintiffs’ Second Set of Interrogatories Directed to All Defendants (with Verification); and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
377 |
Filed: 3/28/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Establishing Discovery Plan)
|
|
Request |
|
|
|
376 |
Filed: 3/22/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Responses and Objections to Plaintiffs’ Second Set of Interrogatories Directed to All Defendants (with Verifications) and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
375 |
Filed: 3/21/2024, Entered: None |
Notice |
|
Notice of Change of Address for Gainey McKenna & Egleston with Certificate of Service
|
|
Request |
|
|
|
373 |
Filed: 3/20/2024, Entered: None |
Letter |
|
Letter to Vice Chancellor Laster recommending entry of discovery plan
- Attachment 2 Appendix 1 to Stipulation and [Proposed] Order Establishing Discovery Plan
|
|
Request |
|
|
|
374 |
Filed: 3/20/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Establishing Discovery Plan
|
|
Request |
|
|
|
372 |
Filed: 3/13/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of Defendant Jan Koum's Responses and Objections to Plaintiffs' Second Set of Interrogatories, with Certificate of Service
|
|
Request |
|
|
|
371 |
Filed: 3/1/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of the Individual Defendants’ Responses and Objections to Plaintiffs’ Second Set of Interrogatories Directed to All Defendants, and Certificate of Service
|
|
Request |
|
|
|
370 |
Filed: 2/12/2024, Entered: None |
Notice |
|
Notice of Change of Address of Dilworth Paxson LLP, Co-Chair of Executive Committee of Plaintiffs' Counsel and Counsel to Plaintiff Karen Sbriglio and Additional Plaintiffs, with Certificate of Service
|
|
Request |
|
|
|
369 |
Filed: 2/6/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Pursuant to Delaware Rule of Evidence 510(f))
|
|
Request |
|
|
|
368 |
Filed: 2/5/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Pursuant to Delaware Rule of Evidence 510(f)
- Attachment 1 Certificate of Service to Stipulation and [Proposed] Order Pursuant to Delaware Rule of Evidence 510(f)
|
|
Request |
|
|
|
367 |
Filed: 2/1/2024, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice and Certificate of Service of (1) Co-Lead Plaintiffs’ Responses to Defendants’ First Request for Production of Documents, (2) Co-Lead Plaintiffs’ Responses to Defendant Jan Koum’s First Request for Production of Documents and (3) this Notice of Service
|
|
Request |
|
|
|
366 |
Filed: 1/31/2024, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Subpoena Duces Tecum Directed to Paypal Holdings, Inc. with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Paypal Holdings, Inc. with Proof of Service
- Attachment 2 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Paypal Holdings, Inc.
- Attachment 3 Exhibits 1-2 to Plaintiffs’ Subpoena Duces Tecum Directed to Paypal Holdings, Inc.
|
|
Request |
|
|
|
365 |
Filed: 1/30/2024, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service of (1) Plaintiffs’ Third Set of Interrogatories Directed to Nominal Defendant Meta Platforms, Inc. and (2) this Notice of Service
|
|
Request |
|
|
|
364 |
Filed: 1/22/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearances of A. Gage Whirley and Benjamin M. Whitney of Ross Aronstam & Moritz LLP as counsel on behalf Nominal Defendant Meta Platforms, Inc. (with Certificate of Service)
|
|
Request |
|
|
|
363 |
Filed: 1/18/2024, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.’s Responses and Objections to Plaintiffs’ Fourth Requests for Production of Documents Directed to Facebook, Inc., and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
362 |
Filed: 12/12/2023, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of (i) the Amended Appendix to Nominal Defendant Meta Platforms, Inc.'s Responses and Objections to Plaintiffs' First Set of Interrogatories, and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
361 |
Filed: 12/4/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of Plaintiffs’ Subpoena Duces Tecum Directed to American Express Co. with Certificate of Service
- Attachment 1 Plaintiffs' Subpoena Duces Tecum Directed to American Express Co. with Proof of Service
- Attachment 2 California Subpoena Duces Tecum Directed to American Express Co.
- Attachment 3 Schedule A to Plaintiffs' Subpoena Duces Tecum Directed to American Express Co.
- Attachment 4 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum Directed to American Express Co.
|
|
Request |
|
|
|
360 |
Filed: 11/29/2023, Entered: None |
Notice of Service of Interrogatories |
|
Notice and Certificate of Service of (1) Plaintiffs’ Second Set of Interrogatories Directed to All Defendants and (2) this Notice of Service
|
|
Request |
|
|
|
359 |
Filed: 11/27/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of Plaintiffs’ Subpoenas Duces Tecum Directed to: (1) Nancy Killefer, (2) Robert Kimmitt, (3) Tracey Travis and (4) Andrew Houston with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Nancy Killefer with Proof of Service
- Attachment 2 Plaintiffs’ Subpoena Duces Tecum Directed to Robert Kimmitt with Proof of Service
- Attachment 3 Plaintiffs’ Subpoena Duces Tecum Directed to Tracey Travis with Proof of Service
- Attachment 4 Plaintiffs’ Subpoena Duces Tecum Directed to Andrew Houston with Proof of Service
- Attachment 5 Exhibits 1-2 to Plaintiffs’ Subpoenas Duces Tecum Directed to: (1) Nancy Killefer, (2) Robert Kimmitt (3) Tracey Travis and (4) Andrew Houston
- Attachment 6 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Nancy Killefer
- Attachment 7 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Robert Kimmitt
- Attachment 8 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Tracey Travis
- Attachment 9 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Andrew Houston
|
|
Request |
|
|
|
358 |
Filed: 11/22/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of Subpoenas Duces Tecum to: 1. Alphabet Inc., 2. Amazon.com, Inc., 3. Apple Inc., 4. BMW of North America, LLC, 5. Chan Zuckerberg Initiative, LLC, 6. Circle Internet Financial, LLC, 7. CZI Holdings, LLC, 8. Dropbox, Inc., 9. Lyft, Inc., 10. Microsoft Corporation, 11. Netflix, Inc., 12. OfferUp Inc., 13. Palantir Technologies Inc., 14. RBC Capital Markets, LLC, 15. Samsung Electronics America, Inc., 16. Spotify USA Inc., 17. Tinder, Inc. 18. Zynga Inc. with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Alphabet Inc. with Proof of Service
- Attachment 2 Plaintiffs’ Subpoena Duces Tecum Directed to Amazon.com, Inc. with Proof of Service
- Attachment 3 Plaintiffs’ Subpoena Duces Tecum Directed to Apple Inc. with Proof of Service
- Attachment 4 Plaintiffs’ Subpoena Duces Tecum Directed to BMW of North America, LLC with Proof of Service
- Attachment 5 Plaintiffs’ Subpoena Duces Tecum Directed to Chan Zuckerberg Initiative, LLC with Proof of Service
- Attachment 6 Plaintiffs’ Subpoena Duces Tecum Directed to Circle Internet Financial, LLC with Proof of Service
- Attachment 7 Plaintiffs’ Subpoena Duces Tecum Directed to CZI Holdings, LLC with Proof of Service
- Attachment 8 Plaintiffs’ Subpoena Duces Tecum Directed to Dropbox, Inc. with Proof of Service
- Attachment 9 Plaintiffs’ Subpoena Duces Tecum Directed to Lyft, Inc. with Proof of Service
- Attachment 10 Plaintiffs’ Subpoena Duces Tecum Directed to Microsoft Corporation with Proof of Service
- Attachment 11 Plaintiffs’ Subpoena Duces Tecum Directed to Netflix, Inc. with Proof of Service
- Attachment 12 Plaintiffs’ Subpoena Duces Tecum Directed to OfferUp Inc. with Proof of Service
- Attachment 13 Plaintiffs’ Subpoena Duces Tecum Directed to Palantir Technologies Inc. with Proof of Service
- Attachment 14 Plaintiffs’ Subpoena Duces Tecum Directed to RBC Capital Markets, LLC with Proof of Service
- Attachment 15 Plaintiffs’ Subpoena Duces Tecum Directed to Samsung Electronics America, Inc. with Proof of Service
- Attachment 16 Plaintiffs’ Subpoena Duces Tecum Directed to Spotify USA Inc. with Proof of Service
- Attachment 17 Plaintiffs’ Subpoena Duces Tecum Directed to Tinder, Inc. with Proof of Service
- Attachment 18 Plaintiffs’ Subpoena Duces Tecum Directed to Zynga Inc. with Proof of Service
- Attachment 19 Exhibits 1-2 to Subpoenas Duces Tecum to: 1. Alphabet Inc., 2. Amazon.com, Inc., 3. Apple Inc., 4. BMW of North America, LLC, 5. Chan Zuckerberg Initiative, LLC, 6. Circle Internet Financial, LLC, 7. CZI Holdings, LLC, 8. Dropbox, Inc., 9. Lyft, Inc., 10. Microsoft Corporation, 11. Netflix, Inc., 12. OfferUp Inc., 13. Palantir Technologies Inc., 14. RBC Capital Markets, LLC, 15. Samsung Electronics America, Inc., 16. Spotify USA Inc., 17. Tinder, Inc. 18. Zynga Inc.
- Attachment 20 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Alphabet Inc.
- Attachment 21 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Amazon.com, Inc.
- Attachment 22 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Apple Inc.
- Attachment 23 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to BMW of North America, LLC
- Attachment 24 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Chan Zuckerberg Initiative, LLC
- Attachment 25 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Circle Internet Financial, LLC
- Attachment 26 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to CZI Holdings, LLC
- Attachment 27 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Dropbox, Inc.
- Attachment 28 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Lyft, Inc.
- Attachment 29 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Microsoft Corporation
- Attachment 30 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Netflix, Inc.
- Attachment 31 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to OfferUp Inc.
- Attachment 32 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Palantir Technologies Inc.
- Attachment 33 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to RBC Capital Markets, LLC
- Attachment 34 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Samsung Electronics America, Inc.
- Attachment 35 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Spotify USA Inc.
- Attachment 36 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Tinder, Inc.
- Attachment 37 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Zynga Inc.
|
|
|
|
|
|
357 |
Filed: 11/21/2023, Entered: None |
Notice of Service |
|
Notice of Service of Defendants’ First Request for Production of Documents Directed to all Plaintiffs, and Certificate of Service
|
|
Request |
|
|
|
356 |
Filed: 11/21/2023, Entered: None |
Notice of Service of Request for Production |
|
Notice of Service of Defendant Jan Koum's First Request for the Production of Documents Directed to All Plaintiffs, with Certificate of Service
|
|
Request |
|
|
|
355 |
Filed: 11/21/2023, Entered: None |
Notice of Service of Request for Production |
|
Notice and Certificate of Service of (1) Plaintiffs’ Fourth Requests for Production of Documents Directed to Facebook, Inc. and (2) this Notice of Service
|
|
Request |
|
|
|
354 |
Filed: 11/21/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Duces Tecum Directed to American Express Co. with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Duces Tecum Directed to American Express Co. (Plaintiffs' Subpoena Duces Tecum Directed to American Express Co.)
- Attachment 2 California Subpoena Duces Tecum Directed to American Express Co.
- Attachment 3 Schedule A to Subpoena Duces Tecum Directed to American Express Co.
- Attachment 4 Exhibits 1-2 to Subpoena Duces Tecum Directed to American Express Co.
|
|
Request |
|
|
|
353 |
Filed: 11/20/2023, Entered: None |
Order |
|
Granted (Joint Stipulation and [Proposed] Order Governing Case Schedule)
|
|
Request |
|
|
|
352 |
Filed: 11/17/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Joint Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
351 |
Filed: 11/3/2023, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Subpoena Duces Tecum Directed to Protiviti Inc. with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Protiviti Inc. with Proof of Service
- Attachment 2 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Protiviti Inc.
- Attachment 3 Exhibits 1-3 to Plaintiffs’ Subpoena Duces Tecum Directed to Protiviti Inc.
|
|
Request |
|
|
|
350 |
Filed: 10/25/2023, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.'s Responses and Objections to Plaintiffs' Third Request for Production of Documents Directed to All Defendants, and (ii) this Notice and Certificate of Service
|
|
Request |
|
|
|
349 |
Filed: 10/25/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP with Certificate of Service
- Attachment 1 Delaware Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP with Proof of Service
- Attachment 2 California Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
- Attachment 3 Schedule A to Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
- Attachment 4 Exhibits 1-3 to Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
|
|
Request |
|
|
|
348 |
Filed: 10/23/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP (Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP)
- Attachment 2 California Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
- Attachment 3 Schedule A to Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
- Attachment 4 Exhibits 1-3 to Subpoena Duces Tecum Directed to Munger, Tolles, & Olson LLP
|
|
Request |
|
|
|
347 |
Filed: 10/23/2023, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Subpoenas Duces Tecum Directed to: (1) Gibson, Dunn & Crutcher LLP and (2) Paul, Weiss, Rifkind, Wharton & Garrison LLP with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Gibson, Dunn & Crutcher LLP with Proof of Service
- Attachment 2 Plaintiffs’ Subpoena Duces Tecum Directed to Paul, Weiss, Rifkind, Wharton & Garrison LLP with Proof of Service
- Attachment 3 Exhibit 1-3 to Plaintiffs’ Subpoenas Duces Tecum Directed to: (1) Gibson, Dunn & Crutcher LLP and (2) Paul, Weiss, Rifkind, Wharton & Garrison LLP
- Attachment 4 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Gibson, Dunn & Crutcher LLP
- Attachment 5 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Paul, Weiss, Rifkind, Wharton & Garrison LLP
|
|
Request |
|
|
|
346 |
Filed: 10/18/2023, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice of Service of Defendant Jan Koum's Responses and Objections to Plaintiffs' Third Request for the Production of Documents, with Certificate of Service
|
|
Request |
|
|
|
345 |
Filed: 10/11/2023, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice of Service of Individual Defendants’ Responses and Objections to Plaintiffs’ Third Request for Production of Documents Directed to all Defendants, with Certificate of Service
|
|
Request |
|
|
|
344 |
Filed: 9/27/2023, Entered: None |
Letter |
|
Letter to the Hon. J. Travis Laster from R. Newell accepting Discovery Facilitator appointment
|
|
Request |
|
|
|
343 |
Filed: 9/27/2023, Entered: None |
Order |
|
Order Appointing Discovery Facilitator
|
|
Request |
|
|
|
342 |
Filed: 9/26/2023, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw the Appearance of Robert B. Lackey as Counsel for Plaintiffs)
|
|
Request |
|
|
|
341 |
Filed: 9/25/2023, Entered: None |
Motion |
|
Motion to Withdraw the Appearance of Robert B. Lackey as Counsel for Plaintiffs with Certificate of Service
- Attachment 1 [Proposed] Order Granting Motion to Withdraw the Appearance of Robert B. Lackey as Counsel for Plaintiffs
|
|
Request |
|
|
|
340 |
Filed: 9/25/2023, Entered: None |
Minute Order |
|
The court will schedule an 8-day trial. The court also believes that the involvement of a discovery facilitator would be helpful to the parties in developing a discovery plan, resolving disputes, and keeping the case moving. The parties will contact Ryan Newell to determine if he can serve in that role. If not, then the parties will propose three agreed-upon candidates.
