Case details

Court: nysd
Docket #: 1:08-cv-07831
Case Name: In re: Fannie Mae 2008 Securities Litigation
PACER case #: 331975
Date filed: 2008-09-08
Date terminated: 2015-03-03
Assigned to: Judge Paul A. Crotty
Case Cause: 15:78m(a) Securities Exchange Act
Nature of Suit: 850 Securities/Commodities
Jury Demand: Both
Jurisdiction: Federal Question

Parties

Represented Party Attorney & Contact Info
Tennessee Consolidated Retirement System ("TCRS")
Lead Plaintiff
on behalf of the Preferred Shareholder Class ("Preferred Shareholder Lead Plaintiff")
Damien Harris Weinstein
Kaplan Fox & Kilsheimer, LLP 850 Third Avenue New York, NY 10022 (212)-687-1980 Fax: (212)-687-7714 Email: dweinstein@kaplanfox.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Donald R. Hall , Jr
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue 14th Floor New York, NY 10022 212-687-1980 Fax: 212-687-7714 Email: dhall@kaplanfox.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Frederic Scott Fox , Sr
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue 14th Floor New York, NY 10022 (212) 687-1980 Fax: (212) 687-7714 Email: ffox@kaplanfox.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Irina Kobylevsky
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue, New York, NY 10022 (212)-687-1980 Fax: (212)-687-7714 Email: ikobylevsky@kaplanfox.com
TERMINATED: 06/18/2013 LEAD ATTORNEY

Jeffrey Philip Campisi
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue 14th Floor New York, NY 10022 212-687-1980 Fax: 212-687-1980 Email: jcampisi@kaplanfox.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Robert N. Kaplan
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue 14th Floor New York, NY 10022 (212) 687-1980 Fax: (212) 687-7714 Email: rkaplan@kaplanfox.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Thomas A. Dubbs
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 212-907-0700 Fax: 212-818-0477 Email: tdubbs@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Autumn Wind Smith
Berman DeValerio (MA) One Liberty Square, 8th Floor Boston, MA 02109 (617) 542-8300 Fax: (617) 542-1194 Email: asmith@bermandevalerio.com
TERMINATED: 04/19/2010 PRO HAC VICE

Glen DeValerio
Berman DeValerio One Liberty Square Boston, MA 02109 617-542-8300 Fax: 617-542-1194 Email: gdevalerio@bermandevalerio.com
ATTORNEY TO BE NOTICED

John Henby Sutter
Berman DeValerio LLP One Liberty Square, 8th Floor Boston, MA 02109 (617) 542-8300 Fax: (617)-542-1194 Email: jsutter@bermandevalerio.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Justin N. Saif
Berman DeValerio (MA) One Liberty Square, 8th Floor Boston, MA 02109 (617) 542-8300 Fax: (617) 542-1194 Email: jsaif@bermanesq.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Massachusetts Pension Reserves Investment Management Board ("PRIM")
Lead Plaintiff
(collectively, the "Massachusetts Public Pension Funds") are appointed Lead Plaintiff on behalf of the Stockholder Class ("Stockholder Lead Plaintiff") (collectively, Preferred Shareholder Lead Plaintiff and Stockholder Lead Plaintiff
Bryan Andrew Wood
Berman DeValerio (MA) One Liberty Square, 8th Floor Boston, MA 02109 (617) 542-8300 Fax: (617) 542-1194 Email: bwood@bermandevalerio.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Christopher J. Keller
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 (212) 907-0853 Fax: (212) 883-7053 Email: ckeller@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Jeffrey Craig Block
Berman DeValerio (MA) One Liberty Square, 8th Floor Boston, MA 02109 (617) 542-8300 Fax: 617)-542-1194 Email: jeff@blockesq.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Joseph Alberto Fonti
Bleichmar Fonti Tountas & Auld LLP 7 Times Square, 27th fl New York, NY 10036 212-789-1342 Fax: 212-205-3962 Email: jfonti@bftalaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Joshua Lon Crowell
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 (212)-907-0854 Fax: (212)-883-7054 Email: jcrowell@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Richard T. Joffe
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 212-907-0855 Fax: 212-883-7055 Email: rjoffe@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Thomas A. Dubbs
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Autumn Wind Smith
(See above for address)
TERMINATED: 04/19/2010 PRO HAC VICE

Daniel E. Barenbaum
Berman Devalerio One California Street San Francisco, CA 94111 (415) 433-3200 Fax: (415) 433-6382 Email: dbarenbaum@bermandevalerio.com
ATTORNEY TO BE NOTICED

Donald R. Hall , Jr
(See above for address)
ATTORNEY TO BE NOTICED

Glen DeValerio
(See above for address)
ATTORNEY TO BE NOTICED

John Henby Sutter
(See above for address)
PRO HAC VICE ATTORNEY TO BE NOTICED

Jonathan M. Plasse
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 (212) 907-0863 Fax: (212) 883-7063 Email: jplasse@labaton.com
ATTORNEY TO BE NOTICED

Justin N. Saif
(See above for address)
PRO HAC VICE ATTORNEY TO BE NOTICED

Sarah Elizabeth Trombley
Massachusetts Office of the Attorney General One Ashburton Pl. 18th Floor Boston, MA 02108 212-963-2395 Fax: 212-722-0184 Email: sarah.trombley@state.ma.us
ATTORNEY TO BE NOTICED

Victor Santiago Elias
Berman Devalerio One California Street, Suite 900 San Francisco, CA 94111 (415)-433-3200 Email: velias@bermandevalerio.com
ATTORNEY TO BE NOTICED

Boston Retirement Board
Lead Plaintiff
Joseph Alberto Fonti
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Joshua Lon Crowell
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Louis Gottlieb
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 (212) 907-0872 Fax: (212) 883-7072 Email: lgottlieb@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Nicole M. Zeiss
Labaton Sucharow, LLP 140 Broadway New York, NY 10005 212-907-0700 Fax: 212-818-0477 Email: nzeiss@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Richard T. Joffe
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Thomas A. Dubbs
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Thomas Gregory Hoffman , Jr.,
Labaton Sucharow, LLP 1201 N, Orange Street, Suite 801 Wilmington, DE 19801 (212) 907-0700 X0744 Fax: (212) 907-0477 Email: thoffman@labaton.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

John Henby Sutter
(See above for address)
PRO HAC VICE ATTORNEY TO BE NOTICED

Jonathan M. Plasse
(See above for address)
ATTORNEY TO BE NOTICED

John A. Genovese
Plaintiff
Individually and on behalf of all others similarly
Samuel Howard Rudman
Robbins Geller Rudman & Dowd LLP(LI) 58 South Service Road Suite 200 Melville, NY 11747 (631) 367-7100 Fax: (631) 367-1173 Email: srudman@csgrr.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

David L. Frankfurt
Plaintiff
H. Adam Prussin
Pomerantz LLP 600 Third Avenue, 20th Floor New York, NY 10016 212-661-1100 Fax: 212-661-8665 Email: HAPrussin@Pomlaw.Com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Daniel Kramer
Plaintiff
Charles Robert Cohen
Cohn, Lifland, Pearlman, Herrmann & Knopf, L.L.P. Park 80 Plaza West One Saddle Brook, NJ 07663 (201) 845-9600 Fax: (201) 845-9423 Email: crc@njlawfirm.com
LEAD ATTORNEY

Dan Litvin
Garwin Gerstein & Fisher, L.L.P. 1501 Broadway Suite 1416 New York, NY 10036 (212)-398-0055 Fax: 212 7646620 Email: dlitvin@garwingerstein.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Peter S. Pearlman
Cohn, Lifland, Pearlman, Herrmann & Knopf, LLP Park 80 Plaza West-One Saddle Brook, NJ 07410 (551)-497-7131 Fax: (201)-845-9423 Email: psp@njlawfirm.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Scott Warren Fisher
Garwin Gerstein & Fisher, L.L.P. 1501 Broadway Suite 1416 New York, NY 10036 (212) 398-0055 Fax: (212) 764-6620 Email: sfisher@garwingerstein.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Comprehensive Investment Services, Inc.
Plaintiff
Andrew James Frisch
Andrew J. Frisch 40 Fulton Street, 23rd Floor New York, NY 10022 (212)-285-8000 Fax: (212)-304-0352 Email: afrisch@andrewfrisch.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Andrew J. Mytelka
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409) 797-3200 Fax: (409) 766-6424 Email: amytelka@greerherz.com
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Eric J. Kirkpatrick
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409) 797-3200 Fax: (409) 766-6424 Email: ekirkpatrick@greerherz.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Joseph A.C. Fulcher
Greer, Herz & Adams, LLP (League City) 2525 South Shore Boulevard Suite 203 League City, TX 77573 (409) 797-3210 Fax: (866)-422-3855 Email: jfulcher@greerherz.com
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Michael David Le Blanc
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409) 797-3200 Fax: (409) 766-6424 Email: dleblanc@greerherz.com
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Steven Carl Windsor
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409) 797-3200 Fax: (409) 766-6424 Email: swindsor@greerherz.com
TERMINATED: 04/22/2014 LEAD ATTORNEY PRO HAC VICE

David John Booth
Greer, Herz & Adams, LLP (TX) 2525 South Shore Blvd. Suite 203 League City, TX 77573 (409)-797-3270 Email: dbooth@greerherz.com
ATTORNEY TO BE NOTICED

Janet LaRene Wells Rushing
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409) 797-3200 Fax: (409) 766-6424 Email: jrushing@greerherz.com
ATTORNEY TO BE NOTICED

Kelly-Ann Fayette Clarke
Greer, Herz & Adams, LLP (Galveston) One Moody Plaza 18th Floor Galveston, TX 77550 (409)-797-3200 Email: kclarke@greerherz.com
ATTORNEY TO BE NOTICED

Lynn Williams
Consolidated Plaintiff
Steveann Williams
Consolidated Plaintiff
Susan Kraus
Consolidated Plaintiff
the Frankfurt Family Ltd.
Consolidated Plaintiff
H. Adam Prussin
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

The David Frankfurt 2002 Family Trust
Consolidated Plaintiff
individually
H. Adam Prussin
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Stephen H. Schweitzer
Consolidated Plaintiff
Linda P. Schweitzer
Consolidated Plaintiff
Stephen B. Ashley
Defendant
John J. Clarke , Jr
DLA Piper US LLP (NY) 1251 Avenue of the Americas New York, NY 10020 (212) 335-4500 Fax: (212) 335-4501 Email: john.clarke@dlapiper.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Daniel H. Mudd
Defendant
TERMINATED: 04/27/2015
David Fleischer
Paul Hastings LLP (NY) 75 East 55th Street New York, NY 10022 212-318-6000 Fax: 212-230-7637 Email: davidfleischer@paulhastings.com
TERMINATED: 03/30/2011 LEAD ATTORNEY

James Evan Berger
Paul Hastings LLP (NY) 75 East 55th Street New York, NY 10022 (212)-318-6450 Fax: (212)-2307857 Email: jamesberger@paulhastings.com
TERMINATED: 03/30/2011 LEAD ATTORNEY

Adam James van Alstyne
DLA Piper US LLP (NJ) 300 Campus Drive Suite100 Florham Park, NJ 07932 (202) 799-4521 Fax: (202) 799-5521 Email: adam.vanalstyne@dlapiper.com
TERMINATED: 12/05/2014

James E. Anklam
DLA Piper US LLP (NJ) 300 Campus Drive Suite100 Florham Park, NJ 07932 (202) 799-4514 Fax: (202) 799-5514 Email: james.anklam@friedfrank.com
PRO HAC VICE ATTORNEY TO BE NOTICED

James D. Wareham
Fried, Frank, Harris, Shriver & Jacobson, LLP (DC) 801 17th Street, NW Washington, DC 20006 202-639-7040 Fax: 202-639-7003 Email: james.wareham@friedfrank.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Jeffrey David Rotenberg
DLA Piper US LLP (NY) 1251 Avenue of the Americas New York, NY 10020 (212) 335-4556 Fax: (917) 778-8556 Email: jeffrey.rotenberg@dlapiper.com
ATTORNEY TO BE NOTICED

Katherine Ruffing
DLA Piper LLP (Us) 500 8th Street, N.W. Washington, DC 20004 (202) 799-4535 Email: katie.ruffing@dlapiper.com
ATTORNEY TO BE NOTICED

Stephen M. Swad
Defendant
Jonathan Rosser Tuttle
Debevoise & Plimpton LLP (DC) 555 13th Street, N.W. Washington, DC 20004 (202) 383-8070 Fax: (202) 383-8118 Email: jrtuttle@debevoise.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Scott N. Auby
Debevoise & Plimpton LLP (DC) 555 13th Street, N.W. Washington, DC 20004 (202)-383-8053 Fax: (202)-383-9238 Email: snauby@debevoise.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Robert J. Levin
Defendant
Alejandro Gabriel Rosenberg
Steptoe & Johnson, LLP (NYC) 1114 Avenue of the Americas New York, NY 10036 (212) 506-3900 Fax: (212) 506-3950 Email: arosenberg@steptoe.com
ATTORNEY TO BE NOTICED

Erik L. Kitchen
Steptoe & Johnson, LLP (DC) 1330 Connecticut Avenue, N.W. Washington, DC 20036 (202) 429-3000 Fax: (202) 429-3902 Email: ekitchen@steptoe.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Lenor Marquis Segal
Ellis & Winters, LLP Post Office Box 33550 - 1100 Crescent Green, Ste. 200 Raleigh, NC 27636 (919)-865-7048 Fax: (919)-865-7010 Email: lenor.marquissegal@elliswinters.com
ATTORNEY TO BE NOTICED

Mark J. Hulkower
Steptoe & Johnson, L.L.P. 1300 Connecticut Avenue, N.W. Washington, DC 20036 (202) 429-3000
PRO HAC VICE ATTORNEY TO BE NOTICED

Michael Jeremy Baratz
Steptoe & Johnson, LLP (DC) 1330 Connecticut Avenue, N.W. Washington, DC 20036 (202)-429-6468 Fax: (202)-429-3902 Email: mbaratz@steptoe.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Patrick F. Linehan
Steptoe & Johnson, LLP (DC) 1330 Connecticut Avenue, N.W. Washington, DC 20036 (202) 429-8154 Fax: (202) 429-3902 Email: plinehan@steptoe.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Lehman Brothers, Inc.
Defendant
The McGraw-Hill Companies, Inc.
Defendant
Floyd Abrams
Cahill Gordon & Reindel LLP 80 Pine Street New York, NY 10005 (212)-701-3621 Fax: (212)-269-5420 Email: fabrams@cahill.com
ATTORNEY TO BE NOTICED

Sarah Penny Windle
Cahill Gordon & Reindel LLP 80 Pine Street New York, NY 10005 (212)-701-3693 Fax: (212)-269-5420 Email: windls@cahill.com
ATTORNEY TO BE NOTICED

Tammy Lynn Roy
Cahill Gordon et ano. 80 Pine Street New York, NY 10005 (212)-701-3720 Fax: (212)-269-5420 Email: troy@cahill.com
ATTORNEY TO BE NOTICED

Federal National Mortgage Association
Defendant
James Ellis Brandt
Latham & Watkins LLP (NY) 885 Third Avenue New York, NY 10022 (212) 906-1278 Fax: (212) 751-4864 Email: james.brandt@lw.com
LEAD ATTORNEY

Jeff G. Hammel
Latham and Watkins (NY) 885 Third Avenue New York, NY 10022 (212) 906-1200 Fax: (212)-751-4864 Email: jeff.hammel@lw.com
LEAD ATTORNEY

Jeffrey W. Kilduff
O'Melveny & Myers LLP (DC) 1625 Eye Street, NW Washington, DC 20006 (202) 383-5383 Fax: (202) 383-5414
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Eric Samuel Olney
Shapiro, Arato & Isserles LLP 500 Fifth Avenue, 40th Fl. New York, NY 10110 (212)-257-4880 Fax: (212)-202-6417 Email: eolney@shapiroarato.com
ATTORNEY TO BE NOTICED

Michael John Walsh
O'Melveny & Myers LLP (DC) 1625 Eye Street, NW Washington, DC 20006 202 383-5280 Fax: 202 383-5414 Email: mwalsh@omm.com
ATTORNEY TO BE NOTICED