|
|
Request |
|
|
|
339 |
Filed: 9/25/2023, Entered: None |
Letter |
|
Letter to The Honorable J. Travis Laster from Samuel L. Closic on behalf of all parties concerning the case schedule for this action
|
|
Request |
|
|
|
338 |
Filed: 9/22/2023, Entered: None |
Public Version |
|
(Redacted Public Version) Individual Defendants’ Answer to Second Amended and Consolidated Verified Stockholder Derivative Complaint, with Certificate of Service
|
|
Request |
|
|
|
337 |
Filed: 9/22/2023, Entered: None |
Public Version |
|
Public Version of Defendant Jan Koum's Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 1 Certificate of Service of Public Version of Defendant Jan Koum's Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
336 |
Filed: 9/20/2023, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Ellis H. Huff of Potter Anderson & Corroon LLP as counsel for Defendants Mark Zuckerberg, Sheryl K. Sandberg, Konstantinos Papamiltiadis, Jeffrey D. Zients, Peggy Alford, Kenneth I. Chenault, Peter A. Thiel, Susan D. Desmond-Hellmann, Reed Hastings, Marc L. Andreessen, and Erskine B. Bowles, with Certificate of Service
|
|
Request |
|
|
|
335 |
Filed: 9/19/2023, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP with Certificate of Service
- Attachment 1 Plaintiffs’ Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP with Proof of Service
- Attachment 2 Schedule A to Plaintiffs’ Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP
- Attachment 3 Exhibits 1-2 to Plaintiffs’ Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP
|
|
Request |
|
|
|
334 |
Filed: 9/19/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP (Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP)
- Attachment 2 Schedule A to Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP
- Attachment 3 Exhibits 1-2 to Subpoena Duces Tecum Directed to Wilmer Cutler Pickering Hale and Dorr LLP
|
|
Request |
|
|
|
333 |
Filed: 9/18/2023, Entered: None |
Letter |
|
Letter to The Honorable J. Travis Laster from Justin T. Hymes regarding courtesy copy of Individual Defendants’ Answer to Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
332 |
Filed: 9/18/2023, Entered: None |
Letter |
|
Letter to The Honorable J. Travis Laster from Jennifer L. Cree regarding Chambers' copies of Defendant Jan Koum's Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
Save 25% on a pre-paid one year subscription. |
|
|
331 |
Filed: 9/15/2023, Entered: None |
Answer |
|
[CONFIDENTIAL DOCUMENT] Defendant Jan Koum's Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 1 Certificate of Service of Defendant Jan Koum's Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
330 |
Filed: 9/15/2023, Entered: None |
Answer |
|
[CONFIDENTIAL FILING] Individual Defendants’ Answer to Second Amended and Consolidated Verified Stockholder Derivative Complaint, with Certificate of Service
|
|
|
|
|
|
329 |
Filed: 9/11/2023, Entered: None |
Notice of Service of Request for Production |
|
Notice and Certificate of Service of (1) Plaintiffs’ Third Request for Production of Documents Directed to all Defendants and (2) this Notice of Service
|
|
Request |
|
|
|
328 |
Filed: 9/11/2023, Entered: None |
Order |
|
Granted (Third Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants)
|
|
Request |
|
|
|
327 |
Filed: 9/8/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Third Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants
- Attachment 1 Certificate of Service to Third Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants
|
|
Request |
|
|
|
326 |
Filed: 8/21/2023, Entered: None |
Order |
|
Granted (Second Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint)
|
|
Request |
|
|
|
325 |
Filed: 8/18/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Second Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 1 Certificate of Service of Second Amended Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs' Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
324 |
Filed: 7/28/2023, Entered: None |
Notice of Service |
|
Notice of Service of (1) Individual Defendants’ Responses and Objections to Plaintiffs’ First Set of Interrogatories Directed to all Defendants, (2) Individual Defendants’ Responses and Objections to Plaintiffs’ First Request for Production of Documents Directed to all Defendants, and (3) Individual Defendants’ Responses and Objections to Plaintiffs’ Second Request for Production of Documents Directed to all Defendants, and Certificate of Service
|
|
Request |
|
|
|
323 |
Filed: 7/28/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice of Service of Defendant Jan Koum's 1) Responses and Objections to Plaintiffs' First Set of Interrogatories, and 2) Responses and Objections to Plaintiffs' First and Second Requests for the Production of Documents, with Certificate of Service
|
|
Request |
|
|
|
322 |
Filed: 7/25/2023, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiffs’ Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin with Certificate of Service
- Attachment 1 Delaware Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin with Proof of Service
- Attachment 2 California Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
- Attachment 3 Schedule A to Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
- Attachment 4 Exhibits 1-2 to Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
|
|
|
|
|
|
321 |
Filed: 7/24/2023, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw Ciardi, Ciardi & Astin, Daniel K. Astin, Albert A. Ciardi III, and Walter W. Gouldsbury III, As Counsel of Record for Intervenor Robert A. Feuer)
|
|
Request |
|
|
|
319 |
Filed: 7/21/2023, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Expert Discovery)
|
|
Request |
|
|
|
320 |
Filed: 7/21/2023, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information)
|
|
Request |
|
|
|
318 |
Filed: 7/21/2023, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice and Certificate of Service of (i) Nominal Defendant Meta Platforms, Inc.'s Responses and Objections to Plaintiffs' First and Second Requests for Production of Documents Directed to All Defendants, (ii) Nominal Defendant Meta Platforms, Inc.'s Responses and Objections to Plaintiffs' First Set of Interrogatories Directed to All Defendants, and (iii) this Notice and Certificate of Service
|
|
Request |
|
|
|
316 |
Filed: 7/21/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Expert Discovery
- Attachment 2 Exhibit A to Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information
|
|
Request |
|
|
|
317 |
Filed: 7/21/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information
|
|
Request |
|
|
|
315 |
Filed: 7/20/2023, Entered: None |
Motion |
|
Motion to Withdraw Ciardi, Ciardi & Astin, Daniel K. Astin, Albert A. Ciardi III, and Walter W. Gouldsbury III, As Counsel of Record for Intervenor Robert A. Feuer With Certificate of Service
- Attachment 1 [Proposed] Order Granting Motion to Withdraw Ciardi, Ciardi & Astin, Daniel K. Astin, Albert A. Ciardi III, and Walter W. Gouldsbury III, As Counsel of Record for Intervenor Robert A. Feuer
|
|
Request |
|
|
|
314 |
Filed: 7/20/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin (Delaware Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin)
- Attachment 2 Exhibits 1-2 to Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
- Attachment 3 California Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
- Attachment 4 Schedule A to Subpoena Duces Tecum and Ad Testificandum Directed to Samuel Lessin
|
|
Request |
|
|
|
312 |
Filed: 7/19/2023, Entered: None |
Order Pro Hac Vice |
|
Granted (Sacks, Robert A.: [Proposed] Order Granting Admission Pro Hac Vice)
|
|
Request |
|
|
|
313 |
Filed: 7/19/2023, Entered: None |
Order Pro Hac Vice |
|
Granted (Smith, Robert M.W.: [Proposed] Order Granting Admission Pro Hac Vice)
|
|
Request |
|
|
|
310 |
Filed: 7/19/2023, Entered: None |
Motion for Pro Hac Vice |
|
Sacks, Robert A.: Motion for Admission Pro Hac Vice to represent Defendant Jan Koum, with Certificate of Service
- Attachment 2 Sacks, Robert A.: Certification of Counsel to Motion for Admission Pro Hac Vice
- Attachment 3 Sacks, Robert A.: [Proposed] Order Granting Admission Pro Hac Vice
- Attachment 4 Smith, Robert M.W.: Certification of Counsel to Motion for Admission Pro Hac Vice
- Attachment 5 Smith, Robert M.W.: [Proposed] Order Granting Admission Pro Hac Vice
|
|
Request |
|
|
|
311 |
Filed: 7/19/2023, Entered: None |
Motion for Pro Hac Vice |
|
Smith, Robert M.W.: Motion for Admission Pro Hac Vice to represent Defendant Jan Koum, with Certificate of Service
|
|
Request |
|
|
|
309 |
Filed: 7/10/2023, Entered: None |
Order |
|
Granted (Amended Stipulation and Proposed Order Regarding Time to Answer Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants)
|
|
Request |
|
|
|
308 |
Filed: 7/10/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Amended Stipulation and Proposed Order Regarding Time to Answer Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants
- Attachment 1 Certificate of Service to Amended Stipulation and Proposed Order Regarding Time to Answer Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint, on behalf of Plaintiffs and the Individual Defendants
|
|
Request |
|
|
|
307 |
Filed: 7/10/2023, Entered: None |
Answer |
|
Nominal Defendant Meta Platforms, Inc.'s Answer to the Second Amended and Consolidated Verified Stockholder Derivative Complaint (with Certificate of Service)
|
|
Request |
|
|
|
306 |
Filed: 7/7/2023, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for Substitution of Counsel)
|
|
Request |
|
|
|
305 |
Filed: 7/7/2023, Entered: None |
Stip. & (Proposed) Order -Substitution of Counsel |
|
Stipulation and [Proposed] Order for Substitution of Counsel
- Attachment 1 Certificate of Service of Stipulation and [Proposed] Order for Substitution of Counsel
|
|
Request |
|
|
|
304 |
Filed: 6/29/2023, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of Plaintiffs' Subpoena Duces Tecum directed to Ernst & Young LLP
- Attachment 1 Plaintiffs' Subpoena Duces Tecum directed to Ernst & Young LLP (with Proof of Service)
- Attachment 2 Schedule A to Plaintiffs' Subpoena Duces Tecum directed to Ernst & Young LLP
- Attachment 3 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum directed to Ernst & Young LLP
|
|
Request |
|
|
|
303 |
Filed: 6/29/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Plaintiffs' Subpoena Duces Tecum Directed to Ernst & Young LLP with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Plaintiffs' Subpoena Duces Tecum Directed to Ernst & Young LLP
- Attachment 2 Schedule A to Plaintiffs' Subpoena Duces Tecum Directed to Ernst & Young LLP
- Attachment 3 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum Directed to Ernst & Young LLP
|
|
Request |
|
|
|
302 |
Filed: 6/20/2023, Entered: None |
Notice of Service |
|
Notice and Certificate of Service of Plaintiffs' Subpoena Duces Tecum directed to PricewaterhouseCoopers LLP
- Attachment 1 Plaintiffs' Subpoena Duces Tecum directed to PricewaterhouseCoopers LLP (with Proof of Service)
- Attachment 2 Schedule A to Plaintiffs' Subpoena Duces Tecum directed PricewaterhouseCoopers LLP
- Attachment 3 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum directed to PricewaterhouseCoopers LLP
|
|
Request |
|
|
|
301 |
Filed: 6/16/2023, Entered: None |
Notice |
|
Notice of Intent to Serve Plaintiffs' Subpoena Duces Tecum Directed to PricewaterhouseCoopers LLP with Certificate of Service
- Attachment 1 Exhibit A to Notice of Intent to Serve Plaintiffs' Subpoena Duces Tecum Directed to PricewaterhouseCoopers LLP
- Attachment 2 Schedule A to Plaintiffs' Subpoena Duces Tecum Directed to PricewaterhouseCoopers LLP
- Attachment 3 Exhibits 1-2 to Plaintiffs' Subpoena Duces Tecum Directed to PricewaterhouseCoopers LLP
|
|
Request |
|
|
|
300 |
Filed: 6/2/2023, Entered: None |
Notice of Service of Request for Production |
|
Notice and Certificate of Service of (1) Plaintiffs’ Second Request for Production of Documents Directed to all Defendants and (2) this Notice of Service
|
|
Request |
|
|
|
299 |
Filed: 5/22/2023, Entered: None |
Notice of Service of Other Discovery |
|
Notice and Certificate of Service of (1) Plaintiffs’ First Set of Interrogatories Directed to all Defendants; (2) Plaintiffs’ First Request for Production of Documents Directed to all Defendants and (3) this Notice of Service
|
|
Request |
|
|
|
298 |
Filed: 5/22/2023, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Stacey A. Greenspan of Prickett, Jones & Elliott, P.A. as Co-Lead Counsel and Counsel to Co-Lead Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and to Plaintiff Lidia Levy with Certificate of Service
|
|
Request |
|
|
|
297 |
Filed: 5/22/2023, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint)
|
|
Request |
|
|
|
296 |
Filed: 5/22/2023, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 5-10-2023 Telephonic Rulings of the Court on Defendants' Motion to Dismiss
|
|
Request |
|
|
|
295 |
Filed: 5/19/2023, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Regarding Time to Answer Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
294 |
Filed: 5/12/2023, Entered: None |
Judicial Action Form |
|
Teleconference Bench Ruling held before Vice Chancellor Laster on May 10, 2023. Motion granted in part and denied in part. See transcript.
|
|
Request |
|
|
|
293 |
Filed: 5/11/2023, Entered: None |
Order |
|
Order Granting In Part Defendants' Motion To Dismiss
|
|
|
|
|
|
292 |
Filed: 5/2/2023, Entered: None |
Minute Order |
|
The Court will issue an oral ruling on Wednesday, May 10, 2023, at 3:30 p.m. via teleconference. Dial-in information is as follows: 844-474-0925 Participate code 97293103# . PLEASE NOTE: If any party apart from counsel is on the call, kindly mute your line for the duration of the teleconference
|
|
Request |
|
|
|
291 |
Filed: 2/28/2023, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 2.16.23 Oral Argument on Defendants' Motion to Dismiss
|
|
|
|
|
|
290 |
Filed: 2/20/2023, Entered: None |
Judicial Action Form |
|
Motion to Dismiss hearing held before Vice Chancellor Laster on February 16, 2023. Matter taken under advisement. See transcript.
|
|
Request |
|
|
|
289 |
Filed: 2/16/2023, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Robert B. Lackey and Seth T. Ford of Prickett, Jones & Elliott, P.A. as Co-Lead Counsel and Counsel to Co-Lead Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and to Plaintiff Lidia Levy with Certificate of Service
|
|
Request |
|
|
|
288 |
Filed: 2/15/2023, Entered: None |
Minute Order |
|
In anticipation of the hearing tomorrow, February 16, 2023, I ask that counsel prioritize arguments about demand futility based on the 2021 Board. It is my preliminary view, subject to being convinced otherwise, that the 2021 Board is the appropriate board for purposes of the demand futility analysis.
|
|
Request |
|
|
|
287 |
Filed: 2/15/2023, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Jacob D. Jeifa of Andrews & Springer LLC on behalf of Plaintiff City of Birmingham Retirement and Relief System (with Certificate of Service)
|
|
Request |
|
|
|
285 |
Filed: 2/15/2023, Entered: None |
Order Pro Hac Vice |
|
Granted (Davis, Colin B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants)
|
|
Request |
|
|
|
286 |
Filed: 2/15/2023, Entered: None |
Order Pro Hac Vice |
|
Granted (Kahn, Michael J.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants)
|
|
Request |
|
|
|
283 |
Filed: 2/15/2023, Entered: None |
Motion for Pro Hac Vice |
|
Davis, Colin B.: Motion for Admission Pro Hac Vice on behalf of Defendants (with Certificate of Service)
- Attachment 2 Certification in Support of Motion for Admission Pro Hac Vice of Colin B. Davis on behalf of Defendants
- Attachment 3 Davis, Colin B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants
- Attachment 4 Certification in Support of Motion for Admission Pro Hac Vice of Michael J. Kahn on behalf of Defendants
- Attachment 5 Kahn, Michael J.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants
|
|
Request |
|
|
|
284 |
Filed: 2/15/2023, Entered: None |
Motion for Pro Hac Vice |
|
Kahn, Michael J.: Motion for Admission Pro Hac Vice on behalf of Defendants (with Certificate of Service)
|
|
Request |
|
|
|
282 |
Filed: 2/9/2023, Entered: None |
Letter |
|
Letter to The Honorable J. Travis Laster from Samuel L. Closic enclosing authorities and transcripts that Plaintiffs may refer to at the hearing in this matter scheduled for February 16, 2023 at 11:00 a.m.
- Attachment 1 Exhibits 1-5 to Letter to The Honorable J. Travis Laster from Samuel L. Closic enclosing authorities and transcripts that Plaintiffs may refer to at the hearing in this matter scheduled for February 16, 2023 at 11:00 a.m.
|
|
Request |
|
|
|
281 |
Filed: 1/10/2023, Entered: None |
Letter |
|
Letter to counsel from Vice Chancellor Laster confirming the change in the start time of the hearing on February 16, 2023, to 11:00 a.m.
|
|
Request |
|
|
|
280 |
Filed: 11/16/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw the Appearance Pro Hac Vice of Scott R. Jacobsen as Counsel for Plaintiff City of Birmingham Retirement and Relief System)
|
|
Request |
|
|
|
279 |
Filed: 11/16/2022, Entered: None |
Motion |
|
Motion to Withdraw the Appearance Pro Hac Vice of Scott R. Jacobsen as Counsel for Plaintiff City of Birmingham Retirement and Relief System with Certificate of Service
- Attachment 1 [Proposed] Order Granting Motion to Withdraw the Appearance Pro Hac Vice of Scott R. Jacobsen as Counsel for Plaintiff City of Birmingham Retirement and Relief System
|
|
Request |
|
|
|
278 |
Filed: 11/15/2022, Entered: None |
Letter |
|
Letter to counsel from Vice Chancellor Laster rescheduling the hearing on the motion to dismiss for February 16, 2023, at 1:30 p.m.
|
|
Request |
|
|
|
277 |
Filed: 9/13/2022, Entered: None |
Order Pro Hac Vice |
|
Granted (Reliford, Justin O.: [Proposed] Order Granting Motion for Admission Pro Hac Vice as Counsel for Plaintiff City of Birmingham Retirement and Relief System)
|
|
Request |
|
|
|
276 |
Filed: 9/13/2022, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Justin O. Reliford, Esquire, as Counsel for Plaintiff City of Birmingham Retirement and Relief System with Certificate of Service
- Attachment 1 Certification of Justin O. Reliford, Esquire in Support of Motion for Admission Pro Hac Vice of Justin O. Reliford, Esquire, as Counsel for Plaintiff City of Birmingham Retirement and Relief System
- Attachment 2 Reliford, Justin O.: [Proposed] Order Granting Motion for Admission Pro Hac Vice as Counsel for Plaintiff City of Birmingham Retirement and Relief System
|
|
Request |
|
|
|
275 |
Filed: 8/30/2022, Entered: None |
Letter |
|
Letter to counsel from Vice Chancellor Laster confirming the hearing on the pending motion to dismiss for November 15, 2022, at 11:00 a.m.
|
|
Request |
|
|
|
274 |
Filed: 7/29/2022, Entered: None |
Letter |
|
Reassignment letter
|
|
|
|
|
|
273 |
Filed: 6/21/2022, Entered: None |
Motion |
|
[Proposed] Intervenor Robert A. Feuer’s Motion to Intervene to Submit Evidence Into the Record in Support of Plaintiffs’ Opposition to Facebook’s Motion to Dismiss
- Attachment 1 Unsworn Declaration of Richard D. Greenfield Pursuant to the Delaware Uniform Unsworn Foreign Declarations Act in Support of Robert A. Feuer’s Motion to Intervene
- Attachment 2 [Proposed] Order
- Attachment 3 Certificate of Service
- Attachment 4 Exhibits A and B to Unsworn Declaration of Richard D. Greenfield Pursuant to the Delaware Uniform Unsworn Foreign Declarations Act in Support of Robert A. Feuer’s Motion to Intervene
|
|
|
|
|
|
272 |
Filed: 6/21/2022, Entered: None |
Entry of Appearance |
|
Entry of Appearance of P. Bradford deLeeuw of deLeeuw Law LLC as counsel for [Proposed] Intervenor Robert A. Feuer with Certificate of Service
|
|
Request |
|
|
|
271 |
Filed: 5/31/2022, Entered: None |
Public Version |
|
PUBLIC VERSION of Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint (with Certificate of Service)
|
|
|
|
|
|
270 |
Filed: 5/23/2022, Entered: None |
Reply Brief |
|
Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 1 Transmittal Affidavit of R. Garrett Rice in Connection with Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 2 Exhibits 44 - 45 to Transmittal Affidavit of R. Garrett Rice in Connection with Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 3 Certificate of Service of (i) Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint and (ii) Transmittal Affidavit of R. Garrett Rice in Connection with Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 4 Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing courtesy copies of Defendants’ Reply Brief in Further Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint and supporting papers filed today, May 23, 2022
|
|
|
|
|
|
269 |
Filed: 5/19/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion to Withdraw the Appearance of Elizabeth Wang as Co-Lead Counsel and Counsel for Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and Lidia Levy)
|
|
Request |
|
|
|
268 |
Filed: 5/19/2022, Entered: None |
Motion |
|
Motion to Withdraw the Appearance of Elizabeth Wang as Co-Lead Counsel and Counsel for Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and Lidia Levy with Certificate of Service
- Attachment 1 [Proposed] Order Granting Motion to Withdraw the Appearance of Elizabeth Wang as Co-Lead Counsel and Counsel for Plaintiffs Construction and General Building Laborers’ Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System and Lidia Levy
|
|
Request |
|
|
|
267 |
Filed: 4/25/2022, Entered: None |
Order |
|
Granted (Proposed Order Granting Defendant’s Unopposed Motion to Expand Word Limit for and Extension of Time to File Reply Brief in Further Support of Their Motion to Dismiss)
|
|
Request |
|
|
|
266 |
Filed: 4/22/2022, Entered: None |
Motion |
|
Defendant’s Unopposed Motion to Expand Word Limit for and Extension of Time to File Reply Brief in Further Support of Their Motion to Dismiss (with Certificate of Service)
- Attachment 1 Proposed Order Granting Defendant’s Unopposed Motion to Expand Word Limit for and Extension of Time to File Reply Brief in Further Support of Their Motion to Dismiss
|
|
Request |
|
|
|
265 |
Filed: 4/8/2022, Entered: None |
Public Version |
|
Public Version of Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint with Certificate of Service
|
|
|
|
|
|
264 |
Filed: 4/1/2022, Entered: None |
Answering Brief |
|
(Confidential Filing) Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint with Certificate of Service [Word Limit Exceeded Per Court Order dated November 23, 2021 (Trans. ID. 67117561)]
- Attachment 1 Exhibit A to Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 2 (Confidential Filing) Annex A to Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 3 (Confidential Filing) Annex B to Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 4 Annex C to Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 5 Compendium of Transcript Cited in Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint with Certificate of Service
- Attachment 6 Tab 1 to Compendium of Transcript Cited in Plaintiffs' Answering Brief in Opposition to Defendants' Motion to Dismiss the Second Amended and Consolidated Verified Stockholder Derivative Complaint
|
|
|
|
|
|
263 |
Filed: 3/11/2022, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Motion for Leave to Withdraw Appearance of Mae Oberste as Counsel of Record)
|
|
Request |
|
|
|
262 |
Filed: 3/9/2022, Entered: None |
Motion |
|
Motion for Leave to Withdraw Appearance of Mae Oberste as Counsel of Record, with Certificate of Service
- Attachment 1 [Proposed] Order Granting Motion for Leave to Withdraw Appearance of Mae Oberste as Counsel of Record
- Attachment 2 Letter to Vice Chancellor Slights from Mae Oberste enclosing Motion for Leave to Withdraw
|
|
Request |
|
|
|
261 |
Filed: 3/2/2022, Entered: None |
Notice |
|
Notice of Change of Address of Ross Aronstam & Moritz LLP, effective March 1, 2022 (with Certificate of Service)
|
|
Request |
|
|
|
260 |
Filed: 2/17/2022, Entered: None |
Letter |
|
Letter dated February 17, 2022, from Chancellor McCormick to counsel regarding reassignment of this action
|
|
|
|
|
|
259 |
Filed: 1/26/2022, Entered: None |
Public Version |
|
PUBLIC VERSION Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint (with Certificate of Service)
|
|
|
|
|
|
258 |
Filed: 1/19/2022, Entered: None |
Exhibit(s) |
|
Exhibits 23-35 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 1 Exhibits 36-43 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 2 Compendium of Selected Cases Cited in Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 3 Certificate of Service of Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint and ancillary documents that were filed today, January 19, 2022
|
|
|
|
|
|
257 |
Filed: 1/19/2022, Entered: None |
Opening Brief |
|
Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 1 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 2 Exhibits 1-4 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 3 Exhibit 5 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 4 Exhibits 6-11 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 5 Exhibits 12-13 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 6 Exhibit 14 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 7 Exhibits 15-18 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint [CONFIDENTIAL FILING]
- Attachment 8 Exhibits 19-22 to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of R. Garrett Rice in Connection with Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 9 Certificate of Service of Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint and ancillary documents filed today, January 19, 2022
- Attachment 10 Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing courtesy copies of Defendants’ Opening Brief in Support of Their Motion to Dismiss Plaintiffs’ Second Amended and Consolidated Verified Stockholder Derivative Complaint and ancillary documents filed today, January 19, 2022
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255 |
Filed: 12/7/2021, Entered: None |
Entry of Appearance |
|
Entry of Appearance of David E. Ross and R. Garrett Rice of Ross Aronstam & Moritz LLP on behalf of Defendants Peggy Alford, Kenneth I. Chenault, Jeffrey D. Zients, Konstantinos Papamiltiadis, David Fisher, Michael Schroepfer, and David Wehner (with Certificate of Service)
- Attachment 2 [Proposed] Order Granting Defendants’ Motion to Dismiss
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Request |
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256 |
Filed: 12/7/2021, Entered: None |
Motion to Dismiss |
|
Defendants’ Motion to Dismiss (with Certificate of Service)
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254 |
Filed: 11/29/2021, Entered: None |
Order |
|
Order Refusing Application for Certification of Interlocutory Appeal, entered by Vice Chancellor Slights on November 29, 2021
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253 |
Filed: 11/23/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Huffman, Maxwell: [Proposed] Order for Admission Pro Hac Vice of Maxwell Huffman, Esquire, as Counsel for Plaintiff City of Birmingham Retirement and Relief System)
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Request |
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252 |
Filed: 11/23/2021, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Maxwell Huffman, Esquire, as Counsel for Plaintiff City of Birmingham Retirement and Relief System with Certificate of Service
- Attachment 1 Certification of Maxwell Huffman, Esquire as Counsel for Plaintiff City of Birmingham Retirement and Relief System Pursuant to Chancery Court Rule 170(c)
- Attachment 2 Huffman, Maxwell: [Proposed] Order for Admission Pro Hac Vice of Maxwell Huffman, Esquire, as Counsel for Plaintiff City of Birmingham Retirement and Relief System
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Request |
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251 |
Filed: 11/23/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Defendants' Response to the Operative Complaint)
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Request |
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250 |
Filed: 11/22/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Defendants' Response to the Operative Complaint
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249 |
Filed: 11/16/2021, Entered: None |
Issuance of Summons |
|
11.08.2021 Issued 1 Summons (2nd Amended Complaint) 7 copies (3114) to Counsel.
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|
Request |
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248 |
Filed: 11/12/2021, Entered: None |
Public Version |
|
Public Version of the Second Amended and Consolidated Verified Stockholder Derivative Complaint with Certificate of Service
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247 |
Filed: 11/11/2021, Entered: None |
Interlocutory Appeal |
|
Robert A. Feuer’s Application for Certification of Interlocutory Appeal
- Attachment 1 [Proposed] Order Granting Leave to Appeal from Interlocutory Order
- Attachment 2 Certificate of Service to Robert A. Feuer’s Application for Certification of Interlocutory Appeal
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Request |
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246 |
Filed: 11/10/2021, Entered: None |
Certification |
|
Certified copy of Supreme Court Order dated November 9, 2021 to Clerk of Court below. Case Closed.