Robert M. Stern
O'Melveny & Myers LLP (DC) 1625 Eye Street, NW Washington, DC 20006 (202)383-5328 Fax: (202)-383-5396 Email: rstern@omm.com
ATTORNEY TO BE NOTICED

Scott Kurtis McCulloch
Kobre & Kim LLP 800 Third Avenue 6th Floor New York, NY 10022 (212)488-1243 Fax: (212) 488-1220 Email: scott.mcculloch@kobrekim.com
ATTORNEY TO BE NOTICED

Wendy Helene Schwartz
Binder & Schwartz LLP 28 W. 44th Street New York, NY 10036 347-334-5082 Email: wschwartz@binderschwartz.com
ATTORNEY TO BE NOTICED

Robert T Blakely
Defendant
Joann Kahn
Norton Rose Fulbright US LLP 666 Fifth Avenue New York, NY 10103 (212)-318-3076 Fax: (212)-318-3400 Email: jkahn@fulbright.com
ATTORNEY TO BE NOTICED

Mark Allen Robertson
Norton Rose Fulbright US LLP 666 Fifth Avenue New York, NY 10103 212-318-3304 Fax: 212-318-3400 Email: mark.robertson@nortonrosefulbright.com
ATTORNEY TO BE NOTICED

Enrico Dallavecchia
Defendant
TERMINATED: 04/27/2015
Catherine Vera Wigglesworth
Dechert LLP Cira Centre, 2929 Arch Street Philadelphia, PA 19104 (215)-994-2432 Fax: (215)-655-2432 Email: catherine.wigglesworth@dechert.com
ATTORNEY TO BE NOTICED

David J. Stanoch
Dechert LLP 2929 Arch Street Philadelphia, PA 19104 (215)-994-2812 Fax: (215)-655-2812 Email: david.stanoch@dechert.com
TERMINATED: 02/09/2015

Diane Nicole Princ
Dechert, LLP (NYC) 1095 Avenue of the Americas New York, NY 10036-6797 212 649-8743 Fax: (212)-698-3599 Email: diane.princ@dechert.com
TERMINATED: 07/30/2014

Emily Shea
Dechert LLP 1900 K. Street Nw Washington, DC 20006 202-261-3378 Fax: 202-261-3333 Email: emily.shea@dechert.com
PRO HAC VICE ATTORNEY TO BE NOTICED

Rebecca Kahan Waldman
Dechert, LLP (NYC) 1095 Avenue of the Americas New York, NY 10036-6797 (212) 698-3861 Fax: (212) 698-3599 Email: rebecca.waldman@dechert.com
ATTORNEY TO BE NOTICED

Deloitte & Touche LLP
Defendant
Brad Scott Karp
Paul, Weiss, Rifkind, Wharton & Garrison LLP (NY) 1285 Avenue of the Americas New York, NY 10019 212-373-2384 Fax: 212-373-2384 Email: bkarp@paulweiss.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Charles Edward Davidow
Paul, Weiss, Rifkind, Wharton & Garrison, LLP (DC) 2001 K Street, N.W. 5th Floor Washington, DC 20006 (202) 223-7300 Fax: (202) 223-7420 Email: cdavidow@paulweiss.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Fannie Mae
Defendant
Eric Brendan Bruce
Kobre & Kim LLP 800 Third Avenue New York, NY 10022 (212) 488-1203 Fax: (212) 488-1220 Email: eric.bruce@kobrekim.com
ATTORNEY TO BE NOTICED

Daniel Mudd
Defendant
Enrico Dallavecchia
Defendant
Merrill Lynch Pierce, Fenner & Smith, Inc.
Consolidated Defendant
Agnes Dunogue
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2000 Fax: (212) 455-2502 Email: Agnes.Dunogue@Shearman.com
TERMINATED: 04/08/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED

Craig Scott Waldman
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2881 Fax: (212) 455-2502 Email: cwaldman@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

George S Wang
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2228 Fax: (212) 455-2502 Email: gwang@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Michael Joseph Chepiga
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2598 Fax: (212) 455-2502 Email: mchepiga@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Paul C. Curnin
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2000 Fax: (212) 455-2502 Email: pcurnin@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Shannon Price Torres
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2000 x2322 Fax: (212) 455-2502 Email: storres@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

J.P. Morgan Securities, Inc.
Consolidated Defendant
Agnes Dunogue
(See above for address)
TERMINATED: 04/08/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED

Craig Scott Waldman
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

George S Wang
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Michael Joseph Chepiga
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Paul C. Curnin
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Shannon Price Torres
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Goldman Sachs & CO.
Consolidated Defendant
Agnes Dunogue
(See above for address)
TERMINATED: 04/08/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED

Craig Scott Waldman
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

George S Wang
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Michael Joseph Chepiga
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Paul C. Curnin
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Shannon Price Torres
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Dennis R. Beresford
Consolidated Defendant
Louis J. Freeh
Consolidated Defendant
Brenda J. Gaines
Consolidated Defendant
Karen N. Horn
Consolidated Defendant
Bridget A. Macaskill
Consolidated Defendant
Leslie Rahl
Consolidated Defendant
Greg C. Sites
Consolidated Defendant
Patrick Swygert
Consolidated Defendant
John K. Wulff
Consolidated Defendant
David Hisey
Consolidated Defendant
Michael John Walsh
(See above for address)
ATTORNEY TO BE NOTICED

Robert M. Stern
(See above for address)
ATTORNEY TO BE NOTICED

Fogel Capital Management, Inc. and The Snow Family
Movant
Gregory Mark Nespole
Wolf Haldenstein Adler Freeman & Herz LLP 270 Madison Avenue New York, NY 10016 212-545-4657 Fax: (212) 545-4693 Email: nespole@whafh.com
ATTORNEY TO BE NOTICED

Martin Mahler
Movant
Robert N Cappucci
Entwistle & Cappucci LLP(NJ) 30 Columbia Turnpike Florham Park, NJ 07932 212-894-7207 Fax: 212-894-7272 Email: rcappucci@entwistle-law.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Danny Austin
Movant
Robert N Cappucci
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Eleanor Maro
Movant
Robert N Cappucci
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Tennessee Consolidated Retirement System
Movant
Donald R. Hall , Jr
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Frederic Scott Fox , Sr
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Jeffrey Philip Campisi
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Robert N. Kaplan
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Melinda D. Campbell
Kaplan Fox & Kilsheimer LLP (NYC) 850 Third Avenue 14th Floor New York, NY 10022 (212)-329-8569 Fax: (212)-687-7714 Email: mcampbell@kaplanfox.com
ATTORNEY TO BE NOTICED

Horizon Asset Management, Inc.
Movant
Solomon B. Cera
Gold Bennett Cera & Sidener, LLP 595 Market Street, Suite 2300 San Francisco, CA 94015 (415) 777-2230 x2234 Fax: (415) 777-5189 Email: scera@cerallp.com
LEAD ATTORNEY PRO HAC VICE ATTORNEY TO BE NOTICED

Lawrence Donald Levit
Abraham Fruchter & Twersky LLP One Penn Plaza Suite 2805 New York, NY 10119 (212)-279-5050 Fax: (212)-279-3655 Email: llevit@aftlaw.com
ATTORNEY TO BE NOTICED

Deka International S.A., Luxembourg
Movant
Geoffrey Coyle Jarvis
Grant & Eisenhofer P.A. (NY) 485 Lexington Avenue 29th Floor New York, NY 10017 (302-622-7040 Fax: (302)-622-7100 Email: gjarvis@gelaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

International Fund Management S.A., Luxembourg
Movant
Geoffrey Coyle Jarvis
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Richard H. Moore
Movant
Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System
Geoffrey Coyle Jarvis
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Frankfurt Group and Insurance Group
Movant
Marc Ian Gross
Pomerantz LLP 600 Third Avenue, 20th Floor New York, NY 10016 (212)661-1100 Fax: (212) 661-8665 Email: migross@pomlaw.com
ATTORNEY TO BE NOTICED

Massachusetts Public Pension Funds
Movant
Christopher J. Keller
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Bryan Andrew Wood
(See above for address)
ATTORNEY TO BE NOTICED

Alameda County Employees Retirement Association
Movant
Gerald H. Silk
Bernstein Litowitz Berger & Grossmann LLP 1285 Avenue of the Americas 38th Floor New York, NY 10019 212 554 1282 Fax: 212-554-1444 Email: jerry@blbglaw.com
ATTORNEY TO BE NOTICED

Unisuper Limited
Movant
David Avi Rosenfeld
Robbins Geller Rudman & Dowd LLP(LI) 58 South Service Road Suite 200 Melville, NY 11747 631-367-7100 Fax: 631-367-1173 Email: drosenfeld@csgrr.com
ATTORNEY TO BE NOTICED

Roy Cooper
Movant
Attorney General of North Carolina
Grayson Gordon Kelley
North Carolina Attorney Generals' Office 114 West Edenton Street P.O. Box 114 Raleigh, NC 27603 (919) 716-6400 Fax: (919) 716-0135 Email: gkelley@ncdoj.gov
TERMINATED: 04/27/2009

Cheryl Strong
Movant
Phillip Melton
Movant
James W. Giddens
Movant
Trustee for the SIPA Liquidation of Lehman Brothers Inc.
Malka Krausz
ADR Provider
Jason Robert D'Agnenica
Stull Stull & Brody 6 East 45th Street, 5th Floor New York, NY 10017 (212)-687-7230 Fax: (212)-490-2022 Email: jasondag@ssbny.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Federal Housing Finance Agency
Intervenor Defendant
Eric Samuel Olney
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Gregory Bertram Reilly , III
Littler Mendelson, P.C. (NYC) 900 Third Avenue 7th Floor New York, NY 10022 (973)621-3200 Fax: (973)621-3199 Email: greilly@littler.com
TERMINATED: 03/09/2011 LEAD ATTORNEY ATTORNEY TO BE NOTICED

Joseph J. Aronica
Duane Morris LLP (DC) 505 9th Street, NW Suite 1000 Washington, DC 20004 (202) 776-7824 Fax: (202) 478-1885 Email: jjaronica@duanemorris.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Mary Gibbons Whipple
Arseneault, Whipple, Fassett & Azzarello, LLP 560 Main Street Chatham, NJ 07928 (973) 635-3366 Fax: (973) 635-0855 Email: mgwhipple@awffa.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Malka Krausz
ADR Provider
Citigroup Global Markets, Inc.
Defendant
Jonathan K. Youngwood
Simpson Thacher & Bartlett LLP (NY) 425 Lexington Avenue New York, NY 10017 (212) 455-2000 Fax: (212) 455-2502 Email: jyoungwood@stblaw.com
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Wachovia Capital Markets, LLC
Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Banc of America Securities LLC
Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Deutsche Banc Securities Inc.
Consolidated Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

JP Morgan Securities LLC
Consolidated Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

JP Morgan Chase & Co.
Consolidated Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Morgan Stanley & Co. LLC
Consolidated Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

UBS Securities LLC
Consolidated Defendant
Jonathan K. Youngwood
(See above for address)
LEAD ATTORNEY ATTORNEY TO BE NOTICED