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Request |
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245 |
Filed: 11/8/2021, Entered: None |
Letter Decision |
|
Letter Opinion issued by Vice Chancellor Slights on November 8, 2021, on Plaintiff Robert A. Feuer's Motion for Reargument or Reconsideration
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|
|
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244 |
Filed: 11/8/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Regarding Enlargement of Time (regarding the filing of public version of the Second Amended and Consolidated Verified Stockholder Derivative Complaint))
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Request |
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243 |
Filed: 11/5/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Regarding Enlargement of Time (regarding the filing of public version of the Second Amended and Consolidated Verified Stockholder Derivative Complaint)
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Request |
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242 |
Filed: 11/4/2021, Entered: None |
Amended Complaint |
|
(Confidential Filing) Second Amended and Consolidated Verified Stockholder Derivative Complaint with Certificate of Service
- Attachment 1 (Confidential Filing) Exhibit 1 to Second Amended and Consolidated Verified Stockholder Derivative Complaint (Redline of Second Amended Verified Stockholder Derivative Complaint filed July 20, 2021 with Second Amended and Consolidated Verified Stockholder Derivative Complaint)
- Attachment 2 Declaration of Aeisha Mastagni (California State Teachers' Retirement System) to the Second Amended and Consolidated Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 3 Declaration of Jay Turner (City of Birmingham Retirement and Relief System) to the Second Amended and Consolidated Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 4 Declaration of Michael Prohaska (Construction and General Laborers' Local Union No. 79 General Fund) to the Second Amended and Consolidated Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 5 Exhibits A-C to Second Amended and Consolidated Verified Stockholder Derivative Complaint
- Attachment 6 Summons Instruction Letter for service pursuant to 10 Del. C. 3114
- Attachment 7 Statement Under Court of Chancery Rule 4(dc) Regarding Service Under 10 Del. C. Section 3114
- Attachment 8 Letter to the Register in Chancery Certifying Compliance with Chancery Court Rule 5.1
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241 |
Filed: 11/3/2021, Entered: None |
Notice of Appeal to Supreme Court |
|
Notice of Appeal from the Interlocutory Order dated 10-5-21 in the Court of Chancery by Vice Chancellor Joseph R. Slights III in Consol. C.A. No. 2018-0307, with designation of no further transcript. (eserved) (DISCLOSURES DUE 11-18-21) (257) (jkh)
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|
Request |
|
|
|
240 |
Filed: 11/2/2021, Entered: None |
Order |
|
Order Refusing Application for Certification of Interlocutory Appeal issued by V.C. Slights on 11.2.21
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|
|
|
|
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239 |
Filed: 10/26/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Elizabeth Wang enclosing two courtesy copies of the Response of CalSTRS Plaintiffs to Rhode Island Group's Application for Certification of Interlocutory Appeal with supporting documents
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|
Request |
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238 |
Filed: 10/25/2021, Entered: None |
Response |
|
Response of CalSTRS Plaintiffs to Rhode Island Group's Application for Certification of Interlocutory Appeal with Certificate of Service
- Attachment 1 Exhibits A-B to Response of CalSTRS Plaintiffs to Rhode Island Group's Application for Certification of Interlocutory Appeal
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Request |
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237 |
Filed: 10/22/2021, Entered: None |
Letter |
|
Letter to Vice Chancellor Joseph R. Slights III from Daniel K. Astin, Esq. dated October 22, 2021 in Response to Cal STR Plaintiffs Letter Dated October 18, 2021 Regarding Motion for Reconsideration
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|
Request |
|
|
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236 |
Filed: 10/18/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Samuel L. Closic, Esq. on behalf of the CalSTRS Plaintiffs in response to Plaintiff Robert A. Feuer's Motion for Reargument or Reconsideration, filed on October 11, 2021
- Attachment 1 Exhibit A to Letter to The Honorable Joseph R. Slights III from Samuel L. Closic, Esq. on behalf of the CalSTRS Plaintiffs in response to Plaintiff Robert A. Feuer's Motion for Reargument or Reconsideration, filed on October 11, 2021
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|
Request |
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|
|
235 |
Filed: 10/15/2021, Entered: None |
Interlocutory Appeal |
|
Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 1 [Proposed] Order Granting Leave to Appeal from Interlocutory Order
- Attachment 2 CONFIDENTIAL Exhibit A to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 3 Exhibit B to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 4 CONFIDENTIAL Exhibit C to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 5 Exhibits D - F to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 6 Exhibits G - I to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 7 Certificate of Service to Rhode Island Group’s Application for Certification of Interlocutory Appeal
- Attachment 8 Letter to Vice Chancellor Slights from Nathan A. Cook enclosing courtesy copies of Rhode Island Group’s Application for Certification of Interlocutory Appeal
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Request |
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234 |
Filed: 10/14/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 9.30.21 Oral Argument re Motion to Consolidate or Stay and Motion to Appoint Lead Counsel and Co-Lead Plaintiff - Held via Zoom
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|
Request |
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233 |
Filed: 10/12/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from David E. Ross, counsel for the Facebook Defendants, concerning Plaintiff Robert A. Feuer’s Motion for Reargument or Reconsideration, filed on October 11, 2021
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|
Request |
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232 |
Filed: 10/11/2021, Entered: None |
Exhibit(s) |
|
Exhibit A to Robert A Feuer's Motion for Reargument or Reconsideration with Certificate of Service
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|
Request |
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|
|
Save 25% on a pre-paid one year subscription. |
|
|
231 |
Filed: 10/11/2021, Entered: None |
Motion |
|
Robert A Feuer's Motion for Reargument or Reconsideration with Certificate of Service
- Attachment 1 Proposed Order on Robert A Feuer's Motion for Reargument or Reconsideration
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|
Request |
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230 |
Filed: 10/5/2021, Entered: None |
Memorandum, Opinion |
|
Memorandum Opinion issued by Vice Chancellor Slights on October 5, 2021, on the Motion to Consolidate and the Motions to Stay the Feuer Action
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|
|
|
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|
229 |
Filed: 10/5/2021, Entered: None |
Order |
|
Order Establishing Leadership Structure, entered by Vice Chancellor Slights on October 5, 2021
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|
Request |
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|
|
228 |
Filed: 10/1/2021, Entered: None |
Judicial Action Form |
|
Judicial Action Form-Oral Argument held 09.30.21 via Zoom. VC Slights. Jeanne Cahill, Court Reporter. Motion to Consolidate or Stay Feuer Action; Motion to Appoint Lead Counsel Co-Lead Plaintiff- Decisions Reserved.
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|
Request |
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|
227 |
Filed: 9/27/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Samuel L. Closic on behalf of the CalSTRS Plaintiffs to provide copies of a demonstrative and an authority that we may refer to at the September 30, 2021 hearing
- Attachment 1 Exhibits 1-2 to Letter to The Honorable Joseph R. Slights III from Samuel L. Closic on behalf of the CalSTRS Plaintiffs to provide copies of a demonstrative and an authority that we may refer to at the September 30, 2021 hearing
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|
Request |
|
|
|
226 |
Filed: 9/27/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Nathan A. Cook Responding to Mr. Astin’s September 27, 2021 Letter
|
|
Request |
|
|
|
225 |
Filed: 9/27/2021, Entered: None |
Letter |
|
Letter to Vice Chancellor Slights from Daniel K. Astin, Esq. dated September 27, 2021
- Attachment 1 Attachment to Letter to Vice Chancellor Slights from Daniel K. Astin, Esq. dated September 27, 2021
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|
Request |
|
|
|
224 |
Filed: 9/17/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Nathan A. Cook enclosing materials that the Rhode Island Plaintiffs may refer to at the September 30, 2021 hearing
- Attachment 1 Exhibits 1 - 3 to the Letter to The Honorable Joseph R. Slights III from Nathan A. Cook enclosing materials that the Rhode Island Plaintiffs may refer to at the September 30, 2021 hearing
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|
Request |
|
|
|
223 |
Filed: 9/15/2021, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Samuel L. Closic regarding the parties have conferred about the order of presentation and duration of the arguments
|
|
Request |
|
|
|
222 |
Filed: 9/7/2021, Entered: None |
reply |
|
The Facebook Defendants’ Reply in Further Support of Their Motion to Consolidate or, in the Alternative, to Stay the Feuer Action (with Certificate of Service)
- Attachment 1 Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing courtesy copies of The Facebook Defendants’ Reply in Further Support of Their Motion to Consolidate or, in the Alternative, to Stay the Feuer Action
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|
Request |
|
|
|
221 |
Filed: 8/31/2021, Entered: None |
Public Version |
|
Public Version of Response of CalSTRS Plaintiffs to Application for Leadership by Rhode Island Plaintiffs with Certificate of Service
|
|
Request |
|
|
|
220 |
Filed: 8/31/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Rhode Island Group's Opposition to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund, and City of Birmingham Retirement and Relief System with Certificate of Service
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|
Request |
|
|
|
219 |
Filed: 8/27/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Herkenhoff, Kathleen A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice to Represent Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System)
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|
Request |
|
|
|
218 |
Filed: 8/26/2021, Entered: None |
Motion for Pro Hac Vice |
|
Herkenhoff, Kathleen A.: Motion for Admission Pro Hac Vice to Represent Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System, with Certificate of Service
- Attachment 1 Herkenhoff, Kathleen A.: Certification in Support of Motion for Admission Pro Hac Vice to Represent Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 2 Herkenhoff, Kathleen A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice to Represent Plaintiffs Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
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|
Request |
|
|
|
217 |
Filed: 8/24/2021, Entered: None |
Response |
|
(Confidential Filing) Response of CalSTRS Plaintiffs to Application for Leadership by Rhode Island Plaintiffs with Certificate of Service
- Attachment 1 Exhibit A to Response of CalSTRS Plaintiffs to Application for Leadership by Rhode Island Plaintiffs
- Attachment 2 Compendium of Transcript and Order Cited in Response of CalSTRS Plaintiffs to Application for Leadership by Rhode Island Plaintiffs with Certificate of Service
- Attachment 3 Tabs 1-2 to Compendium of Transcript and Order Cited in Response of CalSTRS Plaintiffs to Application for Leadership by Rhode Island Plaintiffs
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|
|
|
|
|
215 |
Filed: 8/24/2021, Entered: None |
Response |
|
Rhode Island Plaintiffs' Response to the Facebook Defendants' Motion to Consolidate or, in the Alternative, to Stay the Feuer Action, with Certificate of Service
|
|
Request |
|
|
|
216 |
Filed: 8/24/2021, Entered: None |
Letter |
|
Letter from Nathan A. Cook, Esq., to the Honorable Joseph R. Slights III enclosing courtesy copies of Rhode Island Plaintiffs' Response to the Facebook Defendants' Motion to Consolidate
|
|
Request |
|
|
|
211 |
Filed: 8/24/2021, Entered: None |
Opposition |
|
Rhode Island Group's Opposition to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund, and City of Birmingham Retirement and Relief System, with Certificate of Service
|
|
Request |
|
|
|
212 |
Filed: 8/24/2021, Entered: None |
Declaration |
|
Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group's Opposition to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund, and City of Birmingham Retirement and Relief System, with Certificate of Service
|
|
Request |
|
|
|
213 |
Filed: 8/24/2021, Entered: None |
Exhibit(s) |
|
Exhibits P-U to Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group's Opposition to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund, and City of Birmingham Retirement and Relief System
|
|
Request |
|
|
|
214 |
Filed: 8/24/2021, Entered: None |
Letter |
|
Letter from Nathan A. Cook, Esq., to the Honorable Joseph R. Slights III enclosing courtesy copies of (1) Rhode Island Group’s Opposition to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel and (2) Transmittal Declaration of Nathan A. Cook in support thereof, with Exhibits P-U
|
|
Request |
|
|
|
210 |
Filed: 8/24/2021, Entered: None |
Opposition |
|
Robert A. Feuer's Opposition to the Facebook Defendants' Motion to Consolidate, or , in the Alternative, to Stay (with Certificate of Service)
|
|
Request |
|
|
|
208 |
Filed: 8/20/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Feldman, Boris: Proposed Order for the Admission of Pro Hac Vice to represent Defendant Palantir Technologies Inc.)
|
|
Request |
|
|
|
209 |
Filed: 8/20/2021, Entered: None |
Order Pro Hac Vice |
|
Granted (Livshiz, David Y.: Proposed Order for the Admission of Pro Hac Vice to represent Defendant Palantir Technologies Inc.)
|
|
Request |
|
|
|
206 |
Filed: 8/19/2021, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Boris Feldman, Esq. to represent Defendant Palantir Technologies Inc., with Certificate of Service
- Attachment 2 Certification of Pro Hac Vice of Boris Feldman, Esq. in support of his Motion for Admission Pro Hac Vice to represent Defendant Palantir Technologies Inc.
- Attachment 3 Feldman, Boris: Proposed Order for the Admission of Pro Hac Vice to represent Defendant Palantir Technologies Inc.
- Attachment 4 Certification of Pro Hac Vice of David Y. Livshiz, Esq. in support of his Motion for Admission Pro Hac Vice to represent Defendant Palantir Technologies Inc.
- Attachment 5 Livshiz, David Y.: Proposed Order for the Admission of Pro Hac Vice to represent Defendant Palantir Technologies Inc.
|
|
Request |
|
|
|
207 |
Filed: 8/19/2021, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of David Y. Livshiz, Esq. to represent Defendant Palantir Technologies Inc., with Certificate of Service
|
|
Request |
|
|
|
205 |
Filed: 8/11/2021, Entered: None |
Order |
|
Granted (Stipulation Regarding Palantir Technologies Inc.'s Agreement to Case Consolidation)
|
|
Request |
|
|
|
203 |
Filed: 8/10/2021, Entered: None |
Entry of Appearance |
|
Entry of Appearance of A. Thompson Bayliss, Esq. and Daniel J. McBride, Esq. of Abrams & Bayliss LLP in the above-captioned action on behalf of defendant Palantir Technologies Inc., with Certificate of Service
- Attachment 2 Certificate of Service to Stipulation Regarding Palantir Technologies Inc.'s Agreement to Case Consolidation
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|
Request |
|
|
|
204 |
Filed: 8/10/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation Regarding Palantir Technologies Inc.'s Agreement to Case Consolidation
|
|
Request |
|
|
|
202 |
Filed: 8/10/2021, Entered: None |
Public Version |
|
Public Version of Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System with Certificate of Service
|
|
Request |
|
|
|
201 |
Filed: 8/10/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Rhode Island Group’s Leadership Application with Certificate of Service
|
|
Request |
|
|
|
200 |
Filed: 8/6/2021, Entered: None |
Public Version |
|
Public Version of Second Amended Stockholder Derivative Complaint with Certificate of Service
|
|
|
|
|
|
199 |
Filed: 8/6/2021, Entered: None |
Public Version |
|
PUBLIC VERSION Verified Stockholder Derivative Complaint
|
|
Request |
|
|
|
198 |
Filed: 8/4/2021, Entered: None |
Letter |
|
Letter from Nathan A. Cook, Esq., to the Honorable Joseph R. Slights III enclosing courtesy copies of Rhode Island Group’s Verified Stockholder Derivative Complaint with verifications and Exhibits A-H
|
|
Request |
|
|
|
197 |
Filed: 8/3/2021, Entered: None |
Motion to Consolidate |
|
The Facebook Defendants' Motion to Consolidate or, in the Alternative, to Stay the Feuer Action (with Certificate of Service)
- Attachment 1 Exhibit A to The Facebook Defendants' Motion to Consolidate or, in the Alternative, to Stay the Feuer Action
- Attachment 2 [Proposed] Order Granting The Facebook Defendants' Motion to Consolidate or, in the Alternative, to Stay the Feuer Action
- Attachment 3 Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing courtesy copies of The Facebook Defendants' Motion to Consolidate or, in the Alternative, to Stay the Feuer Action
|
|
Request |
|
|
|
196 |
Filed: 8/3/2021, Entered: None |
Motion |
|
(Confidential Filing) Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund and City of Birmingham Retirement and Relief System with Certificate of Service
- Attachment 1 [Proposed] Order Granting Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund and City of Birmingha
- Attachment 2 Exhibits 1-8 to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund and City of Birmingham Retireme
- Attachment 3 Exhibits 9-11 to Application for Appointment of Lead Plaintiffs and Co-Lead Counsel by Plaintiffs California State Teachers' Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund and City of Birmingham Retirem
|
|
|
|
|
|
195 |
Filed: 8/3/2021, Entered: None |
other |
|
Rhode Island Group’s Leadership Application (CONFIDENTIAL)
- Attachment 1 Unsworn Declaration of Amy L. Crane Pursuant to 10 Del. C. § 3927
- Attachment 2 Unsworn Declaration of Alfred T. Marciano Pursuant to 10 Del. C. § 3927
- Attachment 3 Certificate of Service to Rhode Island Group’s Leadership Application
- Attachment 4 Appendix A to Rhode Island Group’s Leadership Application
- Attachment 5 Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group’s Leadership Application, with Certificate of Service
- Attachment 6 Exhibits A - E to the Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group’s Leadership Application
- Attachment 7 Exhibits F - J to the Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group’s Leadership Application
- Attachment 8 Exhibits K - O to the Transmittal Declaration Pursuant to 10 Del. C. § 3927 of Nathan A. Cook in Support of Rhode Island Group’s Leadership Application
- Attachment 9 [Proposed] Order Granting Rhode Island Group’s Leadership Application
- Attachment 10 Letter from Nathan A. Cook, Esq., to the Honorable Joseph R. Slights III enclosing courtesy copies of (1) Rhode Island Group’s Leadership Application, with related declarations and Appendix A, (2) Transmittal Declaration of Nathan A. Cook in support
|
|
Request |
|
|
|
194 |
Filed: 8/2/2021, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for Consolidation of Related Actions)
|
|
Request |
|
|
|
193 |
Filed: 7/29/2021, Entered: None |
Letter |
|
Letter to Vice Chancellor Slights from Daniel K. Astin, Esq. Regarding Stipulation and [Proposed] Order for Consolidation of Related Actions
|
|
Request |
|
|
|
192 |
Filed: 7/27/2021, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order for Consolidation of Related Actions
- Attachment 1 Letter from Nathan A. Cook, Esq. to the Honorable Joseph R. Slights III enclosing courtesy copy of Stipulation and [Proposed] Order for Consolidation of Related Actions
|
|
Request |
|
|
|
191 |
Filed: 7/26/2021, Entered: None |
Letter |
|
Letter dated July 26, 2021, from VC Slights to counsel rescheduling oral argument regarding the parties' leadership structure from September 14, 2021, to September 30, 2021, at 1:30 p.m., via Zoom
|
|
Request |
|
|
|
190 |
Filed: 7/21/2021, Entered: None |
Issuance of Summons |
|
Issued 1 Summons (3114) 7 Copies to Counsel. 7.21.2021.
|
|
Request |
|
|
|
189 |
Filed: 7/20/2021, Entered: None |
Amended Complaint |
|
(Confidential Filing) Second Amended Verified Stockholder Derivative Complaint with Certificate of Service
- Attachment 1 (Confidential Filing) Exhibit 1 (Redline of First Amended Verified Stockholder Derivative Complaint filed August 7, 2018 with Second Amended Verified Stockholder Derivative Complaint)
- Attachment 2 Declaration of Karen Sbriglio to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 3 Declaration of John D. Brewer (Firemen's Retirement System of St. Louis) to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 4 Declaration of Aeisha Mastagni (California State Teachers' Retirement System) to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 5 Declaration of Jay Turner (City of Birmingham Retirement and Relief System) to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 6 Declaration of Lidia Levy to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 7 Declaration of Michael Prohaska (Construction and General Laborers' Local No. 79 General Fund) to Second Amended Verified Stockholder Derivative Complaint Pursuant to 10 Del. C. Section 3927
- Attachment 8 Summons Instruction Letter for service pursuant to 10 Del. C. 3114
- Attachment 9 Statement Under Court of Chancery Rule 4(dc) Regarding Service Under 10 Del. C. Section 3114
- Attachment 10 Letter to the Register in Chancery Certifying Compliance with Chancery Court Rule 5.1
- Attachment 11 Exhibits A-C to Second Amended Verified Stockholder Derivative Complaint
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188 |
Filed: 7/20/2021, Entered: None |
Entry of Appearance |
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Entry of Appearance of Samuel L. Closic, Kevin H. Davenport, John G. Day, and Elizabeth Wang of Prickett, Jones & Elliott, P.A. as counsel for The City of Birmingham Relief and Retirement System, Construction and General Building Laborers’ Local No. 79 General Fund, and Lidia Levy with Certificate of Service
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Request |
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187 |
Filed: 7/19/2021, Entered: None |
Order |
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Granted (Stipulation and (Proposed) Order Modifying the June 29, 2021 Order Regarding Case Schedule to Authorize Confidential Filing of Plenary Complaints)
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186 |
Filed: 7/19/2021, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and (Proposed) Order Modifying the June 29, 2021 Order Regarding Case Schedule to Authorize Confidential Filing of Plenary Complaints
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185 |
Filed: 7/15/2021, Entered: None |
Notice |
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Notice of Change of Firm Address with Certificate of Service
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Request |
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184 |
Filed: 7/14/2021, Entered: None |
Notice |
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Notice of Change of Firm Address with Certificate of Service
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Request |
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183 |
Filed: 7/12/2021, Entered: None |
Order |
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Granted (Stipulation and [Proposed] Order Regarding Enlargement of Time (regarding the filing of public versions of the Complaints))
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Request |
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182 |
Filed: 7/12/2021, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and [Proposed] Order Regarding Enlargement of Time (regarding the filing of public versions of the Complaints)
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Request |
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181 |
Filed: 7/8/2021, Entered: None |
Letter |
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Letter dated July 8, 2021, from VC Slights to counsel scheduling oral argument for September 14, 2021, at 9:15 a.m. on the parties' forthcoming leadership applications, via Zoom
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Request |
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180 |
Filed: 6/29/2021, Entered: None |
Scheduling Order |
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Stipulation and Order Regarding Case Schedule, approved by Vice Chancellor Slights on June 29, 2021
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Request |
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179 |
Filed: 6/25/2021, Entered: None |
Letter |
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Letter to Vice Chancellor Slights from Nathan A. Cook regarding Scheduling Update
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Request |
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178 |
Filed: 6/25/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
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Transcript of 6.8.21 Status Conference Held via Zoom
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Request |
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177 |
Filed: 6/21/2021, Entered: None |
Judicial Action Form |
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Judicial Action Form received 06.21.21- Telephonic Conf. Status held 06.08.21. VC Slights. Jeanne Cahill, Court Reporter. See Transcript
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Request |
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176 |
Filed: 6/15/2021, Entered: None |
Letter |
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Letter to Vice Chancellor Slights from Nathan A. Cook regarding Schedule for Leadership and Consolidation
- Attachment 1 Stipulation and [Proposed] Order Regarding Case Schedule
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Request |
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175 |
Filed: 5/14/2021, Entered: None |
Order |
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Granted ([Proposed] Order Granting Motion to Withdraw David A. Straite as Counsel to Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System)
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Request |
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174 |
Filed: 5/13/2021, Entered: None |
Motion |
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Motion to Withdraw David A. Straite as Counsel to Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 1 [Proposed] Order Granting Motion to Withdraw David A. Straite as Counsel to Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
- Attachment 2 Certificate of Service to Motion to Withdraw David A. Straite as Counsel to Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis and California State Teachers’ Retirement System
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Request |
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173 |
Filed: 5/11/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
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4-28-2021 Telephonic Status Conference
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Request |
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172 |
Filed: 5/3/2021, Entered: None |
Letter |
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Letter dated May 3, 2021, from VC Slights to counsel scheduling a status conference for June 8, 2021, at 1:30 p.m., via Zoom
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Request |
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171 |
Filed: 4/30/2021, Entered: None |
Judicial Action Form |
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Judicial Action Form-Zoom Telephone Conference Status held 04.28.21. VC Slights. Jeanne Cahill, Court Reporter. See Transcript.
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Request |
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170 |
Filed: 3/29/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
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3-17-21 Status conference
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Request |
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169 |
Filed: 3/23/2021, Entered: None |
Letter |
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Letter dated March 23, 2021, from VC Slights to counsel scheduling a status conference for April 28, 2021, at 1:30 p.m., via Zoom
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Request |
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168 |
Filed: 3/18/2021, Entered: None |
Judicial Action Form |
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Judicial Action completed by Karen Siedlecki, Court Reporter. Status teleconference held 3-17-21 via Zoom. See transcript.
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Request |
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167 |
Filed: 3/15/2021, Entered: None |
Letter |
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Letter to the Honorable Joseph R. Slights III from Nathan A. Cook, Esq. Regarding Proposed Agenda for Status Conference Scheduled for March 17, 2021
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Request |
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166 |
Filed: 3/9/2021, Entered: None |
Official Transcript (Addl Fees Apply) |
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Transcript, 2-16-21. Oral Argument and Rulings of the Court on Motion to Consolidate and Motions to Intervene. Held via Zoom.
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Request |
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165 |
Filed: 2/19/2021, Entered: None |
Letter |
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Letter dated February 19, 2021, from VC Slights to counsel scheduling a status conference for March 17, 2021, at 1:30 p.m., via Zoom
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Request |
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164 |
Filed: 2/17/2021, Entered: None |
Judicial Action Form |
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Judicial Action Form-Held 02.16.21. VC Slights. Oral Argument and rulings of the Court of Plts' Motion for Consolidation Related Actions and Entry of Briefing Schedule on Rhode Island's Motion to Intervene; Robert A. Feuer's Motion to intervene and Respond to Local 79 Plts' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appt Lead Plts and Lead Counsel. Douglas Zweizig, Court Reporter. See Transcript.
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Request |
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163 |
Filed: 2/16/2021, Entered: None |
Order Pro Hac Vice |
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Granted (Nam, Hae Sung: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis, and California State Teachers’ Retirement System)
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Request |
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162 |
Filed: 2/16/2021, Entered: None |
Order Pro Hac Vice |
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Granted (Johnson, Geoffrey, M.: [Proposed] Order for Admission Pro Hac Vice of Geoffrey M. Johnson, Esquire as Counsel for Plaintiff City of Birmingham Retirement and Relief System)
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Request |
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161 |
Filed: 2/15/2021, Entered: None |
Motion for Pro Hac Vice |
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Johnson, Geoffrey, M.: Motion for Admission Pro Hac Vice of Geoffrey M. Johnson, Esquire as Counsel for Plaintiff City of Birmingham Retirement and Relief System with Certificate of Service
- Attachment 1 Johnson, Geoffrey, M.: Certification of Geoffrey M. Johnson, Esquire in Support of Motion for Admission Pro Hac Vice of Geoffrey M. Johnson, Esquire as Counsel for Plaintiff City of Birmingham Retirement and Relief System
- Attachment 2 Johnson, Geoffrey, M.: [Proposed] Order for Admission Pro Hac Vice of Geoffrey M. Johnson, Esquire as Counsel for Plaintiff City of Birmingham Retirement and Relief System
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Request |
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160 |
Filed: 2/15/2021, Entered: None |
Motion for Pro Hac Vice |
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Nam, Hae Sung: Motion for Admission Pro Hac Vice on behalf of Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis, and California State Teachers’ Retirement System
- Attachment 1 Nam, Hae Sung: Certification of Hae Sung Nam in Support of Motion for Admission Pro Hac Vice on behalf of Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis, and California State Teachers’ Retirement System
- Attachment 2 Nam, Hae Sung: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis, and California State Teachers’ Retirement System
- Attachment 3 Nam, Hae Sung: Certificate of Service to Motion for Admission Pro Hac Vice on behalf of Plaintiffs Karen Sbriglio, Firemen’s Retirement System of St. Louis, and California State Teachers’ Retirement System
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Request |
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159 |
Filed: 1/7/2021, Entered: None |
Order Pro Hac Vice |
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Granted (Murphy, J. Emmett: [Proposed] Order for Admission Pro Hac Vice on behalf of PricewaterhouseCoopers, LLP)
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Request |
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158 |
Filed: 1/7/2021, Entered: None |
Motion for Pro Hac Vice |
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Motion for Admission Pro Hac Vice of J. Emmett Murphy on behalf of PricewaterhouseCoopers, LLP (with Certificate of Service)
- Attachment 1 Certification of J. Emmett Murphy for Admission Pro Hac Vice on behalf of PricewaterhouseCoopers, LLP
- Attachment 2 Murphy, J. Emmett: [Proposed] Order for Admission Pro Hac Vice on behalf of PricewaterhouseCoopers, LLP
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Request |
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157 |
Filed: 1/7/2021, Entered: None |
Letter |
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Letter dated January 7, 2021, from VC Slights to counsel rescheduling oral argument on (1) Pls' Mot. for Consolidation and Entry of a Briefing Schedule for Appt. of Lead Plaintiffs and Lead Counsel; (2) Emps' Ret. Sys. of Rhode Island's Mot. to Intervene; and (3) Robert A. Feuer's Mot. to Intervene and Respond to Local 79 Pls' Mot. for Consolidation and Entry of a Briefing Schedule, currently scheduled for January 12, 2021 to February 16, 2021, at 1:30 p.m., via Zoom
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Request |
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156 |
Filed: 1/6/2021, Entered: None |
Order Pro Hac Vice |
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Granted (Greenfield, Richard D. :(Proposed Order re Motion for Pro Hac Vice)
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Request |
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154 |
Filed: 1/5/2021, Entered: None |
Motion for Pro Hac Vice |
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Motion for Admission Pro Hac Vice of Richard Greenfield
- Attachment 2 Certification Pursuant to Court of Chancery Rule 170 (c)
- Attachment 3 Exhibit A to Certification Pursuant to Court of Chancery Rule 170 (c)
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Request |
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155 |
Filed: 1/5/2021, Entered: None |
Proposed Order - Pro Hac Vice |
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Proposed Order re Motion for Pro Hac Vice
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Request |
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153 |
Filed: 1/5/2021, Entered: None |
reply |
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Robert A. Feuer's Omnibus Reply in Support of Motion to Intervene and Respond to Local 79 Plaintiffs' Motion for Consolidation of Related Actions and Entry of Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
- Attachment 1 Exhibit A to Robert A. Feuer's Omnibus Reply In Support of Motion to Intervene
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Request |
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152 |
Filed: 1/5/2021, Entered: None |
Letter |
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LETTER TO VICE CHANCELLOR SLIGHTS ENCLOSING COURTESY COPIES OF CALSTRS PLAINTIFFS' RESPONSE TO FEUER'S MOTION TO INTERVENE AND RESPOND TO MOTION FOR CONSOLIDATION, WITH PROPOSED FORM OF ORDER
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Request |
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151 |
Filed: 12/23/2020, Entered: None |
Response |
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Employees’ Retirement System of Rhode Island’s Response to Proposed Intervenor Robert Feuer’s Motion to Intervene and Respond to Local 79 Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel, with Certificate of Service
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Request |
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150 |
Filed: 12/23/2020, Entered: None |
Opposition |
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Local 79 Plaintiffs' Opposition to Robert A. Feuer's Motion to Intervene and Respond to Local 79 Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
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Request |
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149 |
Filed: 12/23/2020, Entered: None |
Response to Other Motion |