Documents

Date Filed Document # Attachment # Short Description Long Description Upload date SHA1 hash
2008-09-08 1 0 COMPLAINT against Stephen B. Ashley, Daniel H. Mudd, Stephen M. Swad, Robert J. Levin. (Filing Fee $ 350.00, Receipt Number 662431)Document filed by John A. Genovese.(mbe) (mbe). (Entered: 09/12/2008) 2013-01-27 15:36:25 1f43096bcca6eedd69eb36b86c95c845fae215c4
2008-10-20 2 0 STIPULATION AND ORDER The undersigned attorneys accept service of the complaint in this action on their respective clients behalf as of the date of this stipulation. The time for all defendants to move, answer or otherwise respond to the complaint in this action is extended until 45 days after a consolidated amended complaint has been filed in this action or in any action into which this action is consolidated. If counsel for plaintiff John Genovese is selected lead counsel in this action ( or in any action into which this action is consolidated) pursuant to section 21D of the Securities and Exchange Act of 1934, defendants agree that the lead plaintiff shall file a consolidated amended complaint no later than 45 days after the entry of the courts order appointing lead plaintiff and lead counsel. Each defendant expressly reserves all defenses other than insufficient process of insufficient service of process. (Signed by Judge Gerard E. Lynch on 10/20/08) (mme) (Entered: 10/20/2008) 2013-01-27 15:36:41 3b03dbc5321b01e61dd516c8423c0fa44d6310ca
2008-11-07 3 0 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., MOTION to Appoint Counsel. Document filed by Fogel Capital Management, Inc. and The Snow Family. (Attachments: # 1 Certificate of Service)(Nespole, Gregory) (Entered: 11/07/2008)
2008-11-07 4 0 MEMORANDUM OF LAW in Support re: 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s).. Document filed by Fogel Capital Management, Inc. and The Snow Family. (Nespole, Gregory) (Entered: 11/07/2008) 2013-01-27 15:38:05 f8f4e6af260e116b4f7545095485b12c85f10911
2008-11-07 5 0 DECLARATION of Gustavo Bruckner in Support re: 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s).. Document filed by Fogel Capital Management, Inc. and The Snow Family. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6 part 1 of 2, # 7 Exhibit 6 part 2 of 2, # 8 Exhibit 7, # 9 Exhibit 8)(Nespole, Gregory) (Entered: 11/07/2008)
5 2 Exhibit 1
5 3 Exhibit 2
5 4 Exhibit 3
5 5 Exhibit 4
5 6 Exhibit 5
5 7 Exhibit 6 part 1 of 2
5 8 Exhibit 6 part 2 of 2
5 9 Exhibit 7
5 10 Exhibit 8
2008-11-07 6 0 NOTICE OF APPEARANCE by Robert N Cappucci on behalf of Martin Mahler, Danny Austin, Eleanor Maro (Cappucci, Robert) (Entered: 11/07/2008)
2008-11-07 7 0 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551., MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. Document filed by Martin Mahler, Danny Austin, Eleanor Maro.(Cappucci, Robert) (Entered: 11/07/2008)
2008-11-07 8 0 MEMORANDUM OF LAW in Support re: 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s).. Document filed by Martin Mahler, Danny Austin, Eleanor Maro. (Cappucci, Robert) (Entered: 11/07/2008)
2008-11-07 9 0 DECLARATION of Robert N. Cappucci in Support re: 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s).. Document filed by Martin Mahler, Danny Austin, Eleanor Maro. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D)(Cappucci, Robert) (Entered: 11/07/2008) 2014-04-07 16:09:41 43eef4d342f1e05cfbe42f662de69236222c9b39
2008-11-07 10 0 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel., MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. Document filed by Tennessee Consolidated Retirement System.(Hall, Donald) (Entered: 11/07/2008)
2008-11-07 11 0 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s). Document filed by Horizon Asset Management, Inc..(Levit, Lawrence) (Entered: 11/07/2008)
2008-11-07 12 0 MEMORANDUM OF LAW in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s).. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 11/07/2008)
2008-11-07 13 0 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plaintiff(s). Document filed by Deka International S.A., Luxembourg, International Fund Management S.A., Luxembourg, Richard H. Moore. (Attachments: # 1 Text of Proposed Order, # 2 Certificate of Service)(Jarvis, Geoffrey) (Entered: 11/07/2008)
2008-11-07 14 0 DECLARATION of Donald R. Hall in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s).. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 11/07/2008)
2008-11-07 15 0 MEMORANDUM OF LAW in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Levit, Lawrence) (Entered: 11/07/2008)
2008-11-07 16 0 MEMORANDUM OF LAW in Support re: 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai ntiff(s). Document filed by Deka International S.A., Luxembourg, International Fund Management S.A., Luxembourg, Richard H. Moore. (Jarvis, Geoffrey) (Entered: 11/07/2008)
2008-11-07 17 0 DECLARATION of Geffrey C. Jarvis in Support re: 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai. Document filed by Richard H. Moore. (Attachments: # 1 Exhibit A - Certifications, # 2 Exhibit B - Class Notice, # 3 Exhibit C - G&E Firm Biography)(Jarvis, Geoffrey) (Entered: 11/07/2008)
2008-11-07 18 0 DECLARATION of Thomas C. Bright in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E)(Levit, Lawrence) (Entered: 11/07/2008)
2008-11-07 19 0 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel. Document filed by Frankfurt Group and Insurance Group. (Attachments: # 1 Text of Proposed Order)(Gross, Marc) (Entered: 11/07/2008)
2008-11-07 20 0 MEMORANDUM OF LAW in Support re: 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel.. Document filed by Frankfurt Group and Insurance Group. (Attachments: # 1 Exhibit)(Gross, Marc) (Entered: 11/07/2008)
2008-11-07 21 0 CERTIFICATE OF SERVICE of Motion for Consolidation, Appointment as Lead Plaintiff and Selection of Lead and Liaison Counsel served on Other Counsel Related to Federal National Mortgage Association Class Actions on 11/07/08. Service was made by Mail. Document filed by Horizon Asset Management, Inc.. (Levit, Lawrence) (Entered: 11/07/2008)
2008-11-07 22 0 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676., MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s)., MOTION to Appoint Counsel. Document filed by Massachusetts Public Pension Funds. (Attachments: # 1 Text of Proposed Order)(Keller, Christopher) (Entered: 11/07/2008)
2008-11-07 23 0 MEMORANDUM OF LAW in Support re: 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Keller, Christopher) (Entered: 11/07/2008)
2008-11-07 24 0 DECLARATION of Alan I. Ellman in Support re: 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Certificate of Service)(Keller, Christopher) (Entered: 11/07/2008)
2008-11-07 25 0 NOTICE of Notice of Lynn and SteveAnn Williams Motion for Consolidation, Appointment of Lead Plaintiff and Approval of Lead Plaintiffs' Selection of Lead Counsel on Behalf of Federal National Home Mortgage Preferred Stock Series S Shareholders. Document filed by Lynn Williams, Steveann Williams. (Federman, William) (Entered: 11/07/2008)
2008-11-07 26 0 NOTICE OF APPEARANCE by Jeffrey Philip Campisi on behalf of Tennessee Consolidated Retirement System (Campisi, Jeffrey) (Entered: 11/07/2008)
2008-11-07 27 0 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s). Document filed by Alameda County Employees Retirement Association.(Silk, Gerald) (Entered: 11/07/2008)
2008-11-07 28 0 MEMORANDUM OF LAW in Support re: 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s).. Document filed by Alameda County Employees Retirement Association. (Silk, Gerald) (Entered: 11/07/2008)
2008-11-07 29 0 NOTICE OF APPEARANCE by Frederic Scott Fox, Sr on behalf of Tennessee Consolidated Retirement System (Fox, Frederic) (Entered: 11/07/2008)
2008-11-07 30 0 DECLARATION of Gerald H. Silk in Support re: 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s).. Document filed by Alameda County Employees Retirement Association. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E)(Silk, Gerald) (Entered: 11/07/2008)
2008-11-07 31 0 NOTICE OF APPEARANCE by Robert N. Kaplan on behalf of Tennessee Consolidated Retirement System (Kaplan, Robert) (Entered: 11/07/2008)
2008-11-07 32 0 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676., MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., MOTION to Appoint Counsel. Document filed by Unisuper Limited.(Rosenfeld, David) (Entered: 11/07/2008)
2008-11-07 33 0 MEMORANDUM OF LAW in Support re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s).. Document filed by Unisuper Limited. (Rosenfeld, David) (Entered: 11/07/2008)
2008-11-07 34 0 AFFIDAVIT of David A. Rosenfeld in Support re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s).. Document filed by Unisuper Limited. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D)(Rosenfeld, David) (Entered: 11/07/2008)
2008-11-17 35 0 NOTICE OF APPEARANCE by John J. Clarke, Jr on behalf of Stephen B. Ashley (Clarke, John) (Entered: 11/17/2008)
2008-11-17 36 0 BRIEF re: 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel.. Document filed by Frankfurt Group and Insurance Group. (Attachments: # 1 Exhibit 3-6)(Qian, Fei-Lu) (Entered: 11/17/2008)
2008-11-17 37 0 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Horizon Asset Management, Inc..(Taylor, Philip) (Entered: 11/17/2008)
2008-11-17 38 0 NOTICE OF APPEARANCE by David Fleischer on behalf of Daniel H. Mudd (Fleischer, David) (Entered: 11/17/2008)
2008-11-18 39 0 NOTICE of Non-Opposition re: 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s).. Document filed by Alameda County Employees Retirement Association. (Silk, Gerald) (Entered: 11/18/2008)
2008-11-19 40 0 MOTION for Grayson Kelley to Appear Pro Hac Vice. Document filed by Roy Cooper.(dle) (Entered: 11/19/2008)
2008-11-24 41 0 ORDER granting 40 Motion for Grayson Kelley to Appear Pro Hac Vice for Movant Roy Cooper. (Signed by Judge Gerard E. Lynch on 11/22/08) (db) (Entered: 11/24/2008)
2008-11-24 42 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Taylor, Philip) (Entered: 11/24/2008)
2008-11-24 43 0 DECLARATION of Solomon B. Cera in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Taylor, Philip) (Entered: 11/24/2008)
2008-11-24 44 0 DECLARATION of Andrew Fishman in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Taylor, Philip) (Entered: 11/24/2008)
2008-11-24 45 0 CERTIFICATE OF SERVICE of Memorandum in Opposition to Competing Motions for Appoinment of Lead Plaintiff served on Competing Lead Plaintiff Movants and Defendants' Counsel on 11/24/08. Service was made by Mail. Document filed by Horizon Asset Management, Inc.. (Taylor, Philip) (Entered: 11/24/2008)
2008-11-24 46 0 RESPONSE to Motion re: 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Unisuper Limited. (Attachments: # 1 Exhibit A)(Rosenfeld, David) (Entered: 11/24/2008)
2008-11-24 47 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Cheryl Strong. (Bronson, Kent) (Entered: 11/24/2008)
2008-11-24 48 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Phillip Melton. (Bronson, Kent) (Entered: 11/24/2008)
2008-11-24 49 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Phillip Melton. (Seidman, Peter) (Entered: 11/24/2008)
2008-11-25 50 0 RESPONSE to Motion re: 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai. Document filed by Roy Cooper. (Kelley, Grayson) (Entered: 11/25/2008)
2008-11-25 51 0 MEMORANDUM OF LAW in Support re: 50 Response to Motion, 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai. Document filed by Roy Cooper. (Kelley, Grayson) (Entered: 11/25/2008)
2008-11-28 52 0 MEMORANDUM OF LAW in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). and in Opposition to all other Motions. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 11/28/2008)
2008-11-28 53 0 DECLARATION of DONALD R. HALL in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s).. Document filed by Tennessee Consolidated Retirement System. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H)(Hall, Donald) (Entered: 11/28/2008)
2008-11-28 54 0 MEMORANDUM OF LAW in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). and in Opposition to all other Motions. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 11/28/2008)
2008-11-28 55 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Keller, Christopher) (Entered: 11/28/2008)
2008-11-28 56 0 DECLARATION of Alan I. Ellman in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 40 MOTION for Grayson Kelley to Appear Pro Hac Vice., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15, # 16 Exhibit 16, # 17 Exhibit 17, # 18 Exhibit 18, # 19 Exhibit 19, # 20 Exhibit 20, # 21 Certificate of Service)(Keller, Christopher) (Entered: 11/28/2008)
2008-12-01 57 0 MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Deka International S.A., Luxembourg, Richard H. Moore. (Attachments: # 1 Exhibit Exhibit A, # 2 COS)(Jarvis, Geoffrey) (Entered: 12/01/2008)
2008-10-20 58 0 STIPULATION AND ORDER: The undersigned attorneys accept service of the summons and complaint in this action on their respective client's behalf as of the date of this stipulation. 2. The time for Mr. Ashley, Mr. Levin and Mr. Mudd to move, answer or otherwise respond to the complaint in this action is extended until 45 days after a consolidated amended complaint has been filed in this action or in any action into which this action is consolidated. 3. If counsel for plaintiff John Genovese is selected lead counsel in this action (or in any action into which this action is consolidated) pursuant to section 21D of the Securities and Exchange Act of 1934, Mr. Ashley, Mr. Levin and Mr. Mudd agree that the lead plaintiff shall file a consolidated amended complaint no later than 45 days after entry of the Court's order appointing lead plaintiff and lead counsel. 4. Mr, Ashley, Mr. Levin and Mr. Mudd each expressly reserves all defenses other than insufficient process or insufficient service of process. (Signed by Judge Gerard E. Lynch on 10/20/08) (js) (Entered: 12/09/2008) 2013-01-27 15:39:31 1c8808261e53498d522aee2ce0dcd33210d26cbb
2008-12-08 59 0 MOTION for Solomon B. Cera to Appear Pro Hac Vice. Document filed by Horizon Asset Management, Inc.(dle) (Entered: 12/10/2008)
2008-12-11 60 0 SECOND MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Susan Kraus. (Bronson, Kent) (Entered: 12/11/2008)
2008-12-11 61 0 SECOND MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Phillip Melton. (Bronson, Kent) (Entered: 12/11/2008)
2008-12-11 62 0 SECOND MEMORANDUM OF LAW in Opposition re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Cheryl Strong. (Bronson, Kent) (Entered: 12/11/2008)
2008-12-11 63 0 REPLY MEMORANDUM OF LAW in Support re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s)., 19 MOTION to Appoint The Frankfurt Group and The Insurance Group to serve as lead plaintiff(s) and approval of co-lead counsel., 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai, 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s)., 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s)., 3 MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Fogel Capital Management, Inc. and The Snow Family to serve as lead plaintiff(s)., 27 MOTION to Appoint Alameda County Employees Retirement Association to serve as lead plaintiff(s)., 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Deka International S.A., Luxembourg, Richard H. Moore. (Attachments: # 1 Certificate of Service)(Jarvis, Geoffrey) (Entered: 12/11/2008)
2008-12-11 64 0 DECLARATION of Geoffrey C. Jarvis in Support re: 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai. Document filed by Deka International S.A., Luxembourg, Richard H. Moore. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Certificate of Service)(Jarvis, Geoffrey) (Entered: 12/11/2008)
2008-12-11 65 0 REPLY MEMORANDUM OF LAW in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). and in Opposition to all other Motions for Appointment of Lead Plaintiff and Appointment of Lead Counsel. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 12/11/2008)