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CALSTRS PLAINTIFFS' RESPONSE TO FEUER'S MOTION TO INTERVENE AND RESPOND TO MOTION FOR CONSOLIDATION
- Attachment 1 [PROPOSED] ORDER ON ROBERT FEUER'S MOTION TO INTERVENE
- Attachment 2 CERTIFICATE OF SERVICE TO CALSTRS PLAINTIFFS' RESPONSE TO FEUER'S MOTION TO INTERVENE AND RESPOND TO MOTION FOR CONSOLIDATION
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Request |
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148 |
Filed: 12/23/2020, Entered: None |
Order |
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Granted (Stipulation and [Proposed] Order re Briefing Schedule on Motion to Intervene filed by R.A. Feuer)
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Request |
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147 |
Filed: 12/22/2020, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation and [Proposed] Order re Briefing Schedule on Motion to Intervene filed by R.A. Feuer
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Request |
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146 |
Filed: 12/18/2020, Entered: None |
Letter |
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Letter dated December 18, 2020, from VC Slights to counsel changing the argument on January 12, 2021, at 1:30 p.m. on (1) Pls' Mot. for Consolidation and Entry of a Briefing Schedule; (2) Empls' Ret. Sys. of Rhode Island's Mot. to Intervene; and (3) Robert A. Feuer's Mot. to Intervene from a telephonic argument to an argument via Zoom
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Request |
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145 |
Filed: 12/16/2020, Entered: None |
Motion |
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ROBERT A. FEUER’S MOTION TO INTERVENE AND RESPOND TO LOCAL 79 PLAINTIFFS’ MOTION FOR CONSOLIDATION OF RELATED ACTIONS AND ENTRY OF A BRIEFING SCHEDULE FOR APPOINTMENT OF LEAD PLAINTIFF(S) AND LEAD COUNSEL WITH CERTIFICATE OF SERVICE
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Request |
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144 |
Filed: 11/23/2020, Entered: None |
Letter |
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Letter dated November 23, 2020, from VC Slights to counsel scheduling a telephonic argument for January 12, 2021, at 1:30 p.m. concerning (1) Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel and (2) Employees' Retirement System of Rhode Island's Motion to Intervene (via Court-Solutions LLC)
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Request |
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141 |
Filed: 11/20/2020, Entered: None |
reply |
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Plaintiffs' Omnibus Reply in Further Support of Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
- Attachment 3 Tabs 1-3 to Compendium of Transcript and Orders cited in Plaintiffs' Omnibus Reply in further support of Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel
- Attachment 4 Exhibit A to Transmittal Declaration of Samuel L. Closic in Support of Plaintiffs' Omnibus Reply in Further Support of Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel
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Request |
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142 |
Filed: 11/20/2020, Entered: None |
Compendium |
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Compendium of Transcript and Orders cited in Plaintiffs' Omnibus Reply in further support of Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
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Request |
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143 |
Filed: 11/20/2020, Entered: None |
Declaration |
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Transmittal Declaration of Samuel L. Closic in Support of Plaintiffs' Omnibus Reply in Further Support of Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
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Request |
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140 |
Filed: 11/20/2020, Entered: None |
reply |
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Employees' Retirement System of Rhode Island's Reply in Support of Motion to Intervene and Oppose, in Part, Local 79 Plaintiffs Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with certificate of service
- Attachment 1 Letter to The Honorable Joseph R. Slights Regarding Employees' Retirement System of Rhode Island's Reply in Support of Motion to Intervene and Oppose, in Part, Local 79 Plaintiffs Motion for Consolidation of Related Actions and Entry of a Briefing Sc
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Request |
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139 |
Filed: 11/17/2020, Entered: None |
Letter |
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Letter to Court enclosing CalSTRS Plaintiffs' Opposition to (A) Motion for Consolidation and Entry of a Briefing Schedule for Leadership and (B) Motion for Intervention with proposed form of Order and Certificate of Service
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Request |
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137 |
Filed: 11/16/2020, Entered: None |
Opposition |
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CalSTRS Plaintiffs' Opposition to (A) Motion for Consolidation and Entry of a Briefing Schedule for Leadership and (B) Motion for Intervention
- Attachment 2 [Proposed] Order Denying the (A) Motion for Motion for Consolidation and Entry of a Briefing Schedule for Leadership and (B) Motion for Intervention
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Request |
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138 |
Filed: 11/16/2020, Entered: None |
Certificate of service |
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Certificate of Service (for CalSTRS Plaintiffs' Opposition to (A) Motion for Consolidation and Entry of a Briefing Schedule for Leadership and (B) Motion for Intervention, and Proposed Form of Order)
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Request |
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136 |
Filed: 11/13/2020, Entered: None |
Joinder |
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Defendant PricewaterhouseCoopers LLP’s Joinder in Facebook Defendants’ Opposition to Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel (with Certificate of Service)
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Request |
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135 |
Filed: 11/13/2020, Entered: None |
Opposition |
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The Facebook Defendants’ Opposition to Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel (with Certificate of Service)
- Attachment 1 Exhibit A to The Facebook Defendants’ Opposition to Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel
- Attachment 2 Letter to The Honorable Joseph R. Slights III from David E. Ross enclosing two courtesy copies of The Facebook Defendants’ Opposition to Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead
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Request |
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134 |
Filed: 11/10/2020, Entered: None |
Order |
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Granted (Stipulation & (Proposed) Order regarding Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel and Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel)
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Request |
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133 |
Filed: 11/9/2020, Entered: None |
Stipulation & (Proposed) Order |
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Stipulation & (Proposed) Order regarding Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel and Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel
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Request |
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132 |
Filed: 11/5/2020, Entered: None |
Opposition |
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Plaintiffs' Opposition to Employees' Retirement System of Rhode Island's Motion to Intervene and Oppose, in part, Local 79 Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
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Request |
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Save 25% on a pre-paid one year subscription. |
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131 |
Filed: 11/2/2020, Entered: None |
Letter |
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November 2, 2020 letter from counsel for the CalSTRS Plaintiffs (Thaddeus J. Weaver) regarding briefing on recently filed motions of Employees' Retirement System of Rhode Island and Local No. 79
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Request |
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130 |
Filed: 10/29/2020, Entered: None |
Motion |
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Employees’ Retirement System of Rhode Island’s Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
- Attachment 1 Employees’ Retirement System of Rhode Island’s [PROPOSED] Order to Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs’ to Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and
- Attachment 2 Employees’ Retirement System of Rhode Island’s Compendium in Support of Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) an
- Attachment 3 Letter to The Honorable Joseph R. Slights Enclosing Courtesy Copies of Employees’ Retirement System of Rhode Island’s Compendium in Support of Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs’ Motion for Consolidation of Related Actions a
- Attachment 4 Exhibits 1-3 to Employees’ Retirement System of Rhode Island’s Compendium in Support of Motion to Intervene and Oppose, In Part, Local 79 Plaintiffs’ Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead
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Request |
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129 |
Filed: 10/28/2020, Entered: None |
Motion to Consolidate |
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Plaintiffs' Motion for Consolidation of Related Actions and Entry of a Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel with Certificate of Service
- Attachment 1 [Proposed] Order Consolidating Related Actions and Setting Briefing Schedule for Appointment of Lead Plaintiff(s) and Lead Counsel for the Consolidated Action
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Request |
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128 |
Filed: 5/29/2020, Entered: None |
Letter |
|
May 29, 2020 Letter from Thaddeus J. Weaver, Esquire on behalf of the CalSTRS Plaintiffs, to Vice Chancellor Slights, regarding a proposed order on case schedule
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Request |
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127 |
Filed: 5/29/2020, Entered: None |
Letter |
|
Letter from Attorney Heyman to Vice Chancellor Slights regarding a proposed order
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Request |
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126 |
Filed: 5/29/2020, Entered: None |
Entry of Appearance |
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Notice of Entry of Appearance of Nathan A. Cook of Block & Leviton LLP on Behalf of Interested-Party Employees' Retirement System of Rhode Island with Certificate of Service
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Request |
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125 |
Filed: 5/29/2020, Entered: None |
Letter |
|
Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing [Proposed] Order Setting Schedule
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Request |
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124 |
Filed: 5/29/2020, Entered: None |
Entry of Appearance |
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Notice of Entry of Appearance of Kurt M. Heyman and Aaron M. Nelson of Heyman Enerio Gattuso & Hirzel LLP on Behalf of Interested Party Employees' Retirement System of Rhode Island with Certificate of Service
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Request |
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123 |
Filed: 5/26/2020, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from Samuel L. Closic on behalf of Construction and General Building Laborers’ Local No. 79 General Fund, City of Birmingham Retirement and Relief System, and Lidia Levy in response to Your Honor’s letter of May 1, 2020 and enclosing [Proposed] Order Setting Schedule
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|
Request |
|
|
|
122 |
Filed: 5/7/2020, Entered: None |
Letter |
|
Letter dated May 7, 2020 from VC Slights to counsel canceling the telephonic argument scheduled for May 8, 2020, at 11:00 a.m. concerning Plaintiff's Motion for Entry of an Order Requiring Defendants to Include Plaintiff in (I) Communications and (II) Responses to Status Update Requests and Inquiries Regarding the Lifting of Discovery-Related Stays
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Request |
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121 |
Filed: 5/1/2020, Entered: None |
Letter |
|
Letter dated May 1, 2020, from VC Slights to counsel requesting proposed schedule(s) for moving these matters forward
|
|
Request |
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120 |
Filed: 4/30/2020, Entered: None |
Status report |
|
Updated Joint Status Report
|
|
Request |
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119 |
Filed: 2/14/2020, Entered: None |
Letter |
|
Letter dated February 14, 2020, from VC Slights to counsel scheduling a telephonic argument for May 8, 2020, at 11:00 a.m. concerning Plaintiff's Motion for Entry of an Order Requiring Defendants to Include Plaintiff in (I) Communications and (II) Responses to Status Update Requests and Inquiries Regarding the Lifting of Discovery-Related Stays, filed in C.A. No. 2019-0324-JRS
|
|
Request |
|
|
|
118 |
Filed: 1/8/2020, Entered: None |
Letter |
|
Letter dated January 8, 2020 from VC Slights to counsel in response to the parties' status report of January 3, 2020
|
|
Request |
|
|
|
117 |
Filed: 1/3/2020, Entered: None |
Status report |
|
Updated Joint Status Report
|
|
Request |
|
|
|
116 |
Filed: 10/3/2019, Entered: None |
Letter |
|
Letter dated October 3, 2019, from VC Slights to counsel granting request to maintain stay. An updated joint status report is due on or before January 3, 2020.
|
|
Request |
|
|
|
115 |
Filed: 9/27/2019, Entered: None |
Status report |
|
Joint Status Report Regarding Parties' Position on Whether the Stay Should Remain in Place
|
|
Request |
|
|
|
114 |
Filed: 9/5/2019, Entered: None |
Letter |
|
Letter dated September 5, 2019, from VC Slights to counsel requesting a status report (due on or before September 27, 2019).
|
|
Request |
|
|
|
113 |
Filed: 9/5/2019, Entered: None |
Order |
|
Granted (STIPULATION AND [PROPOSED] ORDER TO ALLOW CALIFORNIA STATE TEACHERS' RETIREMENT SYSTEM TO INTERVENE AND JOIN AS A PARTY PLAINTIFF)
|
|
Request |
|
|
|
112 |
Filed: 9/3/2019, Entered: None |
Stipulation & (Proposed) Order |
|
STIPULATION AND [PROPOSED] ORDER TO ALLOW CALIFORNIA STATE TEACHERS' RETIREMENT SYSTEM TO INTERVENE AND JOIN AS A PARTY PLAINTIFF
- Attachment 1 CERTIFICATE OF SERVICE TO STIPULATION AND [PROPOSED] ORDER TO ALLOW CALIFORNIA STATE TEACHERS' RETIREMENT SYSTEM TO INTERVENE AND JOIN AS A PARTY PLAINTIFF
|
|
Request |
|
|
|
111 |
Filed: 8/20/2019, Entered: None |
Motion |
|
California State Teachers' Retirement System's ("CalSTRS") Motion for Intervention to Lift the Stay for the Limited Purpose of Adding CalSTRS as a Party Plaintiff
- Attachment 1 Exhibit 1 to "California State Teachers' Retirement System's (" CalSTRS") Motion for Intervention to Lift the Stay for the Limited Purpose of Adding CalSTRS as a Party Plaintiff"
- Attachment 2 (Proposed) Order Granting "California State Teachers' Retirement System's (" CalSTRS") Motion for Intervention to Lift the Stay for the Limited Purpose of Adding CalSTRS as a Party Plaintiff"
- Attachment 3 Certificate of Service to California State Teachers' Retirement System's ("CalSTRS") Motion for Intervention to Lift the Stay for the Limited Purpose of Adding CalSTRS as a Party Plaintiff
|
|
Request |
|
|
|
110 |
Filed: 1/7/2019, Entered: None |
Official Transcript (Addl Fees Apply) |
|
December 17, 2018 - Proposed intervenors' Motion to Intervene and Stay Proceedings and Ruling of the Court
|
|
Request |
|
|
|
107 |
Filed: 12/18/2018, Entered: None |
Order Pro Hac Vice |
|
Granted (Jacobsen, Scott, R.: [Proposed] Order for the Admission of Pro Hac Vice on behalf of Proposed Intervenor City of Birmingham Relief and Retirement System)
|
|
Request |
|
|
|
108 |
Filed: 12/18/2018, Entered: None |
Order Pro Hac Vice |
|
Granted (Schirripa, Frank R.: [Proposed] Order for the Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund)
|
|
Request |
|
|
|
109 |
Filed: 12/18/2018, Entered: None |
Order Pro Hac Vice |
|
Granted (Rehns, Daniel B.: [Proposed] Order for the Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund)
|
|
Request |
|
|
|
106 |
Filed: 12/18/2018, Entered: None |
Judicial Action Form |
|
Oral Argument on Motion to Stay and Motion to Intervene before Vice Chancellor Slights on 12.17.2018. Oral ruling on the record; see transcript. Motion to Stay & Motion to Intervene: Granted.
|
|
Request |
|
|
|
105 |
Filed: 12/18/2018, Entered: None |
Judicial Action Form |
|
Oral Argument on Motion to Stay and Motion to Intervene before Vice Chancellor Slights on 12.17.2018. Oral ruling on the record; see transcript. Motion to Stay & Motion to Intervene: Granted.