2008-12-11 66 0 REPLY AFFIDAVIT of Donald R. Hall in Support re: 10 MOTION to Appoint Counsel Kaplan Fox & Kilsheimer LLP as Lead Counsel. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s). MOTION to Consolidate Cases 1:08-cv-7831, 1:08-cv-7938, 1:08-cv-8008, 1:08-cv-8096, 1:08-cv-8353, 1:08-cv-8488, 1:08-cv-8491, 1:08-cv-8519, 1:08-cv-8520, 1:08-cv-8551, 1:08-cv-8547, 1:08-cv-8609, 1:08-cv-8676. MOTION to Appoint Tennessee Consolidated Retirement System to serve as lead plaintiff(s).. Document filed by Tennessee Consolidated Retirement System. (Hall, Donald) (Entered: 12/11/2008)
2008-12-11 67 0 REPLY MEMORANDUM OF LAW in Support re: 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Keller, Christopher) (Entered: 12/11/2008)
2008-12-11 68 0 DECLARATION of Alan I. Ellman in Support re: 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Keller, Christopher) (Entered: 12/11/2008)
2008-12-11 69 0 DECLARATION of Professor Bruce A. Green in Support re: 22 MOTION to Consolidate Cases 08-cv-07831, 08-cv-07938, 08-cv-08008, 08-cv-08096, 08-cv-08353, 08-cv-08488, 08-cv-08491, 08-cv-08519, 08-cv-08520, 08-cv-08547, 08-cv-08551, 08-cv-08609, 08-cv-08676. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Massachusetts Public Pension Funds to serve as lead plaintiff(s).. Document filed by Massachusetts Public Pension Funds. (Attachments: # 1 Certificate of Service)(Keller, Christopher) (Entered: 12/11/2008)
2008-12-11 70 0 NOTICE of Withdrawal re: 32 MOTION to Consolidate Cases 08-cv-07831; 08-cv-08008; 08-cv-08096; 08-cv-08353; 08-cv-08491; 08-cv-08547; 08-cv-08551; 08-cv-08609; 08cv-08676. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s). MOTION to Appoint Counsel. MOTION to Appoint Unisuper Limited to serve as lead plaintiff(s).. Document filed by Unisuper Limited. (Rosenfeld, David) (Entered: 12/11/2008)
2008-12-11 71 0 REPLY MEMORANDUM OF LAW in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Attachments: # 1 Exhibit Certificate of Service)(Taylor, Philip) (Entered: 12/11/2008)
2008-12-11 72 0 DECLARATION of Solomon B. Cera in Support re: 11 MOTION to Appoint Horizon Asset Management, Inc. to serve as lead plaintiff(s).. Document filed by Horizon Asset Management, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E)(Taylor, Philip) (Entered: 12/11/2008)
2008-12-16 73 0 ORDER ADMITTING ATTORNEY PRO HAC VICE. Attorney Solomon Cera for Horizon Asset Management, Inc. admitted Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 12/15/2008) (tve) (Entered: 12/16/2008)
2009-01-26 74 0 ORDER; that the Court having recognized the need for an initial conference, it is hereby ORDERED that counsel for all parties and movants in the above-referenced matters shall appear before this Court on February 13, 2009, at 11:00 a.m. (Signed by Judge Gerard E. Lynch on 1/23/09) (pl) (Entered: 01/26/2009)
2009-02-10 75 0 FILING ERROR - ELECTRONIC FILING FOR NON-ECF DOCUMENT - NOTICE of Withdrawal re: 7 MOTION to Consolidate Cases 1:08-cv-08008, 1:08-cv-08488, 1:08-cv-08491 and 1:08-cv-08551. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s). MOTION to Appoint Counsel Entwistle & Cappucci LLP and Brower Piven, A Professional Corporation. MOTION to Appoint Dr. Martin Mahler, Danny Austin and Eleanor L. Maro to serve as lead plaintiff(s)., 9 Declaration in Support of Motion,, 8 Memorandum of Law in Support of Motion,,. Document filed by Martin Mahler, Danny Austin, Eleanor Maro. (Cappucci, Robert) Modified on 2/11/2009 (db). (Entered: 02/10/2009)
2009-02-11 76 0 NOTICE OF APPEARANCE by Scott N. Auby on behalf of Stephen M. Swad (Auby, Scott) (Entered: 02/11/2009)
2009-02-12 77 0 MOTION WITHDRAWAL OF MOTION FOR CONSOLIDATION OF SIMILAR CASES, APPOINTMENT OF LEAD PLAINTIFF AND APPROVAL OF LEAD COUNSEL re: 13 MOTION to Appoint Deka International S.A. Luxembourg, International Fund Management S.A. Luxembourg and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System to serve as lead plai. Document filed by Deka International S.A., Luxembourg, International Fund Management S.A., Luxembourg, Richard H. Moore.(Jarvis, Geoffrey) (Entered: 02/12/2009)
2009-02-13 78 0 MOTION for Bryan Wood to Appear Pro Hac Vice. Document filed by Massachusetts Public Pension Funds.(dle) (Entered: 02/19/2009)
2009-02-13 79 0 CERTIFIED TRUE COPY OF CONDITIONAL MDL TRANSFER IN ORDER FROM THE MDL PANEL... that pursuant to 28 U.S.C. 1407, the action(s) listed... and pending... be, and the same hereby are, transferred to the Southern District of New York and, with consent of that court, assigned to the Honorable Gerard E. Lynch, for coordinated or consolidated pretrial proceedings with the actions pending in that district... (Signed by MDL Panel on 2/11/2009) (laq) (Entered: 02/19/2009)
2009-02-10 80 0 MOTION for James Wareham and James Anklam to Appear Pro Hac Vice. Document filed by Daniel H. Mudd.(dle) (Entered: 02/20/2009)
2009-02-13 81 0 MOTION for Michael J. Baratz to Appear Pro Hac Vice. Document filed by Robert J. Levin.(dle) (Entered: 02/20/2009)
2009-02-20 82 0 NOTICE OF WITHDRAWAL: Movants Dr. Martin Mahler, Mr. Danny Austin and Mrs. Elanor Maro hereby withdraw their motion for consolidation for similar cases, appointment of lead plaintiff, and approval of lead counsel in this action based upon the completing motions filed by (1) Horizon Asset Management, Inc.; (2) the Institutional Investor Group; (3) the Tennessee Consolidated Retirement System; (4) the Massachusetts Public Pension Funds; (5) UniSuper Limited; (6) the Almeda County Employees Retirement Association; (7) the Frankfurt Group and Insurance Group; (8) Fogel Capital Management and the Snow Family; (9) the Strong Group; (10) Susan Kraus; and (11) Lynn and SteveAnn Williams. (Signed by Judge Gerard E. Lynch on 2/12/09) (tro) (Entered: 02/20/2009)
2009-02-13 83 0 MOTION for Mark J. Hulkower to Appear Pro Hac Vice. Document filed by Robert J. Levin.(dle) (Entered: 02/23/2009)
2009-02-24 84 0 TRANSCRIPT of proceedings held on 2/13/2009 before Judge Gerard E. Lynch. (jmi) (Entered: 02/24/2009)
2009-02-25 85 0 ORDER TO ADMIT COUNSEL PRO HAC VICE, granting 80 Motion for James Wareham and James Anklam to Appear Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 2/25/09) (pl) (Entered: 02/25/2009)
2009-03-02 86 0 NOTICE OF APPEARANCE by Melinda D. Rodon on behalf of Tennessee Consolidated Retirement System (Rodon, Melinda) (Entered: 03/02/2009)
2009-03-02 87 0 ORDER FOR ADMISSION PRO HAC VICE: The motion for admission pro hac vice in the matters set forth herein is granted. The admitted attorney, Mark J. Hulkower is permitted to argue or try this particular case in whole or in part as counsel or advocate. An attorney admitted to practice pro hac vice is required to pay a $25.00 per attorney admission fee and present this Order to the intake deputy clerk in the Clerk's Office. When paying by mail, return a copy of this Order to the Clerk's Office with the required fee. This order confirms your appearance as counsel in this case, and it will be entered on the Court's docket. A notation of your admission pro hac vice for the listed cases will be made on the roll of attorneys. (Signed by Judge Gerard E. Lynch on 2/27/09) (dle) (Entered: 03/02/2009)
2009-03-02 88 0 ORDER FOR ADMISSION PRO HAC VICE: The motion for admission pro hac vice in the matters set forth herein is granted. The admitted attorney, Michael J. Baratz is permitted to argue or try this particular case in whole or in part as counsel or advocate. An attorney admitted to practice pro hac vice is required to pay a $25.00 per attorney admission fee and present this Order to the intake deputy clerk in the Clerk's Office. When paying by mail, return a copy of this Order to the Clerk's Office with the required fee. This order confirms your appearance as counsel in this case, and it will be entered on the Court's docket. A notation of your admission pro hac vice for the listed cases will be made on the roll of attorneys. (Signed by Judge Gerard E. Lynch on 2/27/09) (dle) (Entered: 03/02/2009)
2009-03-03 89 0 NOTICE OF WITHDRAWAL: PLEASE TAKE NOTICE THAT movants Dr. Martin Mahler, Mr. Danny Austin and Mrs. Eleanor Maro (collectively, the "Series T Preferred Investor Group"), by and through their counsel, hereby withdraw their motion for consolidation of similar cases, appointment of lead plaintiff, and approval of lead counsel in the above-captioned actions based upon the competing motions filed by: the parties set forth in this order. (Signed by Judge Gerard E. Lynch on 2/27/09) (js) (Entered: 03/04/2009)
2009-03-03 90 0 NOTICE OF WITHDRAWAL: PLEASE TAKE NOTICE THAT movants Deka International S.A. Luxembourg ("DIL"), International Fund Management S.A. Luxembourg ("IFM"), and Richard H. Moore, as Treasurer of the State of North Carolina and as the sole trustee of the North Carolina Retirement System ("NCRS," which includes the Teachers' and State Employees' Retirement System, the Consolidated Judicial Retirement System, the Firemen's and Rescue Workers' Pension Fund, the Local Governmental Employees' Retirement System, the Legislative Retirement System, and the North Carolina National Guard Pension Fund) (collectively with DIL and IFM the "Institutional Investor Group"), hereby withdraw their motion for consolidation of similar cases, appointment of lead plaintiff, and approval of lead counsel in the above-captioned actions. So Ordered. (Signed by Judge Gerard E. Lynch on 2/27/09) (js) (Entered: 03/04/2009)
2009-03-09 91 0 ORDER: To the extent TCRS requests that the Court reconsider its decision to appoint separate lead plaintiffs for the Common Shareholder Class and the Preferred Shareholder Class, its request is denied. The Massachusetts Public Pension Funds' request that Labaton Sucharow and Berman DeValerio be appointed co-lead counsel for the Common Shareholder Class is granted. The Massachusetts Public Pension Funds and TCRS shall provide the Court with a proposed case management order. SO ORDERED. (Signed by Judge Gerard E. Lynch on 3/9/2009) (tve) (Entered: 03/09/2009)
2009-03-12 92 0 TRANSCRIPT of proceedings held on 2/13/09 before Judge Gerard E. Lynch. (ama) (Entered: 03/24/2009)
2009-04-10 93 0 ORDER granting 78 Motion for Bryan Wood to Appear Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 4/9/2009) (tve) (Entered: 04/10/2009)
2009-04-16 94 0 ORDER; 1. that the actions listed on the annexed schedule under the heading "Schedule of Fannie Mae Securities Actions," as well as any other action pertaining to Fannie Mae, now pending before, hereafter filed in, or hereafter transferred to this Court, including the actions transferred to this Court pursuant to the order of the Judicial Panel of Multidistrict Litigation dated February 11, 2009, brought under the federal securities laws or state laws relating to the issuance, purchase or sale of securities ("Fannie Mae Securities Actions") are consolidated for pretrial purposes in the manner described below (the "Consolidated Securities Action"). 2. The Clerk of this Court shall file a copy of this Order in the separate file for each of the Fannie Mae Securities Actions. Unless otherwise ordered by this Court, future filings in any Fannie Mae Securities Action herein consolidated shall be filed and docketed only under 1:08-cv-07831-GEL. All counsel who have entered appearances in any of the actions listed on the attached schedule shall be deemed to have entered an appearance in that: Consolidated Securities Action under the docket 1:08-cv-07831-GEL. All motions for admission pro hac vice and all orders granting such motions in any case listed on the annexed schedule shall also be deemed filed in the Consolidated Securities Action under the docket 1:08-cv-07831-GEL. 3. The Court requests the assistance of counsel in calling to the attention of the Clerk of this Court the filing or transfer of any case that might properly be consolidated as part of this litigation. Any action involving substantially related questions of law and fact hereafter filed in or transferred to this Court shall be consolidated under the master file number assigned to this case. 4. Every pleading filed in the Consolidated Securities Action shall bear the caption: In re FANNIE MAE 2008 SECURITIES LITIGATION. 5. Pursuant to 15 U.S.C. § 78u-4(a)(3)(B) and 15 U.S.C. § 77z-1(a)(3)(B), Tennessee Consolidated Retirement System ("TCRS") is appointed Lead Plaintiff on behalf of the Preferred Shareholder Class ("Preferred Shareholder Lead Plaintiff'). 6. Pursuant to 15 U.S.C. § 78u-4(a)(3)(B) and 15 U.S.C. § 77z-1(a)(3)(B), Massachusetts Pension Reserves Investment Management Board ("PRIM") and the Boston Retirement Board ("Boston") (collectively, the "Massachusetts Public Pension Funds") are appointed Lead Plaintiff on behalf of the Stockholder Class ("Stockholder Lead Plaintiff) (collectively, Preferred Shareholder Lead Plaintiff and Stockholder Lead Plaintiff, "Lead Plaintiffs").7. The Court approves the Preferred Shareholder Lead Plaintiffs selection of KaplanFox & Kilsheimer LLP as Lead Counsel for the Preferred Shareholder Class ("Lead Counsel for Preferred"). 8. The Court approves the Stockholder Lead Plaintiffs selection of Labaton Sucharow LLP and Berman DeValerio as Lead Counsel for the Stockholder Class ("Lead Counsel for the Common"). 9. Lead Plaintiffs shall file a Joint Consolidated Complaint ("Joint Complaint") within 45 days of the entry of this Order. Therefore, the Clerk of the Court is directed to close out all motions in those cases for purposes of all internal statistical reports. Lead Counsel for the Common and Preferred shall also serve a copy of this signed Order on counsel for all parties in the Fannie Mae Securities Actions. SCHEDULE OF IMPORTANT DEADLINES IN FANNIE MAE, 08civ7831 June 1,2009 - Consolidated Amended Complaint Filed, June 22,2009 - '33 Act MTDs filed, June 15, 2009 - Complaints in all Fannie Mae actions dismissed unless cause shown, July 16,2009 - Ds response/MTDs for all non-'33 Act claims, July 22,2009 - Ps response to '33 Act MTDs, August 6, 2009 - Ds reply in '33 Act MTDs, August 31, 2009 - Ps response to Ds motion/answer to non-'33 Act, claim, September 15, 2009 - Ds reply in non-'33 Act MTDs. Additional relief as set forth in this Order. (Signed by Judge Gerard E. Lynch on 4/16/09) (pl) Modified on 4/17/2009 (pl). (Entered: 04/17/2009) 2009-11-06 03:13:55 320853c4f7d5708bfea81f3fcd6d59b05cdf978a
2009-04-27 95 0 ENDORSED LETTER addressed to Judge Gerard E Lynch from Grayson Kelley dated 4/14/09 re: Request that I be released from any further involvement in this case, including the receipt of any future electronic notifications regarding this action. ENDORSEMENT: So ordered. (Signed by Judge Gerard E. Lynch on 4/27/09) (cd) (Entered: 04/27/2009)
2009-04-29 96 0 NOTICE OF APPEARANCE by Floyd Abrams on behalf of The McGraw-Hill Companies, Inc. (Abrams, Floyd) (Entered: 04/29/2009)
2009-04-29 97 0 NOTICE OF APPEARANCE by Sarah Penny Windle on behalf of The McGraw-Hill Companies, Inc. (Windle, Sarah) (Entered: 04/29/2009)
2009-04-29 98 0 NOTICE OF APPEARANCE by Tammy Lynn Roy on behalf of The McGraw-Hill Companies, Inc. (Roy, Tammy) (Entered: 04/29/2009)
2009-04-29 99 0 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by The McGraw-Hill Companies, Inc..(Abrams, Floyd) (Entered: 04/29/2009)
2009-05-28 100 0 ORDER: It is hereby ordered that plaintiff Daniel Kramer shall file the motion for remand with the Clerk of the Court. The motion for remand shall be considered an open motion to be addressed by the Court in due course. (Signed by Judge Gerard E. Lynch on 5/28/2009) (jpo) (Entered: 05/28/2009)
2009-05-29 101 0 ENDORSED LETTER addressed to Judge Gerard E. Lynch from Donald R. Hall dated 5/26/09 re: Counsel for Lead Plaintiff the Tennessee Consolidated Retirement System and, on behalf of TCRS and lead plaintiffs the Massachusetts Public Pension Funds and their lead counsel, write to request a three-week extension of the deadline for Lead Plaintiffs to file the Joint Consolidated Complaint. In addition, Defendants' counsel has indicated that Defendants request a two-week extension to answer or move to dismiss all non Securities Act of 1933 claims. Requested Modified Schedule is as follows: Consolidated Amended Complaint to be filed by 6/22/09; 33 Act MTDs filed by 7/13/09; Complaint in all Fannie Mae actions dismissed unless cause show by 7/6/09; Ds response/MTDs for all non- '33Act claims by 8/21/09; Ps response to '33 Act MTDs by 8/12/09; Ds reply in '33 Act MTDs by 8/27/09; Ps response to Ds Motion/answer to non- '33 Act claims by 10/5/09; Ds reply to non-'33 Act MTDs by 11/4/09. ENDORSEMENT: SO ORDERED. (Signed by Judge Gerard E. Lynch on 5/28/09) Filed In Associated Cases: 1:08-cv-07831-GEL et al.(tro) (Entered: 05/29/2009)
2009-06-22 102 0 JOINT CONSOLIDATED AMENDED CLASS ACTION COMPLAINT amending 1 Complaint against Federal National Mortgage Association, Robert T Blakely, Enrico Dallavecchia, Deloitte & Touche LLP, Daniel H. Mudd, Stephen M. Swad. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"). Related document: 1 Complaint filed by John A. Genovese.(dle) (Entered: 06/23/2009) 2012-02-19 18:24:47 4b4a54810fc30afaccd971ee81ac8839155bc598
2009-06-25 103 0 MANDATE of USCA (Certified Copy) USCA Case Number 09-1294-op. Petitioner, through counsel, has filed a petition for a writ of mandamus. Upon due consideration, it is hereby ORDERED that the mandamus petition is DENIED because Petitioner has not demonstrated that exceptional circumstances warrant the requested relief. See In re von Bulow, 828 F.2d 94, 96 (2d Cir. 1987). Catherine O'Hagan Wolfe, Clerk USCA. Issued As Mandate: 6/23/2009. (nd) (Entered: 06/25/2009)
2009-06-29 104 0 NOTICE OF APPEARANCE by Michael John Walsh on behalf of David Hisey, Federal National Mortgage Association (Walsh, Michael) (Entered: 06/29/2009)
2009-07-02 105 0 NOTICE OF APPEARANCE by Charles Robert Cohen on behalf of Daniel Kramer (Cohen, Charles) (Entered: 07/02/2009)
2009-07-02 106 0 NOTICE OF APPEARANCE by Scott Warren Fisher on behalf of Daniel Kramer (Fisher, Scott) (Entered: 07/02/2009)
2009-07-02 107 0 NOTICE OF APPEARANCE by Dan Litvin on behalf of Daniel Kramer (Litvin, Dan) (Entered: 07/02/2009)
2009-07-02 108 0 NOTICE OF APPEARANCE by Peter S. Pearlman on behalf of Daniel Kramer Filed In Associated Cases: 1:08-cv-07831-GEL, 1:09-cv-01352-GEL(Pearlman, Peter) (Entered: 07/02/2009)
2009-07-02 109 0 MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009. Document filed by Malka Krausz. (Attachments: # 1 Text of Proposed Order)(D'Agnenica, Jason) (Entered: 07/02/2009)
2009-07-02 110 0 MEMORANDUM OF LAW in Support re: 109 MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009.. Document filed by Malka Krausz. (D'Agnenica, Jason) (Entered: 07/02/2009)
2009-07-02 111 0 DECLARATION of Jason D'Agnenica in Support re: 109 MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009.. Document filed by Malka Krausz. (Attachments: # 1 Exhibit A - Part 1, # 2 Exhibit A - Part 2, # 3 Exhibit A - Part 3)(D'Agnenica, Jason) (Entered: 07/02/2009)
2009-07-02 112 0 CERTIFICATE OF SERVICE. Document filed by Malka Krausz. (D'Agnenica, Jason) (Entered: 07/02/2009)
2009-07-13 113 0 JOINT MOTION to Dismiss. Document filed by Daniel H. Mudd, Stephen M. Swad, Merrill Lynch Pierce, Fenner & Smith, Inc., J.P. Morgan Securities, Inc., Goldman Sachs & CO., Federal National Mortgage Association, David Hisey.(Brandt, James) (Entered: 07/13/2009) 2012-02-19 18:24:48 c849e2d7b45c355322be4d9beea500b33a2e4896
2009-07-13 114 0 JOINT MEMORANDUM OF LAW in Support re: 113 JOINT MOTION to Dismiss.. Document filed by Daniel H. Mudd, Stephen M. Swad, Merrill Lynch Pierce, Fenner & Smith, Inc., J.P. Morgan Securities, Inc., Goldman Sachs & CO., Federal National Mortgage Association, David Hisey. (Brandt, James) (Entered: 07/13/2009) 2012-02-19 18:24:59 aa36b780fde33abdcedce3cfcf442aa45a735f1d
2009-07-13 115 0 DECLARATION of Jeff G. Hammel in Support re: 113 JOINT MOTION to Dismiss.. Document filed by Daniel H. Mudd, Stephen M. Swad, Merrill Lynch Pierce, Fenner & Smith, Inc., J.P. Morgan Securities, Inc., Goldman Sachs & CO., Federal National Mortgage Association, David Hisey. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15)(Brandt, James) (Entered: 07/13/2009)
2009-07-13 116 0 MOTION for Autumn Wind Smith to Appear Pro Hac Vice. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM").(dle) (Entered: 07/14/2009)
2009-07-13 117 0 MOTION for Glen DeValerio to Appear Pro Hac Vice. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM").(dle) (Entered: 07/14/2009)
2009-07-15 118 0 NOTICE OF APPEARANCE by Jeff G. Hammel on behalf of Federal National Mortgage Association (Hammel, Jeff) (Entered: 07/15/2009)
2009-07-15 119 0 NOTICE OF APPEARANCE by Eric Samuel Olney on behalf of Federal National Mortgage Association (Olney, Eric) (Entered: 07/15/2009)
2009-07-17 120 0 MEMORANDUM OF LAW in Opposition re: (109 in 1:08-cv-07831-GEL) MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009., (57 in 1:08-cv-08519-GEL) MOTION for Relief from Withdrawal and Dismissal Pursuant to the Order of April 16, 2009.. Document filed by Federal National Mortgage Association, Federal Nat'l Mortgage Assoc.. Filed In Associated Cases: 1:08-cv-07831-GEL, 1:08-cv-08519-GEL(Brandt, James) (Entered: 07/17/2009)
2009-07-20 121 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION granting 117 Motion for Glen Devalerio to Appear Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 7/20/2009) (jpo) (Entered: 07/20/2009)
2009-07-20 122 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION granting 116 Motion for Autumn W. Smith to Appear Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 7/20/2009) (jpo) (Entered: 07/20/2009)
2009-07-20 123 0 MEMORANDUM OF LAW in Opposition re: (109 in 1:08-cv-07831-GEL) MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009., (57 in 1:08-cv-08519-GEL) MOTION for Relief from Withdrawal and Dismissal Pursuant to the Order of April 16, 2009. . Document filed by Boston Retirement Board, Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"). Filed In Associated Cases: 1:08-cv-07831-GEL, 1:08-cv-08519-GEL(Hall, Donald) (Entered: 07/20/2009)
2009-07-20 124 0 MOTION for Daniel E. Barenbaum to Appear Pro Hac Vice. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM").(mro) (Entered: 07/22/2009)
2009-07-24 125 0 REPLY MEMORANDUM OF LAW in Support re: 109 MOTION For Relief From Withdrawal and Dismissal Pursuant to the Order of April 16, 2009.. Document filed by Malka Krausz. (D'Agnenica, Jason) (Entered: 07/24/2009)
2009-07-27 126 0 ORDER FOR ADMISSION OF DANIEL E. BARENBAUM PRO HAC VICE ON WRITTEN MOTION granting 124 Motion for Daniel E. Barenbaum to Appear Pro Hac Vice. Daniel E. Barenbaum is admitted the practice pro hac vice as counsel for Lead Plaintiff Massachusetts Pension Reserves Investment Management Board in this action. Counsel shall forward the pro hac vice fee to the Clerk of the Court. (Signed by Judge Gerard E. Lynch on 7/24/09) (tro) (Entered: 07/27/2009)
2009-07-29 127 0 NOTICE OF APPEARANCE by Brad Scott Karp on behalf of Deloitte & Touche LLP (Attachments: # 1 Affidavit of Service)(Karp, Brad) (Entered: 07/29/2009)
2009-07-29 128 0 NOTICE OF APPEARANCE by Charles Edward Davidow on behalf of Deloitte & Touche LLP (Attachments: # 1 Affidavit of Service)(Davidow, Charles) (Entered: 07/29/2009)
2009-07-29 129 0 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Affidavit of Serivce)(Karp, Brad) (Entered: 07/29/2009)
2009-07-28 130 0 MOTION for Jeffrey W. Kilduff to Appear Pro Hac Vice. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-GEL, 1:08-cv-07831-GEL(rjm) (Entered: 07/31/2009)
2009-08-05 131 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION to Remand. Document filed by Daniel Kramer. (Attachments: # 1 Text of Proposed Order, # 2 Certification of Service, # 3 Memorandum of Law)Filed In Associated Cases: 1:08-cv-07831-GEL, 1:09-cv-01352-GEL(Cohen, Charles) Modified on 8/6/2009 (db). (Entered: 08/05/2009)
2009-08-06 132 0 MOTION to Remand. Document filed by Daniel Kramer.Filed In Associated Cases: 1:08-cv-07831-GEL, 1:09-cv-01352-GEL(Cohen, Charles) (Entered: 08/06/2009)
2009-08-06 133 0 MEMORANDUM OF LAW in Support re: (25 in 1:09-cv-01352-GEL, 132 in 1:08-cv-07831-GEL) MOTION to Remand.. Document filed by Daniel Kramer. Filed In Associated Cases: 1:08-cv-07831-GEL, 1:09-cv-01352-GEL(Cohen, Charles) (Entered: 08/06/2009)
2009-08-06 134 0 CERTIFICATE OF SERVICE. Document filed by Daniel Kramer. Filed In Associated Cases: 1:08-cv-07831-GEL, 1:09-cv-01352-GEL(Cohen, Charles) (Entered: 08/06/2009)
2009-08-06 135 0 ORDER granting 130 Motion for Jeffrey W. Kilduff to Appear Pro Hac Vice. (Signed by Judge Gerard E. Lynch on 8/6/09) (rw) (Entered: 08/06/2009)
2009-08-11 136 0 ENDORSED LETTER addressed to Judge Gerard E. Lynch from Jeff Hammel dated 8/7/2009 re: Counsel for defendant "Fannie Mae" writes on behalf of all defendants to request a 4 week extension of time to file a motions to dismiss the 1934 Act claims and, on behalf of Fannie Mae, permission to file a brief up to 40 pages in support of its motion and that the Court approve the following proposed schedule: Motion to dismiss 9/18/2009; Opposition to Motion to Dismiss 11/18/2009; Defendants' Reply Brief 12/18/2009. ENDORSEMENT: Granted, as is plaintiffs' request to file a brief as long as defendants' total briefing. SO ORDERED. (Signed by Judge Gerard E. Lynch on 8/10/2009) (tve) (Entered: 08/11/2009)
2009-08-12 137 0 MEMORANDUM OF LAW in Opposition re: 113 JOINT MOTION to Dismiss.. Document filed by Tennessee Consolidated Retirement System ("TCRS"). (Hall, Donald) (Entered: 08/12/2009)
2009-08-12 138 0 DECLARATION of Donald R. Hall in Opposition re: 113 JOINT MOTION to Dismiss.. Document filed by Tennessee Consolidated Retirement System ("TCRS"). (Hall, Donald) (Entered: 08/12/2009)
2009-08-13 139 0 ENDORSED LETTER addressed to Judge Gerard E. Lynch from Jeff G. Hammel dated 8/11/09 re: Defendants' request an extension of time until 9/9/09 to respond to the Motion to Remand. ENDORSEMENT: SO ORDERED. Set Deadlines/Hearing as to 132 MOTION to Remand: (Responses due by 9/9/2009) (Signed by Judge Gerard E. Lynch on 8/12/09) (db) (Entered: 08/13/2009)
2009-08-17 140 0 ORDER: For the foregoing reasons, it is hereby ordered that the complaints in the following actions shall be dismissed, and the cases closed: Rollins v. Lehman Bros., Inc. (08 Civ. 7938 ); Crisafi v. Merrill, Lynch, Pierce, Fenner & Smith, Inc. (08 Civ. 8008); Fogel Capital Mgmt. v. Federal Nat'l Home Mortage Ass'n (08 Civ. 8096); Sandman v. J.P. Morgan (08 Civ. 8353); Orkin v. Merrill Lynch (08 Civ. 8488); Jarmain v. Merrill Lynch (08 Civ. 8491); McCauley v. Merrill Lynch (08 Civ. 8520); Frankfurt v. Lehman Bros. (08 Civ. 8547); Strong v. Wachovia Capital Markets LLC (08 Civ. 8551); Schweitzer v. Merrill Lynch (08 Civ. 8609); Williams v. Ashley (08 Civ. 8676); Kraus v. Citigroup Global Markets (08 Civ. 9649); Melton v. E*Trade Securities LLC (08 Civ. 9650); Gordon v. Ashley (09 Civ. 1351); Jesteadt v. Ashley (09 Civ. 1367). Plaintiff in Comprehensive Investment Services, Inc. v. Mudd (09 Civ. 6102) shall show cause in writing on or before August 26,2009, why the complaint in that individual action should not be dismissed pursuant to the Court's Order of April 16, 2009. Krausz v. Federal National Mortgage Ass'n (08 Civ. 8519) shall remain open on the docket as a separate action, albeit consolidated with the principal action. As this order disposes of Krausz's Motion for Relief from Withdrawal and Dismissal Pursuant to the Order of April 16,2009, the Clerk is respectfully directed to mark that motion as closed. Kramer v. Federal National Mortgage Ass'n (09 Civ. 1352) shall remain open on the docket as a separate action, albeit consolidated with the principal action, pending the Court's decision on Kramer's Motion to Remand. (Signed by Judge Gerard E. Lynch on 8/17/2009) Filed In Associated Cases: 1:08-cv-07831-GEL et al.(jpo) (Entered: 08/17/2009) 2012-08-30 16:13:48 4b4c1539a3c34132b4ec1497896644c578b13a5c
2009-08-17 141 0 NOTICE OF APPEARANCE by Daniel E. Barenbaum on behalf of Massachusetts Pension Reserves Investment Management Board ("PRIM") (Barenbaum, Daniel) (Entered: 08/17/2009)
2009-08-26 142 0 NOTICE OF APPEARANCE by Andrew James Frisch on behalf of Comprehensive Investment Services, Inc. (Frisch, Andrew) (Entered: 08/26/2009)
2009-08-26 143 0 RESPONSE to the Court's Order to Show Cause of August 17, 2009 (with supporting memorandum and proposed order). Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/26/2009)
2009-08-27 144 0 JOINT REPLY MEMORANDUM OF LAW in Support re: 113 JOINT MOTION to Dismiss.. Document filed by Daniel H. Mudd, Stephen M. Swad, Merrill Lynch Pierce, Fenner & Smith, Inc., J.P. Morgan Securities, Inc., Goldman Sachs & CO., Federal National Mortgage Association, David Hisey. (Brandt, James) (Entered: 08/27/2009)
2009-08-31 145 0 NOTICE OF CASE REASSIGNMENT to Judge Paul A. Crotty. Judge Gerard E. Lynch is no longer assigned to the case. (ldi) (ldi). (Entered: 08/31/2009)
2009-08-31 146 0 MDL ORDER REASSIGNING LITIGATION: This litigation is reassigned to the Honorable Paul A. Crotty for coordinated or consolidated pretrial proceedings pursuant to 28 U.S.C. Section 1407. (Signed by MDL Panel on 8/28/09) Filed In Associated Cases: 1:09-md-02013-GEL et al.(djc) (Entered: 09/01/2009)
2009-08-31 147 0 NOTICE OF CASE REASSIGNMENT to Judge Paul A. Crotty. Judge Gerard E. Lynch, Judge Paul A. Crotty is no longer assigned to the case. Filed In Associated Cases: 1:09-md-02013-GEL et al.(djc) (Entered: 09/01/2009)
2009-09-03 148 0 NOTICE OF MOTION OF ATTORNEYS TO APPEAR AND PARTICIPATE PRO HAC VICE... for Andrew J. Mytelka, M. David Leblanc, Steven Carl Windsor, Eric J. Kirkpatrick, Joe A.C. Fulcher to Appear Pro Hac Vice. Document filed by Comprehensive Investment Services, Inc. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(rjm) (Entered: 09/08/2009)
2009-09-09 149 0 MEMORANDUM OF LAW in Opposition re: (25 in 1:09-cv-01352-PAC, 132 in 1:08-cv-07831-PAC) MOTION to Remand.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Brandt, James) (Entered: 09/09/2009)
2009-09-09 150 0 DECLARATION of Jeff G. Hammel in Opposition re: (25 in 1:09-cv-01352-PAC, 132 in 1:08-cv-07831-PAC) MOTION to Remand.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6)Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Brandt, James) (Entered: 09/09/2009)
2009-09-14 151 0 ORDER. ORDERED that attorneys Andrew J. Mytelka, M. David Leblanc, Steven Carl Windsor, Eric J. Kirkpatrick and Joe A.C. Fulcher be and hereby are permitted to appear and participate pro hac vice in the above-captioned matter for Comprehensive Investment Services, Inc. granting (148) Motion for Andrew J. Mytelka, M. David Leblanc, Steven Carl Windsor, Eric J. Kirkpatrick and Joe A.C. Fulcher to Appear Pro Hac Vice in case 1:08-cv-07831-PAC; granting (30) Motion for Andrew J. Mytelka, M. David Leblanc, Steven Carl Windsor, Eric J. Kirkpatrick and Joe A.C. Fulcher to Appear Pro Hac Vice in case 1:09-md-02013-PAC; granting (11) Motion for Andrew J. Mytelka, M. David Leblanc, Steven Carl Windsor, Eric J. Kirkpatrick and Joe A.C. Fulcher to Appear Pro Hac Vice in case 1:09-cv-06102-PAC. (Signed by Judge Paul A. Crotty on 9/14/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(rjm) (Entered: 09/15/2009)
2009-09-16 152 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Charles R. Cohen dated 9/16/2009 re: Counsel writes to request that the deadline for plaintiff''s reply in further support of his motion for remand be extended for 7 days until September. ENDORSEMENT: The application is granted. So Ordered. (Signed by Judge Paul A. Crotty on 9/16/2009) Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(jfe) (Entered: 09/16/2009)
2009-09-16 153 0 NOTICE OF APPEARANCE by Kelly Bain Kramer on behalf of Enrico Dallavecchia (Kramer, Kelly) (Entered: 09/16/2009)