|
|
Request |
|
|
|
101 |
Filed: 12/14/2018, Entered: None |
Motion for Pro Hac Vice |
|
Jacobsen, Scott, R.: Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor City of Birmingham Relief and Retirement System with Certificate of Service
- Attachment 4 Jacobsen, Scott, R.: Certification to Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor City of Birmingham Relief and Retirement System
- Attachment 5 Jacobsen, Scott, R.: [Proposed] Order for the Admission of Pro Hac Vice on behalf of Proposed Intervenor City of Birmingham Relief and Retirement System
- Attachment 6 Schirripa, Frank R.: Certification to Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund
- Attachment 7 Schirripa, Frank R.: [Proposed] Order for the Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund
- Attachment 8 Rehns, Daniel B.: Certification to Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund
- Attachment 9 Rehns, Daniel B.: [Proposed] Order for the Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund
|
|
Request |
|
|
|
102 |
Filed: 12/14/2018, Entered: None |
Entry of Appearance |
|
Notice of Appearance of Jing-Li Yu of Scott+Scott Attorney at Law on behalf of Proposed Intervenor City of Birmingham Relief and Retirement System with Certificate of Service
|
|
Request |
|
|
|
103 |
Filed: 12/14/2018, Entered: None |
Motion for Pro Hac Vice |
|
Schirripa, Frank R.: Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund with Certificate of Service
|
|
Request |
|
|
|
104 |
Filed: 12/14/2018, Entered: None |
Motion for Pro Hac Vice |
|
Rehns, Daniel B.: Motion for Admission Pro Hac Vice on behalf of Proposed Intervenor Construction and General Building Laborers' Local Union No. 79 General Fund with Certificate of Service
|
|
Request |
|
|
|
100 |
Filed: 12/12/2018, Entered: None |
reply |
|
Proposed Intervenors' Reply in Further Support of their Motion to Intervene for the Limited Purpose of Staying Proceedings Pending Proposed Intervenors' Books and Records Inspection with Certificate of Service
|
|
Request |
|
|
|
99 |
Filed: 12/6/2018, Entered: None |
Letter |
|
LETTER TO COURT FROM COUNSEL FOR PLAINTIFF REGARDING EVIDENCE FROM THE PARLIAMENTARY INVESTIGATION
- Attachment 1 EXHIBIT A-F (TO "LETTER TO COURT FROM COUNSEL FOR PLAINTIFF REGARDING EVIDENCE FROM THE PARLIAMENTARY INVESTIGATION" )
|
|
Request |
|
|
|
98 |
Filed: 12/6/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS ENCLOSING COURTESY COPIES OF PLAINTIFFS' RESPONSE IN OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS; SUPPORTING AFFIDAVIT OF THADDEUS J. WEAVER WITH EX. A AND B; PROPOSED FORM OF ORDER; AND CERTIFICATE OF SERVICE
|
|
Request |
|
|
|
97 |
Filed: 12/4/2018, Entered: None |
Response |
|
PLAINTIFFS' RESPONSE IN OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS
- Attachment 1 AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS
- Attachment 2 PROPOSED ORDER DENYING PROPOSED INTERVENORS' MOTION TO INTERVENE AND STAY PROCEEDINGS
- Attachment 3 CERTIFICATE OF SERVICE TO PLAINTIFFS' RESPONSE IN OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS, SUPPORTING AFFIDAVIT OF THADDEUS J. WEAVER, AND PROPOSED ORDER DENYING PROPOSED INTERVENORS' MOTION TO INTERVENE AND STAY PROCEEDINGS
- Attachment 4 EXHIBIT A TO AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS
- Attachment 5 EXHIBIT B TO AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OPPOSITION TO MOTION TO INTERVENE AND STAY PROCEEDINGS
|
|
Request |
|
|
|
96 |
Filed: 12/3/2018, Entered: None |
Response |
|
The Facebook Defendants' Response to Proposed Intervenors' Motion to Intervene (with Certificate of Service)
|
|
Request |
|
|
|
95 |
Filed: 11/27/2018, Entered: None |
Notice of Service |
|
Notice of Service (of "Plaintiffs' Second Request for Production of Documents Directed to Facebook Defendants" with Certificate of Service)
|
|
Request |
|
|
|
94 |
Filed: 11/20/2018, Entered: None |
Letter |
|
Letter from VC Slights to counsel setting a schedule on the Motion to Intervene and Stay
|
|
Request |
|
|
|
93 |
Filed: 11/16/2018, Entered: None |
Public Version |
|
Public Version of "Plaintiffs' Omnibus Opposition to Defendants' Motions to Dismiss or, in the Alternative, Stay these Proceedings"
- Attachment 1 Certificate of Service for Public Version of "Plaintiffs' Omnibus Opposition to Defendants' Motions to Dismiss or, in the Alternative, Stay these Proceedings"
|
|
|
|
|
|
92 |
Filed: 11/16/2018, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from David E. Ross, on behalf of all Defendants, in response to Mr. Weaver's November 15, 2018 letter
|
|
Request |
|
|
|
91 |
Filed: 11/15/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS IN RESPONSE TO DEFENDANTS' MOTION TO AMEND SCHEDULE ON MOTIONS TO DISMISS, AND SCHEDULE FOR INTERVENORS' MOTION TO INTERVENE
- Attachment 1 ORDER ON DEFENDANTS' MOTION TO AMEND SCHEDULE ON MOTIONS TO DISMISS, AND SCHEDULE FOR INTERVENORS' MOTION TO INTERVENE
|
|
Request |
|
|
|
90 |
Filed: 11/15/2018, Entered: None |
Proposed Order |
|
[Proposed] Scheduling Order as to Proposed Intervenors’ Motion to Intervene for The Limited Purpose of Staying Proceedings Pending Proposed Intervenors’ Books and Records Inspection
- Attachment 1 Letter to The Honorable Joseph R. Slights, III from Samuel L. Closic regarding [Proposed] Scheduling Order as to Proposed Intervenors’ Motion to Intervene for The Limited Purpose of Staying Proceedings Pending Proposed Intervenors’ Books and Records
|
|
Request |
|
|
|
89 |
Filed: 11/14/2018, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights III from David E. Ross, on behalf of all Defendants, concerning the schedule for Defendants' Motions to Dismiss
|
|
Request |
|
|
|
88 |
Filed: 11/13/2018, Entered: None |
Notice |
|
Notice of Withdrawal of Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint
- Attachment 1 Certificate of Service for Notice of Withdrawal of Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint
|
|
Request |
|
|
|
87 |
Filed: 11/13/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS ENCLOSING COURTESY COPIES OF PLAINTIFFS' REPLY IN FURTHER SUPPORT OF CROSS-MOTION TO COMPEL DISCOVERY, WITH CERTIFICATE OF SERVICE
|
|
Request |
|
|
|
86 |
Filed: 11/9/2018, Entered: None |
reply |
|
PLAINTIFFS' REPLY IN FURTHER SUPPORT OF CROSS-MOTION TO COMPEL DISCOVERY
- Attachment 1 CERTIFICATE OF SERVICE TO PLAINTIFFS' REPLY IN FURTHER SUPPORT OF CROSS-MOTION TO COMPEL DISCOVERY
|
|
Request |
|
|
|
85 |
Filed: 11/9/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS ENCLOSING PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTIONS TO DISMISS, OR IN THE ALTERNATIVE, STAY THESE PROCEEDINGS, WITH SUPPORTING COMPENDIUM OF AUTHORITIES, AFFIDAVIT OF THADDEUS J. WEAVER, ESQ., AND PROPOSED FORM OF ORDER
|
|
Request |
|
|
|
84 |
Filed: 11/8/2018, Entered: None |
Answering Brief |
|
[CONFIDENTIAL FILING] PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
- Attachment 1 COMPENDIUM OF SELECTED AUTHORITIES IN SUPPORT OF PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
- Attachment 2 [CONFIDENTIAL FILING] AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
- Attachment 3 [PROPOSED] ORDER DENYING DEFENDANTS' MOTIONS TO DISMISS
- Attachment 4 CERTIFICATE OF SERVICE TO PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
- Attachment 5 EXHIBITS A-J TO COMPENDIUM OF SELECTED AUTHORITIES
- Attachment 6 EXHIBITS K-T TO COMPENDIUM OF SELECTED AUTHORITIES
- Attachment 7 EXHIBITS 1-3 TO AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
- Attachment 8 [CONFIDENTIAL FILING] EXHIBITS 4-7 TO AFFIDAVIT OF THADDEUS J. WEAVER IN SUPPORT OF PLAINTIFFS' OMNIBUS OPPOSITION TO DEFENDANTS' MOTION TO DISMISS OR, IN THE ALTERNATIVE, STAY THESE PROCEEDINGS
|
|
|
|
|
|
83 |
Filed: 11/8/2018, Entered: None |
Order |
|
Granted ([PROPOSED] ORDER PERMITTING SUBMISSION UNDER SEAL OF ANSWERING BRIEF IN OPPOSITION TO DEFENDANTS' MOTIONS TO DISMISS, AND TO EXCEED WORD LIMIT)
|
|
Request |
|
|
|
82 |
Filed: 11/8/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS FROM PLAINTIFFS' ATTORNEY REGARDING DEFENDANTS' NON-OPPOSITION TO MOTION TO FILE ANSWERING BRIEF UNDER SEAL AND TO EXCEED WORD LIMIT
|
|
Request |
|
|
|
81 |
Filed: 11/7/2018, Entered: None |
Motion |
|
MOTION TO FILE PLAINTIFFS' ANSWERING BRIEF IN OPPOSITION TO DEFENDANTS' MOTIONS TO DISMISS UNDER SEAL, AND TO EXCEED WORD LIMIT
- Attachment 1 [PROPOSED] ORDER PERMITTING SUBMISSION UNDER SEAL OF ANSWERING BRIEF IN OPPOSITION TO DEFENDANTS' MOTIONS TO DISMISS, AND TO EXCEED WORD LIMIT
- Attachment 2 CERTIFICATE OF SERVICE (FOR "MOTION TO FILE PLAINTIFFS' ANSWERING BRIEF IN OPPOSITION TO DEFENDANTS' MOTIONS TO DISMISS UNDER SEAL, AND TO EXCEED WORD LIMIT" )
|
|
Request |
|
|
|
80 |
Filed: 11/2/2018, Entered: None |
Letter |
|
Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing courtesy copies of Defendants' Reply in Support of Motion to Stay Discovery, and Opposition to Plaintiffs' Cross-Motion to Compel Discovery
|
|
Request |
|
|
|
79 |
Filed: 11/1/2018, Entered: None |
reply |
|
Defendants' Reply in Support of Motion to Stay Discovery, and Opposition to Plaintiffs' Cross-Motion to Compel Discovery (with Certificate of Service)
- Attachment 1 Exhibits D-F to Defendants' Reply in Support of Motion to Stay Discovery, and Opposition to Plaintiffs' Cross-Motion to Compel Discovery
|
|
Request |
|
|
|
78 |
Filed: 10/31/2018, Entered: None |
Letter |
|
Letter to The Honorable Joseph R. Slights, III from Samuel L. Closic enclosing courtesy copies of Proposed Intervenors' Motion to Intervene for the Limited Purpose of Staying Proceedings Pending Completion of Proposed Intervenors' Books and Records Inspection (the "Motion to Intervene" )
|
|
Request |
|
|
|
77 |
Filed: 10/30/2018, Entered: None |
Motion |
|
Proposed Intervenors' Motion to Intervene for the Limited Purposed of Staying Proceedings Pending Proposed Intervenors' Books and Records Inspections with Certificate of Service
- Attachment 1 [Proposed] Order Granting Proposed Intervenors' Motion to Intervene for the Limited Purposed of Staying Proceedings Pending Proposed Intervenors' Books and Records Inspections
|
|
Request |
|
|
|
76 |
Filed: 10/30/2018, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Samuel L. Closic of Prickett, Jones & Elliott, P.A. as counsel for Proposed Intervenors The City of Birmingham Relief and Retirement System, Construction and General Building Laborers' Local Union No. 79 General Fund, and Lidia Levy with Certificate of Service
|
|
Request |
|
|
|
75 |
Filed: 10/30/2018, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order to Exceed Word Limit [Facebook Defendants may file a joint Reply in Further Support of Facebook Defendants’ Motion to Stay Discovery and Opposition to Plaintiffs’ Cross-Motion to Compel Discovery, of no more than 4,000 words, calculated pursuant to Rule 171(f)(1)(B)]
|
|
Request |
|
|
|
74 |
Filed: 10/26/2018, Entered: None |
Letter |
|
Letter to the Honorable Joseph R. Slights, III, from Blake A. Bennett, Esquire enclosing two courtesy copies of Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel and Designation of Operative Complaint with supporting documents
|
|
Request |
|
|
|
73 |
Filed: 10/26/2018, Entered: None |
Motion to Consolidate |
|
Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint with Certificate of Service
- Attachment 1 Affidavit of Stephen J. Oddo in Support of Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint
- Attachment 2 Exhibit A - I to Affidavit of Stephen J. Oddo in Support of Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint
- Attachment 3 Proposed Order Granting Plaintiff Christopher Leagre's Motion for Consolidation of Related Actions, Appointment of Lead Plaintiff, Approval of Lead Counsel, and Designation of Operative Complaint
|
|
Request |
|
|
|
72 |
Filed: 10/23/2018, Entered: None |
Order |
|
Scheduling Order entered by Vice Chancellor Slights on October 23, 2018 on Defendants' Motions to Stay Discovery and Plaintiffs' Cross-Motion to Compel Discovery
|
|
Request |
|
|
|
71 |
Filed: 10/23/2018, Entered: None |
Letter |
|
Letter from David E. Ross to The Honorable Joseph R. Slights III in response to Plaintiffs' October 19, 2018 Letter Regarding Remaining Briefing Schedule on Defendants' Motion to Stay Discovery
- Attachment 1 [Proposed] Scheduling Order on Defendants' Motions to Stay Discovery and Plaintiffs' Cross-Motion to Compel Discovery
|
|
Request |
|
|
|
70 |
Filed: 10/19/2018, Entered: None |
Letter |
|
LETTER APPLICATION TO THE COURT TO SET REMAINING BRIEFING SCHEDULE ON DEFENDANTS' MOTIONS TO STAY DISCOVERY, AND PLAINTIFFS' OPPOSITION AND CROSS-MOTION TO COMPEL DISCOVERY
- Attachment 1 [PROPOSED] SCHEDULING ORDER ON DEFENDANTS' MOTIONS TO STAY DISCOVERY, AND PLAINTIFFS' CROSS-MOTION TO COMPEL DISCOVERY
|
|
Request |
|
|
|
69 |
Filed: 10/19/2018, Entered: None |
Public Version |
|
EXHIBITS H AND I TO THE AFFIDAVIT OF CATHERINE PRATSINAKIS IN SUPPORT OF PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTIONS TO STAY DISCOVERY, AND PLAINTIFFS' CROSS-MOTIONS TO COMPEL DISCOVERY
- Attachment 1 CERTIFICATE OF SERVICE TO PUBLIC VERSIONS OF EXHIBITS H AND I TO THE AFFIDAVIT OF CATHERINE PRATSINAKIS
|
|
Request |
|
|
|
68 |
Filed: 10/19/2018, Entered: None |
Public Version |
|
PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTION TO STAY DISCOVERY, AND PLAINTIFFS' CROSS-MOTION TO COMPEL DISCOVERY
- Attachment 1 AFFIDAVIT OF CATHERINE PRATSINAKIS IN SUPPORT OF PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTION TO STAY DISCOVERY, AND PLAINTIFFS' CROSS-MOTION TO COMPEL DISCOVERY
- Attachment 2 EXHIBITS J-L TO AFFIDAVIT OF CATHERINE PRATSINAKIS
- Attachment 3 CERTIFICATE OF SERVICE TO PUBLIC VERSIONS OF PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTIONS TO STAY DISCOVERY, AND PLAINTIFFS' CROSS-MOTION TO COMPEL DISCOVERY; AFFIDAVIT OF CATHERINE PRATSINAKIS IN SUPPORT THEREOF; AND EXHIBITS J-L TO AFFIDAVIT OF CA
|
|
Request |
|
|
|
67 |
Filed: 10/15/2018, Entered: None |
Letter |
|
LETTER TO VICE CHANCELLOR SLIGHTS ENCLOSING COURTESY COPIES OF PLAINTIFFS' OPPOSITION TO DEFENDANTS' MOTION TO STAY DISCOVERY WITH ACCOMPANYING DOCUMENTS
|
|
Request |
|
|
|
66 |
Filed: 10/12/2018, Entered: None |
Opposition |
|
[CONFIDENTIAL FILING] Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery [Type-volume limitation exceeded per Order of the Court dated Oct 12, 2018, FSX Transaction ID No.: 62553058]
- Attachment 1 [CONFIDENTIAL FILING] Affidavit of Catherine Pratsinakis in Support of Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery
- Attachment 2 Compendium of Selected Authorities to Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery
- Attachment 3 [Proposed] Order Denying Defendants' Motions to Stay Discovery, and Granting Plaintiffs' Cross-Motion to Compel Discovery
- Attachment 4 Certificate of Service (for "Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery" , and supporting documents)
- Attachment 5 Exhibits A-G (to "Affidavit of Catherine Pratsinakis in Support of Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery" )
- Attachment 6 [CONFIDENTIAL FILING] Exhibits H-L (to "Affidavit of Catherine Pratsinakis in Support of Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery" )
- Attachment 7 Exhibits A-J (to "Compendium of Selected Authorities to Plaintiffs' Opposition to Defendants' Motion to Stay Discovery, and Plaintiffs' Cross-Motion to Compel Discovery" )
|
|
|
|
|
|
65 |
Filed: 10/12/2018, Entered: None |
Order |
|
Granted ([Proposed] Order On Length and Confidential Treatment of Plaintiffs' Response to Defendants' Motions to Stay Discovery.)