2009-09-17 154 0 ORDER: Please take notice that the above captioned matter is scheduled for a Pretrial/Pre-Motion Conference to take place on Friday. October 2, 2009 at 10:00 a.m in Courtroom 20-C, United States District Court, 500 Pearl Street, New York, New York 10007. Two business days prior to the conference, the parties are directed to e-mail: CrottyNYSDCbambers@nysd.uscourts.gov; a joint letter setting forth the names of all counsel appearing at the conference; their contact information; whom counsel represents; as well as a listing of any topics any party wishes to raise. Any requests for adjournments will not be considered unless the party requesting the adjournment complies with Rule 1E of my Individual Practices (attached). (Pre-Motion Conference set for 10/2/2009 at 10:00 AM before Judge Paul A. Crotty.) (Signed by Judge Paul A. Crotty on 9/17/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) Modified on 8/30/2012 (pl). (Entered: 09/17/2009)
2009-09-18 155 0 MOTION to Dismiss. Document filed by Enrico Dallavecchia.(Kramer, Kelly) (Entered: 09/18/2009)
2009-09-18 156 0 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Affidavit of Service)(Davidow, Charles) (Entered: 09/18/2009)
2009-09-18 157 0 FILING ERROR - DEFICIENT DOCKET ENTRY - (SEE DOCUMENT #160) - MEMORANDUM OF LAW in Support re: 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint.. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Affidavit of Service)(Davidow, Charles) Modified on 9/24/2009 (lb). (Entered: 09/18/2009)
2009-09-18 158 0 MEMORANDUM OF LAW in Support re: 155 MOTION to Dismiss.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 09/18/2009)
2009-09-18 159 0 DECLARATION of Charles E. Davidow in Support re: 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint.. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Affidavit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Errata I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L, # 13 Exhibit M, # 14 Exhibit N, # 15 Exhibit O, # 16 Exhibit P, # 17 Exhibit Q, # 18 Exhibit R, # 19 Exhibit S, # 20 Exhibit T, # 21 Exhibit U, # 22 Exhibit V, # 23 Affidavit of Service)(Davidow, Charles) (Entered: 09/18/2009)
2009-09-18 160 0 MEMORANDUM OF LAW in Support re: 155 MOTION to Dismiss.. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Appendix C, # 4 Affidavit)(Kramer, Kelly) (Entered: 09/18/2009)
2009-09-18 161 0 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 09/18/2009)
2009-09-18 162 0 MEMORANDUM OF LAW in Support re: 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 09/18/2009)
2009-09-18 163 0 MOTION to Dismiss Claims Under the Securities Exchange Act of 1934. Document filed by Stephen M. Swad.(Tuttle, Jonathan) (Entered: 09/18/2009)
2009-09-18 164 0 MEMORANDUM OF LAW in Support re: 163 MOTION to Dismiss Claims Under the Securities Exchange Act of 1934.. Document filed by Stephen M. Swad. (Tuttle, Jonathan) (Entered: 09/18/2009)
2009-09-18 165 0 DECLARATION of Michael J. Walsh, Jr. in Support re: 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit 1-7, # 2 Exhibit 8-15, # 3 Exhibit 16-32)(Walsh, Michael) (Entered: 09/18/2009)
2009-09-18 166 0 NOTICE of Request for Judicial Notice re: 165 Declaration in Support of Motion, 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint., 162 Memorandum of Law in Support of Motion. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 09/18/2009)
2009-09-18 167 0 MOTION to Dismiss Claims under the Securities Exchange Act of 1934 in Plaintiffs' Joint Consolidated Amended Class Action Complaint. Document filed by Daniel H. Mudd.(Fleischer, David) (Entered: 09/18/2009)
2009-09-18 168 0 MEMORANDUM OF LAW in Support re: 167 MOTION to Dismiss Claims under the Securities Exchange Act of 1934 in Plaintiffs' Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel H. Mudd. (Fleischer, David) (Entered: 09/18/2009)
2009-09-23 169 0 REPLY MEMORANDUM OF LAW in Support re: (25 in 1:09-cv-01352-PAC) MOTION to Remand.. Document filed by Daniel Kramer. (Attachments: # 1 Certificate of Service)Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Cohen, Charles) (Entered: 09/23/2009)
2009-09-23 170 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Charles R. Cohen dated 9/23/09 re: Request for permission to file a reply memorandum 18 pages in length. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 9/23/09) (db) (Entered: 09/23/2009)
2009-09-24 171 0 AFFIDAVIT OF SERVICE. Robert T Blakely served on 7/24/2009, answer due 8/13/2009. Service was made by MAIL. Document filed by Tennessee Consolidated Retirement System ("TCRS"); Massachusetts Pension Reserves Investment Management Board ("PRIM"); Boston Retirement Board. (Hall, Donald) (Entered: 09/24/2009)
2009-09-25 172 0 MOTION for Laura Ariane Miller to Appear Pro Hac Vice. Document filed by Enrico Dallavecchia.(mro) (Entered: 09/28/2009)
2009-09-25 173 0 MOTION for Donald Grayson Yeargin to Appear Pro Hac Vice. Document filed by Enrico Dallavecchia.(mro) (Entered: 09/28/2009)
2009-09-29 174 0 NOTICE OF APPEARANCE by Robert M. Stern on behalf of Federal National Mortgage Association, David Hisey (Stern, Robert) (Entered: 09/29/2009)
2009-09-29 175 0 NOTICE OF APPEARANCE by Charles Robert Cohen on behalf of Daniel Kramer Filed In Associated Cases: 1:09-md-02013-PAC et al.(Cohen, Charles) (Entered: 09/29/2009)
2009-09-30 176 0 NOTICE OF APPEARANCE by Lenor Marquis Segal on behalf of Robert J. Levin (Segal, Lenor) (Entered: 09/30/2009)
2009-10-01 177 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION, that Donald Grayson Yeargin is admitted to practice pro hac vice as counsel for Mr. Dallavecchia in the above captioned case in the United States District Court for the Southern District of New York. (Signed by Judge Paul A. Crotty on 10/1/09) (pl) (Entered: 10/02/2009)
2009-10-01 178 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION, that Laura Ariane Miller is admitted to practice pro hac vice as counsel for Mr. Dallavecchia in the above captioned case in the United States District Court for the Southern District of New York. (Signed by Judge Paul A. Crotty on 10/1/09) (pl) (Entered: 10/02/2009)
2009-10-13 179 0 ORDER WITH RESPECT TO INTERVENTION BY THE FEDERAL HOUSING FINANCE AGENCY: It is hereby ordered that pursuant to Rule 24(a) of the F.R.C.P., FHFA, Conservator for Fannie Mae, May intervene as a defendant. (Signed by Judge Paul A. Crotty on 10/13/2009) (jpo) (Entered: 10/13/2009)
2009-10-13 180 0 ORDER WITH RESPECT TO INTERVENTION BY THE FEDERAL HOUSING FINANCE AGENCY. IT IS HEREBY ORDERED THAT: Pursuant to Rule 24(a) of the Federal Rules of Civil Procedure, FHFA. Conservator for Fannie Mae, may intervene as a defendant. (Signed by Judge Paul A. Crotty on 10/13/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(rjm) (Entered: 10/13/2009)
2009-10-19 181 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from James E. Brandt dated 10/16/09 re: We represent defendant Fannie Mae. We understand from your deputy, Marlon Ovalles, that Your Honor is unavailable on November 13, 2009 for oral argument on (i) Defendants' Motion to Dismiss Claims Brought Under the Securities Act of 1933 and (ii) Plaintiff Daniel Kramer's Motion to Remand. The parties have conferred and suggest November 16, 2009, as the date for argument on both of these motions. ENDORSEMENT: Application Granted. The oral argument is set for 11/16/09 at 11:30am. (Signed by Judge Paul A. Crotty on 10/19/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) (Entered: 10/19/2009)
2009-10-20 182 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Reconsideration of the Court's Order of October 6, 2009 or, in the alternative, request for findings of fact and conclusions of law. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B (Part 1 of 2), # 3 Exhibit B (Part 2 of 2), # 4 Exhibit C)(Frisch, Andrew) Modified on 10/21/2009 (jar). (Entered: 10/20/2009)
2009-10-21 183 0 MOTION for Reconsideration of the Court's Order of October 6, 2009 or, in the alternative, request for findings of fact and conclusions of law. Document filed by Comprehensive Investment Services, Inc..(Frisch, Andrew) (Entered: 10/21/2009)
2009-10-21 184 0 MEMORANDUM OF LAW in Support re: 183 MOTION for Reconsideration of the Court's Order of October 6, 2009 or, in the alternative, request for findings of fact and conclusions of law.. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B (Part 1 of 2), # 3 Exhibit B (Part 2 of 2), # 4 Exhibit C)(Frisch, Andrew) (Entered: 10/21/2009)
2009-10-28 185 0 MOTION for Patrick F. Linehan to Appear Pro Hac Vice. Document filed by Robert J. Levin.(mro) (Entered: 10/29/2009)
2009-11-03 186 0 ORDER FOR ADMISSION PRO HAC VICE granting 185 Motion for Patrick F. Linehan to Appear Pro Hac Vice. (Signed by Judge Paul A. Crotty on 11/3/2009) (jpo) (Entered: 11/03/2009)
2009-11-18 187 0 MEMORANDUM OF LAW in Opposition re: 167 MOTION to Dismiss Claims under the Securities Exchange Act of 1934 in Plaintiffs' Joint Consolidated Amended Class Action Complaint., 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint., 155 MOTION to Dismiss., 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint., 163 MOTION to Dismiss Claims Under the Securities Exchange Act of 1934.. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"), Boston Retirement Board. (Hall, Donald) (Entered: 11/18/2009)
2009-11-18 188 0 DECLARATION of Donald R. Hall in Opposition re: 163 MOTION to Dismiss Claims Under the Securities Exchange Act of 1934., 167 MOTION to Dismiss Claims under the Securities Exchange Act of 1934 in Plaintiffs' Joint Consolidated Amended Class Action Complaint., 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint., 155 MOTION to Dismiss., 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint.. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"), Boston Retirement Board. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12)(Hall, Donald) (Entered: 11/18/2009)
2009-11-24 189 0 ORDER: On October 6, 2009, the Court dismissed the CIS complaint. On October 21, 2009, CIS moved for reconsideration and other relief. Upon consideration of the motion papers, and after hearing argument on November 16, 2009, the Court GRANTS the motion for reconsideration of the October 6, 2009 order. Accordingly, the CIS complaint is reinstated on the Court's docket. In all other respects, CIS's motion of October 21, 2009 is DENIED. The Clerk of the Court is directed to close out this motion (Docket #183). (Signed by Judge Paul A. Crotty on 11/23/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:09-cv-06102-PAC (Signed by Judge Paul A. Crotty on November 24, 2009) (mov) (Additional attachment(s) added on 11/24/2009: # 1 Appendix) (mov). Modified on 11/24/2009 (mov). (Entered: 11/24/2009) 2012-02-19 18:25:26 584c69199a246d4f182f750503da785c86d708b5
2009-11-24 190 0 ORDER: Accordingly, the motion to dismiss is GRANTED. The Clerk of the Court is directed to close out this motion (Docket #113). (Signed by Judge Paul A. Crotty on November 24, 2009) (mov) (Entered: 11/24/2009) 2012-02-19 21:32:39 241a0910c26e55af898ff2d60ecbdfa42289ca49
2009-11-24 191 0 ORDER: The Motion to Remand is DENIED. The Clerk of the Court is directed to close out this motion (Docket #132). (Signed by Judge Paul A. Crotty on November 24, 2009) Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(mov) (Entered: 11/24/2009)
2009-11-24 192 0 ORDER: Accordingly, the Court DENIES Krauszs motion for relief from withdrawal and dismissal of their complaint in the Krausz Action pursuant to the Consolidation Order. The Clerk of the Court is directed to close out this motion (Docket #109). (Signed by Judge Paul A. Crotty on November 24, 2009) Filed In Associated Cases: 1:08-cv-07831-PAC, 1:08-cv-08519-PAC(mov) (Entered: 11/24/2009)
2009-12-09 193 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Certificate of Appealability. Document filed by Daniel Kramer. (Attachments: # 1 Brief)Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Cohen, Charles) Modified on 12/10/2009 (jar). (Entered: 12/09/2009)
2009-12-10 194 0 MOTION for Certificate of Appealability. Document filed by Daniel Kramer.Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Cohen, Charles) (Entered: 12/10/2009)
2009-12-10 195 0 MEMORANDUM OF LAW in Support re: (43 in 1:09-cv-01352-PAC) MOTION for Certificate of Appealability.. Document filed by Daniel Kramer. Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Cohen, Charles) (Entered: 12/10/2009)
2009-12-08 196 0 TRANSCRIPT of proceedings held on 11/16/09, 11:30am before Judge Paul A. Crotty. Relates to 09md2013. (rjm) (Entered: 12/17/2009)
2009-12-18 197 0 REPLY MEMORANDUM OF LAW in Support re: 155 MOTION to Dismiss.. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit A)(Kramer, Kelly) (Entered: 12/18/2009)
2009-12-18 198 0 REPLY MEMORANDUM OF LAW in Support re: 163 MOTION to Dismiss Claims Under the Securities Exchange Act of 1934. / Reply Memorandum of Law in Support of Stephen M. Swad's Motion to Dismiss Claims Under the Securities Exchange Act of 1934. Document filed by Stephen M. Swad. (Tuttle, Jonathan) (Entered: 12/18/2009)
2009-12-18 199 0 REPLY MEMORANDUM OF LAW in Support re: 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint.. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Affidavit of Service)(Davidow, Charles) (Entered: 12/18/2009)
2009-12-18 200 0 DECLARATION of Charles E. Davidow in Support re: 156 MOTION to Dismiss the Joint Consolidated Amended Class Action Complaint.. Document filed by Deloitte & Touche LLP. (Attachments: # 1 Affidavit of Service)(Davidow, Charles) (Entered: 12/18/2009)
2009-12-18 201 0 REPLY MEMORANDUM OF LAW in Support re: 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 12/18/2009)
2009-12-18 202 0 DECLARATION of Michael J. Walsh, Jr. in Support re: 161 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit 14, 33-34, # 2 Exhibit 35-39)(Walsh, Michael) (Entered: 12/18/2009)
2009-12-18 203 0 REPLY MEMORANDUM OF LAW in Support re: 167 MOTION to Dismiss Claims under the Securities Exchange Act of 1934 in Plaintiffs' Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel H. Mudd. (Fleischer, David) (Entered: 12/18/2009)
2009-12-21 204 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Jeffrey W. Kilduff dated 12/17/09 re: We represent defendant Fannie Mae in this litigation. We write to respectfully request permission to file a reply memorandum of up to 20 pages in further support of Fannie Mae's Motion to Dismiss Claims Under the Securities Exchange Act of 1934. Plaintiffs consent to an enlargement of up to five pages but not the ten pages that Fannie Mae now seeks. ENDORSEMENT: So Ordered. (Signed by Judge Paul A. Crotty on 12/21/09) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) (Entered: 12/22/2009)
2009-12-23 205 0 MEMORANDUM OF LAW in Opposition re: (43 in 1:09-cv-01352-PAC, 194 in 1:08-cv-07831-PAC) MOTION for Certificate of Appealability. Defendants' Memorandum of Law in Opposition to Plaintiff Daniel Kramer's Motion to Certify an Immediate Appeal Pursuant to 28 U.S.C. Section 1292(b). Document filed by The McGraw-Hill Companies, Inc., Standard & Poor's Rating Services, Wachovia Capital Markets LLC, Federal National Mortgage Association, Fitch Ratings, Moody's Investors Service, Inc., Citigroup Global Market Inc., Merrill Lynch, Pierce Fenner & Smith Incorporated, Morgan Stanley & Co. Incorporated, UBS Securities LLC. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Brandt, James) (Entered: 12/23/2009)
2009-12-24 206 0 MEMORANDUM OF LAW in Opposition re: 194 MOTION for Certificate of Appealability.. Document filed by Federal Housing Finance Agency. (Whipple, Mary) (Entered: 12/24/2009)
2009-12-30 207 0 REPLY MEMORANDUM OF LAW in Support re: (43 in 1:09-cv-01352-PAC, 194 in 1:08-cv-07831-PAC) MOTION for Certificate of Appealability.. Document filed by Daniel Kramer. Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(Cohen, Charles) (Entered: 12/30/2009)
2010-01-04 208 0 DISMISSAL WITHOUT PREJUDICE OF CLAIMS AGAINST ANNE F. PANKAU. Pursuant to FED. R. CIV. P. 41(a)(1), and the terms of a tolling agreement executed by the parties on November 17, 2009 (incorporated herein by reference), Plaintiffs hereby dismiss this action as against Defendant Anne F. Pankau only, without prejudice. This will not affect any other claims Plaintiffs have against any other party in this litigation. (Signed by Judge Paul A. Crotty on 1/4/10) Filed In Associated Cases: 1:09-md-02013-PAC et al.(rjm) (Entered: 01/04/2010)
2010-01-20 209 0 STIPULATION AND ORDER. IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned attorneys for the parties, as follows: 1. No response to the complaint in the CIS Action shall be required from any defendant while the 1934 Act Motions to Dismiss are pending. 2. Plaintiff may, but shall not be required to, file an amended complaint in the CIS Action on or before the date that is thirty (30) days after entry of an order determining the 1934 Act Motions to Dismiss. 3. Plaintiff may inform defendants of its intent not to file an amended complaint in the CIS Action at any time after entry of an order determining the 1934 Act Motions to Dismiss. 4. Defendants' deadline to move, answer or otherwise respond to the complaint in the CIS Action is extended through and including the date that is forty-five (45) days after plaintiff in the CIS Action files an amended complaint or plaintiff notifies defendants that plaintiff will not be filing an amended complaint, whichever of these two events occurs first. 5. If defendants file any motions to dismiss the CIS Action complaint or amended complaint, plaintiffs deadline to respond to any motion(s) to dismiss is forty-five (45) days after the last of such motions is filed and defendants shall file any replies in support of any motions to dismiss no later than 21 days after plaintiff files its opposition papers. (Signed by Judge Paul A. Crotty on 1/20/10) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(rjm) (Entered: 01/20/2010)
2010-02-04 210 0 NOTICE OF CHANGE OF ADDRESS by Daniel E. Barenbaum on behalf of Massachusetts Pension Reserves Investment Management Board ("PRIM"). New Address: One California Street, Suite 900, San Francisco, CA, 94111,. (Barenbaum, Daniel) (Entered: 02/04/2010)
2010-04-02 211 0 NOTICE OF APPEARANCE by James Evan Berger on behalf of Daniel H. Mudd (Berger, James) (Entered: 04/02/2010)
2010-04-09 212 0 STIPULATION AND ORDER. IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned attorneys for the parties, as follows: 1. No response to the complaint in the Smith Action shall be required from any defendant while the 1934 Act Motions to Dismiss are pending. 2. Plaintiff may, but shall not be required to, file an amended complaint in the Smith Action on or before the date that is thirty (30) days after entry of an order determining the 1934 Act Motions to Dismiss. 3. Plaintiff may inform defendants of its intent not to file an amended complaint in the Smith Action at any time after entry of an order determining the 1934 Act Motions to Dismiss. 4. Defendants' deadline to move, answer, or otherwise respond to the complaint in the Smith Action is extended through and including the date that is forty-five (45) days after plaintiff in the Smith Action files an amended complaint or plaintiff notifies defendants that plaintiff will not be filing an amended complaint, whichever of these two events occurs first. 5. If defendants file any motions to dismiss the Smith Action complaint or amended complaint, plaintiff's deadline to respond to any motion(s) to dismiss is forty-five (45) days after the last of such motions is filed and defendants shall file any replies in support of any motions to dismiss no later than twenty-one (21) days after plaintiff files its opposition papers. (Signed by Judge Paul A. Crotty on 4/9/10) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(rjm) (Entered: 04/12/2010)
2010-04-15 213 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Autumn W. Smith to Withdraw as Attorney As Counsel for Plaintiff. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"). (Attachments: # 1 Declaration of Autumn W. Smith in Support of Motion for Leave to Withdraw as Counsel for Plaintiff, # 2 [Proposed] Order Granting Motion for Leave to Withdraw as Counsel for Plaintiff)(Block, Jeffrey) Modified on 4/16/2010 (jar). (Entered: 04/15/2010)
2010-04-16 214 0 MOTION for Autumn W. Smith to Withdraw as Attorney for Plaintiff. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM").(Block, Jeffrey) (Entered: 04/16/2010)
2010-04-16 215 0 DECLARATION of Autumn W. Smith in Support re: 214 MOTION for Autumn W. Smith to Withdraw as Attorney for Plaintiff.. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"). (Block, Jeffrey) (Entered: 04/16/2010)
2010-04-19 216 0 ORDER GRANTING MOTION FORLEAVE TO WITHDRAW AS COUNSEL FOR PLAINTIFF: granting 214 Motion to Withdraw as Attorney. The motion of Lead Plaintiff the Massachusetts Pension Reserves Investment Management Board for an Order granting leave for Autumn W. Smith to withdraw as counsel of record for Plaintiff in this proceeding is hereby GRANTED. SO ORDERED. Attorney Autumn Wind Smith terminated. (Signed by Judge Paul A. Crotty on 4/19/2010) (tve) (Entered: 04/19/2010)
2010-04-26 217 0 ENDORSED LETTER: addressed to Judge Paul A. Crotty from Jeff G. Hammel dated 4/23/2010 re: Counsel for defendant writes on behalf of both themselves and plaintiffs to request an adjournment of the oral argument date. ENDORSEMENT: Application GRANTED. The oral argument is adjourned to 5/27/2010 at 4:00 p.m. in courtroom 9A. So Ordered., ( Oral Argument set for 5/27/2010 at 04:00 PM Room 9A before Judge Paul A. Crotty.) (Signed by Judge Paul A. Crotty on 4/26/2010) (js) (Entered: 04/26/2010)
2010-04-28 218 0 NOTICE OF APPEARANCE by Mark Allen Robertson on behalf of Robert T Blakely (Robertson, Mark) (Entered: 04/28/2010)
2010-05-27 219 0 NOTICE OF APPEARANCE by Joann Kahn on behalf of Robert T Blakely (Kahn, Joann) (Entered: 05/27/2010)
2010-05-27 220 0 SUMMONS RETURNED UNEXECUTED as to Robert T Blakely. Attempted Service of Summons and Amended Complaint,. Service was attempted on 6/24/09, 6/25/09,7/16/09, 7/17/09, 7/18/09, 7/20/09, 7/21/09, 7/22/09, 7/23/09. Document filed by Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"), Boston Retirement Board. (Hall, Donald) (Entered: 05/27/2010)
2010-06-02 221 0 TRANSCRIPT of proceedings held on May 27, 2010 at 4:00 pm before Judge Paul A. Crotty. (eef) (Entered: 06/02/2010)
2010-06-10 222 0 NOTICE OF APPEARANCE by Irina Kobylevsky on behalf of Tennessee Consolidated Retirement System ("TCRS") (Kobylevsky, Irina) (Entered: 06/10/2010)
2010-07-15 223 0 NOTICE OF CHANGE OF ADDRESS by Irina Kobylevsky on behalf of Tennessee Consolidated Retirement System ("TCRS"). New Address: Kaplan Fox & Kilsheimer, LLP, 850 Third Avenue, 14th Floor, New York, New York, 10022, (212) 687-1980. (Kobylevsky, Irina) (Entered: 07/15/2010)
2010-07-29 224 0 ORDER. The Motion for certification of the November 24, 2009 Remand Order for immediate interlocutory appeal is DENIED. The Clerk of the Court is directed to terminate document number 194 in 08 Civ. 7831, and document number 43 in 09 Civ. 1352. denying (194) Motion for Certificate of Appealability in case 1:08-cv-07831-PAC; denying (43) Motion for Certificate of Appealability in case 1:09-cv-01352-PAC. (Signed by Judge Paul A. Crotty on 7/29/10) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(rjm) (Entered: 07/30/2010)
2010-08-03 225 0 NOTICE OF CHANGE OF ADDRESS by Irina Kobylevsky on behalf of Tennessee Consolidated Retirement System ("TCRS"). New Address: Kaplan Fox & Kilsheimer LLP, 850 Third Avenue, 14th Floor, New York, New York, 10022, 212-687-1980. (Kobylevsky, Irina) (Entered: 08/03/2010)
2010-08-05 226 0 NOTICE OF APPEARANCE by Alejandro Gabriel Rosenberg on behalf of Robert J. Levin (Rosenberg, Alejandro) (Entered: 08/05/2010)
2010-08-05 227 0 NOTICE of Withdrawal of Appearance. Document filed by Robert J. Levin. (Segal, Lenor) (Entered: 08/05/2010)
2010-09-30 228 0 OPINION & ORDER: #99514 CONCLUSION: For the foregoing reasons, Defendants' motion is GRANTED IN PART and DENIED IN PART. Specifically: (1) With respect to Plaintiffs' claim against Fannie and the Individual Defendants for violations of Section 10(b) of the Exchange Act, 15 U.S.C. § 78j(b), and SEC Rule 10b-5, 17 C.F.R. § 240.10b-5, the Court: (a) GRANTS Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannies subprime and Alt-A mortgage exposure and financial reporting as to all Defendants;(b) DENIES Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannies internal controls and risk management as to Fannie, Mudd, and Dallavecchia; (c) GRANTS Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannie's internal controls and risk management as to Swad and Blakely; and (2) With respect to Plaintiffs' claim against Deloitte for violations of Section 10(b) of the Exchange Act, 15 U.S.C. § 78j(b), and SEC Rule 10b-5, 17 C.F.R. § 240.10b-5, the Court GRANTS Defendants' motion to dismiss; and (3) With respect to Plaintiffs' claim against the Individual Defendants for control person liability under Section 20(a) of the Exchange Act, 15 U.S.C. § 78t(a), the Court: (a) GRANTS Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannie's subprime and Alt-A mortgage exposure and financial reporting as to all the Individual Defendants; (b) DENIES Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannie's internal controls and risk management as to Mudd and Dallavecchia; (c) GRANTS Defendants' motion to dismiss as to Plaintiffs' allegations regarding Fannie's internal controls and risk management as to Swad and Blakely; and The Clerk of Court is directed to close the motions at docket numbers 155, 156, 161, 163, and 167.(Signed by Judge Paul A. Crotty on September 30, 2010) Filed In Associated Cases: 1:08-cv-07831-PAC et al.(mov) Modified on 10/4/2010 (ajc). (Entered: 09/30/2010)
2010-10-14 229 0 STIPULATION AND ORDER, that Defendants shall answer the Complaint on or before December 13, 2010. (Signed by Judge Paul A. Crotty on 10/14/10) (pl) (Entered: 10/14/2010)
2010-10-14 230 0 FILING ERROR - DEFICIENT DOCKET ENTRY - NOTICE OF APPEARANCE by Jonathan M. Plasse on behalf of Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM") (Plasse, Jonathan) Modified on 10/20/2010 (KA). (Entered: 10/14/2010)
2010-10-14 231 0 FILING ERROR - DEFICIENT DOCKET ENTRY - NOTICE OF APPEARANCE by Richard T. Joffe on behalf of Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM") (Joffe, Richard) Modified on 10/20/2010 (KA). (Entered: 10/14/2010)
2010-10-14 232 0 FILING ERROR - DEFICIENT DOCKET ENTRY - NOTICE OF APPEARANCE by Joseph Alberto Fonti on behalf of Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM") (Fonti, Joseph) Modified on 10/20/2010 (KA). (Entered: 10/14/2010)
2010-10-14 233 0 FILING ERROR - DEFICIENT DOCKET ENTRY - NOTICE OF APPEARANCE by Joshua Lon Crowell on behalf of Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM") (Crowell, Joshua) Modified on 10/20/2010 (KA). (Entered: 10/14/2010)
2010-10-14 234 0 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 10/14/2010)
2010-10-14 235 0 MEMORANDUM OF LAW in Support re: 234 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 10/14/2010)
2010-10-14 236 0 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,. Document filed by Daniel H. Mudd.(Berger, James) (Entered: 10/14/2010)
2010-10-14 237 0 MEMORANDUM OF LAW in Support re: 236 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Daniel H. Mudd. (Berger, James) (Entered: 10/14/2010)
2010-10-14 238 0 DECLARATION of James E. Berger in Support re: 236 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Daniel H. Mudd. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Berger, James) (Entered: 10/14/2010)
2010-10-14 239 0 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,. Document filed by Enrico Dallavecchia.(Kramer, Kelly) (Entered: 10/14/2010)
2010-10-14 240 0 MEMORANDUM OF LAW in Support re: 239 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 10/14/2010)
2010-10-15 241 0 NOTICE OF APPEARANCE by Jonathan M. Plasse on behalf of Boston Retirement Board (Plasse, Jonathan) (Entered: 10/15/2010)
2010-10-15 242 0 NOTICE OF APPEARANCE by Richard T. Joffe on behalf of Boston Retirement Board (Joffe, Richard) (Entered: 10/15/2010)
2010-10-15 243 0 NOTICE OF APPEARANCE by Joseph Alberto Fonti on behalf of Boston Retirement Board (Fonti, Joseph) (Entered: 10/15/2010)
2010-10-15 244 0 NOTICE OF APPEARANCE by Joshua Lon Crowell on behalf of Boston Retirement Board (Crowell, Joshua) (Entered: 10/15/2010)
2010-10-26 245 0 STIPULATION AND ORDER that no response to the complaint in the CIS Action shall be required from any defendant while the Motion for Reconsideration are pending. Plaintiff may, but shall not be required to, file an amended complaint in the CIS Action on or before the date that is 30 days after entry of an order determining the Motions for Reconsideration, and as further set forth in this document. (Signed by Judge Paul A. Crotty on 10/26/10) (cd) (Entered: 10/27/2010)
2010-11-01 246 0 MEMORANDUM OF LAW in Opposition re: 234 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,., 236 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,., 239 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Signatures)(Barenbaum, Daniel) (Entered: 11/01/2010)
2010-11-02 247 0 STIPULATION AND ORDER No response to the complaint in the Smith Action shall be required from any defendant while the Motions for Reconsideration are pending. Plaintiff may, but shall not be required to, file an amended complaint in the Smith Action on or before the date that is 30 days after entry of an order determining the Motions for Reconsideration, and as further set forth in this document. (Signed by Judge Paul A. Crotty on 11/2/10) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(cd) (Entered: 11/02/2010)
2010-11-12 248 0 REPLY MEMORANDUM OF LAW in Support re: 234 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 11/12/2010)
2010-11-12 249 0 REPLY MEMORANDUM OF LAW in Support re: 236 MOTION for Reconsideration re; 228 Order on Motion to Dismiss,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,.. Document filed by Daniel H. Mudd. (Berger, James) (Entered: 11/12/2010)
2010-11-12 250 0 MOTION for Justin N. Saif to Appear Pro Hac Vice. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS").(mro) (Entered: 11/16/2010)
2010-11-19 251 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION. IT IS HEREBY ORDERED that Justin N. Saif is admitted to practice pro hac vice as counsel for Lead Plaintiffs in the above captioned case in the United States District Court for the Southern District of New York. granting 250 Motion for Justin N. Saif to Appear Pro Hac Vice. (Signed by Judge Paul A. Crotty on 11/19/10) (rjm) (Entered: 11/22/2010)
2010-11-29 252 0 CASE MANAGEMENT PLAN: The parties in the Consolidated Securities Action do not consent to conducting all further proceedings before a Magistrate Judge. The Consolidated Securities Action is to be tried to a jury. Motions due by 2/18/2011. Deposition due by 10/28/2011. Discovery due by 12/19/2011. Case Management Conference set for 5/11/2011 at 03:30 PM in Courtroom 18B, 500 Pearl Street, New York, NY 10007 before Judge Paul A. Crotty. (Signed by Judge Paul A. Crotty on 11/29/2010) (jpo) (Entered: 12/01/2010)
2010-12-10 253 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Jeffrey W. Kilduff dated 12/9/10 re: Fannie Mae seeks an enlargement of time to December 31, 2010 to file its answer. Defendants Mudd and Dellavecchia seek an enlargement of time to 1/7/11 to file their answers. ENDORSEMENT: So ordered. Enrico Dallavecchia answer due 1/7/2011; Fannie Mae answer due 12/31/2010; Daniel H. Mudd answer due 1/7/2011. (Signed by Judge Paul A. Crotty on 12/10/10) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) (Entered: 12/10/2010)
2010-12-31 254 0 ANSWER to Amended Complaint with JURY DEMAND. Document filed by Federal National Mortgage Association. Related document: 102 Amended Complaint, filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS").(Walsh, Michael) (Entered: 12/31/2010)