|
|
Request |
|
|
|
63 |
Filed: 10/11/2018, Entered: None |
Letter |
|
Letter Application to Court requesting permission to file a joint opposition and cross-motion to compel in excess of word limit under Rule 171, in response to Defendants' Motions to Stay Discovery, and to file joint opposition and cross-motion under seal.
|
|
Request |
|
|
|
64 |
Filed: 10/11/2018, Entered: None |
Proposed Order |
|
[Proposed] Order On Length and Confidential Treatment of Plaintiffs' Response to Defendants' Motions to Stay Discovery.
|
|
Request |
|
|
|
62 |
Filed: 10/5/2018, Entered: None |
Public Version |
|
[PUBLIC VERSION] Opening Brief of PricewaterhouseCoopers LLP In Support of Its Motion to Dismiss (with Certificate of Service)
|
|
Request |
|
|
|
61 |
Filed: 10/5/2018, Entered: None |
Public Version |
|
PUBLIC VERSION of The Facebook Defendants' Opening Brief In Support of Their Motion to Dismiss, or in the Alternative, Stay These Proceedings (with Certificate of Service)
|
|
Request |
|
|
|
60 |
Filed: 10/1/2018, Entered: None |
Letter |
|
Letter from Alexandra M. Cumings to Vice Chancellor Slights enclosing courtesy copies of the Opening Brief of PricewaterhouseCoopers LLP in Support of its Motion to Dismiss
|
|
Request |
|
|
|
59 |
Filed: 10/1/2018, Entered: None |
Letter |
|
Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing two courtesy copies of (i) The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings; (ii) The Facebook Defendants' Opening Brief In Support of Their Motion to Dismiss, or in the Alternative, Stay These Proceedings; and (iii) the Transmittal Affidavit of R. Garrett Rice
|
|
Request |
|
|
|
58 |
Filed: 9/28/2018, Entered: None |
Notice of Service |
|
Notice of Service of PricewaterhouseCoopers LLP's Responses and Objections to Plaintiffs' First Request for Production of Documents
|
|
Request |
|
|
|
57 |
Filed: 9/28/2018, Entered: None |
Motion to Dismiss |
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Defendant PricewaterhouseCoopers LLP's Motion to Dismiss
- Attachment 1 [Proposed] Order Granting Defendant PricewaterhouseCoopers LLP's Motion to Dismiss
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Request |
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56 |
Filed: 9/28/2018, Entered: None |
Motion to Dismiss |
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The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings
- Attachment 1 [Proposed] Order Granting The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings
- Attachment 2 [CONFIDENTIAL FILING] The Facebook Defendants' Opening Brief In Support of Their Motion to Dismiss, or in the Alternative, Stay These Proceedings
- Attachment 3 Transmittal Affidavit of R. Garrett Rice in Support of The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings
- Attachment 4 Exhibits A-F to Transmittal Affidavit of R. Garrett Rice in Support of The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings
- Attachment 5 Certificate of Service of (i) The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings; (ii) the [Proposed] Order Granting The Facebook Defendants' Motion to Dismiss, or in the Alternative, Stay These Proceedings; (ii
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Request |
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55 |
Filed: 9/28/2018, Entered: None |
Opening Brief |
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[CONFIDENTIAL] Opening Brief of PricewaterhouseCoopers LLP In Support of Its Motion to Dismiss (with Certificate of Service)
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Request |
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54 |
Filed: 9/27/2018, Entered: None |
Order |
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Granted ((Proposed) Order Granting Motion for Confidential Treatment of Defendant PricewaterhouseCoopers LLP's briefs in support of its motion to dismiss)
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Request |
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53 |
Filed: 9/27/2018, Entered: None |
Motion |
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Defendant PricewaterhouseCoopers LLP's Motion for Confidential Treatment of its briefs in support of its forthcoming motion to dismiss (and Certificate of Service)
- Attachment 1 (Proposed) Order Granting Motion for Confidential Treatment of Defendant PricewaterhouseCoopers LLP's briefs in support of its motion to dismiss
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Request |
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52 |
Filed: 9/27/2018, Entered: None |
Order |
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Granted ([Proposed] Order Authorizing Confidential Filing (Permitting The Facebook Defendants to File Its Opening Brief in Support of Their Motion to Dismiss the First Amended Verified Stockholder Derivative Complaint as a Confidential Filing))
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51 |
Filed: 9/27/2018, Entered: None |
Motion |
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The Facebook Defendants' Unopposed Motion for Confidential Treatment (Permitting Facebook Defendants to File Its Opening Brief in Support of Their Motion to Dismiss the First Amended Verified Stockholder Derivative Complaint as a Confidential Filing) (with Certificate of Service)
- Attachment 1 [Proposed] Order Authorizing Confidential Filing (Permitting The Facebook Defendants to File Its Opening Brief in Support of Their Motion to Dismiss the First Amended Verified Stockholder Derivative Complaint as a Confidential Filing)
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50 |
Filed: 9/27/2018, Entered: None |
Letter |
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Letter to Vice Chancellor Slights from Alexandra M. Cumings enclosing courtesy copies of Defendant PricewaterhouseCoopers LLP's Joinder in Facebook Defendants' Motion to Stay Discovery
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Request |
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49 |
Filed: 9/27/2018, Entered: None |
Letter |
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Letter from David E. Ross to The Honorable Joseph R. Slights III enclosing two courtesy copies of The Facebook Defendants' Motion to Stay Discovery, which was filed with the Court on September 26, 2018
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Request |
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47 |
Filed: 9/26/2018, Entered: None |
Joinder |
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Defendant PricewaterhouseCoopers LLP's Joinder in Facebook Defendants' Motion to Stay Discovery (with Certificate of Service)
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Request |
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48 |
Filed: 9/26/2018, Entered: None |
Entry of Appearance |
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Entry of Appearance of Jon E. Abramczyk and Alexandra M. Cumings of Morris, Nichols, Arsht & Tunnell LLP on behalf of Defendant PricewaterhouseCoopers, LLP (with Certificate of Service)
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Request |
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46 |
Filed: 9/26/2018, Entered: None |
Motion |
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The Facebook Defendants' Motion to Stay Discovery (with Certificate of Service)
- Attachment 1 Exhibits A-C to Facebook Defendants' Motion to Stay Discovery
- Attachment 2 [Proposed] Order Granting the Facebook Defendants' Motion to Stay Discovery
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Request |
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45 |
Filed: 9/26/2018, Entered: None |
Notice of Service of Responses to Request for Prod |
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Notice and Certificate of Service of (i) Facebook Defendants' Responses and Objections to Plaintiffs' First Request for Production of Documents Directed to Facebook Defendants; and (ii) this Notice and Certificate of Service
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Request |
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44 |
Filed: 8/28/2018, Entered: None |
Notice of Service of Request for Production |
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NOTICE AND CERTIFICATE OF SERVICE OF PLAINTIFFS' FIRST REQUEST FOR PRODUCTION OF DOCUMENTS DIRECTED TO DEFENDANT PRICEWATERHOUSECOOPERS, LLP
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Request |
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43 |
Filed: 8/28/2018, Entered: None |
Notice of Service of Request for Production |
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NOTICE AND CERTIFICATE OF SERVICE OF PLAINTIFFS' FIRST REQUEST FOR PRODUCTION OF DOCUMENTS DIRECTED TO FACEBOOK DEFENDANTS
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Request |
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42 |
Filed: 8/27/2018, Entered: None |
Order |
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Granted (Second Amended Stipulation and [Proposed] Order Scheduling Filing of Motion to Dismiss Briefing)
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Request |
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41 |
Filed: 8/23/2018, Entered: None |
Stipulation & (Proposed) Order |
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Second Amended Stipulation and [Proposed] Order Scheduling Filing of Motion to Dismiss Briefing
- Attachment 1 Certificate of Service (for "Second Amended Stipulation and [Proposed] Order Scheduling Filing of Motion to Dismiss Briefing" )
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Request |
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40 |
Filed: 8/15/2018, Entered: None |
Summons |
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SUMMONS FOR SERVICE UPON DEFENDANT PRICEWATERHOUSECOOPERS, LLP, WITH ATTACHED RETURN OF SERVICE AND CERTIFICATE OF SERVICE
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Request |
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39 |
Filed: 8/14/2018, Entered: None |
Public Version |
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Public Version of First Amended Verified Stickholder Derivative Complaint
- Attachment 1 Certificate of Service (for "Public Version of First Amended Verified Stickholder Derivative Complaint" )
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Request |
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38 |
Filed: 8/14/2018, Entered: None |
Order Pro Hac Vice |
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Granted (SCHWARTZ, AARON L.: PROPOSED ORDER FOR THE ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS)
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Request |
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37 |
Filed: 8/14/2018, Entered: None |
Order Pro Hac Vice |
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Granted (FOX, FREDERIC S.: PROPOSED ORDER FOR THE ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS)
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Request |
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36 |
Filed: 8/13/2018, Entered: None |
Motion for Pro Hac Vice |
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SCHWARTZ, AARON L.: MOTION FOR ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 1 SCHWARTZ, AARON L.: CERTIFICATION TO MOTION FOR ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 2 SCHWARTZ, AARON L.: PROPOSED ORDER FOR THE ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 3 CERTIFICATE OF SERVICE TO MOTION FOR ADMISSION PRO HAC VICE OF AARON L. SCHWARTZ, ESQUIRE
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Request |
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35 |
Filed: 8/13/2018, Entered: None |
Motion for Pro Hac Vice |
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FOX, FREDERIC S.: MOTION FOR ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 1 FOX, FREDERIC S.: CERTIFICATION TO MOTION FOR ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 2 FOX, FREDERIC S.: PROPOSED ORDER FOR THE ADMISSION PRO HAC VICE ON BEHALF OF PLAINTIFFS KAREN SBRIGLIO AND FIREMEN'S RETIREMENT SYSTEM OF ST. LOUIS
- Attachment 3 CERTIFICATE OF SERVICE TO MOTION FOR ADMISSION PRO HAC VICE OF FREDERIC S. FOX, ESQUIRE
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Request |
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34 |
Filed: 8/9/2018, Entered: None |
Letter |
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LETTER TO VICE CHANCELLOR SLIGHTS FROM PLAINTIFFS' ATTORNEY ENCLOSING COURTESY COPIES OF SEALED FIRST AMENDED VERIFIED STOCKHOLDER DERIVATIVE COMPLAINT WITH VERIFICATIONS; EXHIBITS A-T; AND REDLINED VERSION OF AMENDED COMPLAINT
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Request |
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33 |
Filed: 8/8/2018, Entered: None |
Summons Instructions |
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August 8, 2018 summons instruction letter to the Register in Chancery as regards Defendant PricewaterhouseCoopers, LLP
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Request |
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32 |
Filed: 8/7/2018, Entered: None |
Amended Complaint |
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[CONFIDENTIAL FILING] First Amended Verified Stockholder Derivative Complaint, with Certificate of Service
- Attachment 1 Affidavit and Verification of Karen Sbriglio Pursuant to Court of Chancery Rules 23(aa) and 3(aa)
- Attachment 2 Notarized Verification (of John D. Brewer on behalf of the Firemen's Retirement System of St. Louis)
- Attachment 3 Exhibits A-I (to "First Amended Verified Stockholder Derivative Complaint" )
- Attachment 4 Exhibits J-P (to "First Amended Verified Stockholder Derivative Complaint" )
- Attachment 5 Exhibits Q-T (to "First Amended Verified Stockholder Derivative Complaint" )
- Attachment 6 [CONFIDENTIAL FILING] [REDLINE VERSION] First Amended Verified Stockholder Derivative Complaint", with Certificate of Service
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