2011-01-07 255 0 ANSWER to Amended Complaint with JURY DEMAND. Document filed by Daniel H. Mudd. Related document: 102 Amended Complaint, filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS").(Berger, James) (Entered: 01/07/2011)
2011-01-07 256 0 ANSWER to Amended Complaint with JURY DEMAND. Document filed by Enrico Dallavecchia. Related document: 102 Amended Complaint, filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS").(Kramer, Kelly) (Entered: 01/07/2011)
2011-01-18 257 0 MOTION Clarification of the Court's November 29, 2010 order governing case management and scheduling. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Text of Proposed Order)(Frisch, Andrew) (Entered: 01/18/2011)
2011-01-18 258 0 MEMORANDUM OF LAW in Support re: 257 MOTION Clarification of the Court's November 29, 2010 order governing case management and scheduling.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 01/18/2011)
2011-01-26 259 0 NOTICE OF CHANGE OF ADDRESS by Joshua Lon Crowell on behalf of Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"). New Address: Labaton Sucharow LLP, 140 Broadway, New York, New York, United States 10005, (212) 907-0854. (Crowell, Joshua) (Entered: 01/26/2011)
2011-01-27 260 0 ORDER the Civil Case Management Plan and Scheduling Order, entered by this Court on 11/29/10, and the deadlines and timetables therein, do not apply to the Comprehensive Investment Services action. With respect to that action, the Court's 10/26/10 order remains in effect. The Clerk of Court shall terminate doc #257 in 08 cv 7831. (Signed by Judge Paul A. Crotty on 1/27/11) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(cd) (Entered: 01/28/2011)
2011-01-27 261 0 FIRST AMENDED CIVIL CASE MANAGEMENT PLAN AND SCHEDULING ORDER: Motion for class certification due by 5/18/2011. Fact Discovery due by 3/19/2012, see document for other deadlines. Case Management Conference set for 10/6/2011 at 03:00 PM before Judge Paul A. Crotty. The 5/11/11 PTC is marked off the calendar. (Signed by Judge Paul A. Crotty on 1/27/11) (cd) (Entered: 01/28/2011)
2011-02-17 262 0 NOTICE OF APPEARANCE by Jeffrey David Rotenberg on behalf of Daniel H. Mudd (Rotenberg, Jeffrey) (Entered: 02/17/2011)
2011-02-22 263 0 NOTICE OF CHANGE OF ADDRESS by James E. Anklam on behalf of Daniel H. Mudd. New Address: DLA Piper LLP (US), 500 Eighth Street, NW, Washington, District of Columbia, USA 20004, 202-799-4514. (Anklam, James) (Entered: 02/22/2011)
2011-02-23 264 0 TRANSCRIPT of proceedings held on November 16, 2009 before Judge Paul A. Crotty. Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(mro) (Entered: 02/23/2011)
2011-03-01 265 0 NOTICE of Substitution of Attorney. Old Attorney: Mary Gibbons Whipple, New Attorney: David W. Fassett, Address: Arseneault, Whipple, Fassett & Azzarello, LLP, 560 Main Street, Chatham, New Jersey, USA 07928, 973-635-3366. Document filed by Federal Housing Finance Agency. (Fassett, David) (Entered: 03/01/2011)
2011-03-09 266 0 NOTICE OF WITHDRAWAL AS COUNSEL: The undersigned is mistakenly listed on the ECF docket as Counsel for Defendant, Federal Housing Finance Agency in the above-referenced matter. Neither my firm nor I represent Defendant, Federal Housing Finance Agency. Moreover, we have never filed a Notice of Appearance in this matter. For these reasons, kindly remove me and my firm, Littler Mendelson, P.C., as Defendant's counsel from the Electronic Notification System. (Signed by Judge Paul A. Crotty on 3/9/2011) (jpo) (Entered: 03/09/2011)
2011-03-24 267 0 NOTICE OF CHANGE OF ADDRESS by James D. Wareham on behalf of Daniel Mudd. New Address: DLA Piper LLP (US), 500 Eighth Street, NW, Washington, DC, USA 20004, 202-799-4515. Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Wareham, James) (Entered: 03/24/2011)
2011-03-30 268 0 ORDER, that James Berger and the law firm of Paul, Hastings, Janofsky & Walker LLP are permitted to withdraw from the above captioned matter. The Clerk is directed to note such on the docket. Attorney James Evan Berger terminated. (Signed by Judge Paul A. Crotty on 3/30/2011) (lnl) (Entered: 03/30/2011)
2011-04-11 269 0 ORDER, Defendants' motion for reconsideration is DENIED. The Clerk of Court is directed to terminate the motions at docket numbers 234 , 236 , and 239 . SO ORDERED. (Docketed in Case No. 09 MD 2013) (Signed by Judge Paul A. Crotty on 4/11/2011) (lnl) (Entered: 04/12/2011)
2011-04-08 270 0 NOTICE OF WITHDRAWAL OF APPEARANCE, Please take notice that, pursuant to Civil Local Rule 1.4, Agnes Dunogue, currently of Orrick, Herrington & Sutcliffe LLP, hereby respectfully requests that she be withdrawn ascounsel for defendants Bear Stearns & Co. Inc., Bane of America Securities LLC, Barclays Capital Inc., Citigroup Global Market Inc., Deutsche Bank Securities Inc., FTN Financial Securities Corp., Goldman, Sachs & Co., J.P. Morgan Securities, Inc., Merrill Lynch Pierce, Fenner & Smith, Inc., Morgan Stanley & Co. Incorporated, UBS Securities LLC, Wachovia Capital Markets LLC and Wells Fargo Securities LLC in the above- captioned action and all actions consolidated therewith and/or related thereto. The undersigned is no longer associated with the law firm of Simpson Thacher & Bartlett LLP, counsel for these defendants. Please therefore remove the undersigned from all CM/ECF notifications regarding the above-captioned action and all actions consolidated therewith and/or related thereto. Attorney Agnes Dunogue terminated. (Signed by Judge Paul A. Crotty on 4/8/11) Filed In Associated Cases: 1:09-md-02013-PAC et al.(pl) (Entered: 04/15/2011)
2011-05-11 271 0 NOTICE of First Amended Complaint. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 05/11/2011)
2011-05-09 272 0 MOTION for John H. Sutter to Appear Pro Hac Vice. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS").(sjo) (Entered: 05/12/2011)
2011-05-12 273 0 SECOND AMENDED CIVIL CASE MANAGEMENT PLAN AND SCHEDULING ORDER The Consolidated Securities Action is to be tried to a jury. Motions due by 7/18/2011, Responses due by 10/11/2011, Replies due by 12/20/2011, Discovery due by 5/18/2012. The next Case Management conference is scheduled for to be determined at a later date. The 10-6-11 PTC is marked off the calendar as set forth in this order. (Signed by Judge Paul A. Crotty on 5/12/11) (jmi) (Entered: 05/12/2011)
2011-05-19 274 0 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION granting 272 Motion for John H. Sutter to Appear Pro Hac Vice for lead plaintiffs. (Signed by Judge Paul A. Crotty on 5/19/11) (cd) (Entered: 05/19/2011)
2011-05-19 275 0 STIPULATION that Stephen B. Ashley was named as a defendant to plaintiff's original complaint in this action dated 5/13/09. This stipulation is made to confirm that Mr. Ashley is not named as a defendant in plaintiff's first amended complaint dated 5/11/11, and as further set forth in this document. (Signed by Judge Paul A. Crotty on 5/19/11) (cd) (Entered: 05/19/2011)
2011-05-31 276 0 WAIVER OF SERVICE RETURNED EXECUTED. Enrico Dallavecchia waiver sent on 5/12/2011, answer due 7/11/2011. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 05/31/2011)
2011-06-10 277 0 STIPULATION AND ORDER, 1. Defendants' deadline to move, answer or otherwise respond to the complaint in the CIS Action is extended to July 11, 2011. 2, If defendants file any motions to dismiss the amended complaint in the CIS Action, plaintiff's deadline to respond to any motion(s) to dismiss is forty. five (45) days after the last of such motions is filed and defendants shall file any replies in support of any motions to dismiss no later than twenty-one (21) days after plaintiff files its opposition papers. (Signed by Judge Paul A. Crotty on 6/10/11) (pl) (Entered: 06/10/2011)
2011-06-29 278 0 MOTION for Erik L. Kitchen to Appear Pro Hac Vice. Document filed by Robert J. Levin.(pgu) (Entered: 06/30/2011)
2011-07-05 279 0 ORDER: CIS specifically requested that it be excluded from the November 29, 2010 Civil Case Management Plan and Scheduling Order so that it did not have to comply with pending deadlines. Now, CIS desires the ability to use the May 12, 2010 Second Amended Civil Case Management Plan and Scheduling Order to its advantage. In these circumstances, this is inappropriate and its motion to participate in discovery is DENIED until the motion to dismiss is decided. (Signed by Judge Paul A. Crotty on 7/5/2011) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(jfe) (Entered: 07/06/2011)
2011-07-11 280 0 MOTION to Dismiss. Document filed by Stephen M. Swad. (Attachments: # 1 Affidavit /Certificate of Service)(Tuttle, Jonathan) (Entered: 07/11/2011)
2011-07-11 281 0 MEMORANDUM OF LAW in Support re: 280 MOTION to Dismiss.. Document filed by Stephen M. Swad. (Attachments: # 1 Affidavit /Certificate of Service)(Tuttle, Jonathan) (Entered: 07/11/2011)
2011-07-11 282 0 MOTION to Dismiss Plaintiff's First Amended Complaint. Document filed by Enrico Dallavecchia.(Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 283 0 MEMORANDUM OF LAW in Support re: 282 MOTION to Dismiss Plaintiff's First Amended Complaint.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 284 0 DECLARATION of Kelly B. Kramer in Support re: 282 MOTION to Dismiss Plaintiff's First Amended Complaint.. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3)(Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 285 0 MOTION to Dismiss Plaintiff Edward Smith's Complaint. Document filed by Enrico Dallavecchia.(Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 286 0 MEMORANDUM OF LAW in Support re: 285 MOTION to Dismiss Plaintiff Edward Smith's Complaint.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 287 0 DECLARATION of Kelly B. Kramer in Support re: 285 MOTION to Dismiss Plaintiff Edward Smith's Complaint.. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Kramer, Kelly) (Entered: 07/11/2011)
2011-07-11 288 0 MOTION to Dismiss. Document filed by Robert J. Levin.(Rosenberg, Alejandro) (Entered: 07/11/2011)
2011-07-11 289 0 MEMORANDUM OF LAW in Support re: 288 MOTION to Dismiss.. Document filed by Robert J. Levin. (Rosenberg, Alejandro) (Entered: 07/11/2011)
2011-07-11 290 0 CERTIFICATE OF SERVICE served on all counsel of record on 7/11/2011. Document filed by Robert J. Levin. (Rosenberg, Alejandro) (Entered: 07/11/2011)
2011-07-11 291 0 MOTION to Dismiss. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 07/11/2011)
2011-07-11 292 0 MEMORANDUM OF LAW in Support re: (24 in 1:10-cv-02781-PAC, 291 in 1:08-cv-07831-PAC, 47 in 1:09-cv-06102-PAC, 81 in 1:09-md-02013-PAC) MOTION to Dismiss.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 07/11/2011)
2011-07-11 293 0 DECLARATION of Michael J. Walsh, Jr. in Support re: (24 in 1:10-cv-02781-PAC, 291 in 1:08-cv-07831-PAC, 47 in 1:09-cv-06102-PAC, 81 in 1:09-md-02013-PAC) MOTION to Dismiss.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit Exhibits 1-9, # 2 Exhibit Exhibits 10-17)Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 07/11/2011)
2011-07-11 294 0 NOTICE of Request for Judicial Notice re: (24 in 1:10-cv-02781-PAC, 291 in 1:08-cv-07831-PAC, 47 in 1:09-cv-06102-PAC, 81 in 1:09-md-02013-PAC) MOTION to Dismiss.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 07/11/2011)
2011-07-14 295 0 ENDORSED LETTER addressed to Judge Paul A Crotty from Daniel Barenbaum dated 7/8/11 re: Counsel for the lead plaintiffs request that the Court enter an order granting them leave to file two separate briefs on behalf of the independent classes. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 7/14/2011) (mro) (Entered: 07/14/2011)
2011-07-14 296 0 NOTICE OF CHANGE OF ADDRESS by Alejandro Gabriel Rosenberg on behalf of Robert J. Levin. New Address: Steptoe & Johnson LLP, 750 Seventh Avenue, New York, NY, USA 10019, (212) 506-3900. (Rosenberg, Alejandro) (Entered: 07/14/2011)
2011-07-18 297 0 STIPULATED PRETRIAL PROTECTIVE ORDER...regarding procedures to be followed that shall govern the handling of confidential material... (Signed by Judge Paul A. Crotty on 7/15/2011) (mro) (Entered: 07/18/2011)
2011-07-18 298 0 MOTION to Certify Class NOTICE OF PREFERRED STOCK LEAD PLAINTIFF'S MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVE AND CLASS COUNSEL. Document filed by Tennessee Consolidated Retirement System ("TCRS").Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Fox, Frederic) (Entered: 07/18/2011)
2011-07-18 299 0 MEMORANDUM OF LAW in Support re: (298 in 1:08-cv-07831-PAC, 74 in 1:08-cv-08519-PAC, 66 in 1:08-cv-08488-PAC, 57 in 1:08-cv-07938-PAC, 45 in 1:08-cv-08676-PAC, 51 in 1:08-cv-08520-PAC, 50 in 1:08-cv-08353-PAC, 65 in 1:08-cv-08551-PAC, 43 in 1:08-cv-09649-PAC, 58 in 1:08-cv-08008-PAC, 63 in 1:08-cv-08547-PAC, 18 in 1:09-cv-01351-PAC, 70 in 1:08-cv-08491-PAC, 18 in 1:09-cv-01367-PAC, 69 in 1:08-cv-08609-PAC, 72 in 1:08-cv-08096-PAC, 42 in 1:08-cv-09650-PAC, 56 in 1:09-cv-01352-PAC) MOTION to Certify Class NOTICE OF PREFERRED STOCK LEAD PLAINTIFF'S MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVE AND CLASS COUNSEL.. Document filed by Tennessee Consolidated Retirement System ("TCRS"). Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Fox, Frederic) (Entered: 07/18/2011)
2011-07-18 300 0 DECLARATION of Frederic S. Fox in Support re: (298 in 1:08-cv-07831-PAC, 74 in 1:08-cv-08519-PAC, 66 in 1:08-cv-08488-PAC, 57 in 1:08-cv-07938-PAC, 45 in 1:08-cv-08676-PAC, 51 in 1:08-cv-08520-PAC, 50 in 1:08-cv-08353-PAC, 65 in 1:08-cv-08551-PAC, 43 in 1:08-cv-09649-PAC, 58 in 1:08-cv-08008-PAC, 63 in 1:08-cv-08547-PAC, 18 in 1:09-cv-01351-PAC, 70 in 1:08-cv-08491-PAC, 18 in 1:09-cv-01367-PAC, 69 in 1:08-cv-08609-PAC, 72 in 1:08-cv-08096-PAC, 42 in 1:08-cv-09650-PAC, 56 in 1:09-cv-01352-PAC) MOTION to Certify Class NOTICE OF PREFERRED STOCK LEAD PLAINTIFF'S MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVE AND CLASS COUNSEL.. Document filed by Tennessee Consolidated Retirement System ("TCRS"). Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Fox, Frederic) (Entered: 07/18/2011)
2011-07-18 301 0 MOTION to Certify Class NOTICE OF COMMON STOCK LEAD PLAINTIFFS MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVES AND CLASS COUNSEL. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM").Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Plasse, Jonathan) (Entered: 07/18/2011)
2011-07-18 302 0 MEMORANDUM OF LAW in Support re: (21 in 1:09-cv-01351-PAC, 72 in 1:08-cv-08609-PAC, 21 in 1:09-cv-01367-PAC, 73 in 1:08-cv-08491-PAC, 68 in 1:08-cv-08551-PAC, 61 in 1:08-cv-08008-PAC, 48 in 1:08-cv-08676-PAC, 301 in 1:08-cv-07831-PAC, 77 in 1:08-cv-08519-PAC, 45 in 1:08-cv-09650-PAC, 59 in 1:09-cv-01352-PAC, 69 in 1:08-cv-08488-PAC, 46 in 1:08-cv-09649-PAC, 75 in 1:08-cv-08096-PAC, 60 in 1:08-cv-07938-PAC, 54 in 1:08-cv-08520-PAC, 53 in 1:08-cv-08353-PAC, 66 in 1:08-cv-08547-PAC) MOTION to Certify Class NOTICE OF COMMON STOCK LEAD PLAINTIFFS MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVES AND CLASS COUNSEL.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"). Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Plasse, Jonathan) (Entered: 07/18/2011)
2011-07-18 303 0 DECLARATION of JONATHAN M. PLASSE in Support re: (21 in 1:09-cv-01351-PAC, 61 in 1:08-cv-08008-PAC, 48 in 1:08-cv-08676-PAC, 53 in 1:08-cv-08353-PAC, 66 in 1:08-cv-08547-PAC, 72 in 1:08-cv-08609-PAC, 21 in 1:09-cv-01367-PAC, 73 in 1:08-cv-08491-PAC, 68 in 1:08-cv-08551-PAC, 301 in 1:08-cv-07831-PAC, 77 in 1:08-cv-08519-PAC, 45 in 1:08-cv-09650-PAC, 59 in 1:09-cv-01352-PAC, 69 in 1:08-cv-08488-PAC, 46 in 1:08-cv-09649-PAC, 75 in 1:08-cv-08096-PAC, 60 in 1:08-cv-07938-PAC, 54 in 1:08-cv-08520-PAC) MOTION to Certify Class NOTICE OF COMMON STOCK LEAD PLAINTIFFS MOTION FOR CLASS CERTIFICATION AND APPOINTMENT OF CLASS REPRESENTATIVES AND CLASS COUNSEL.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"). (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L, # 13 Exhibit M, # 14 Exhibit N)Filed In Associated Cases: 1:08-cv-07831-PAC et al.(Plasse, Jonathan) (Entered: 07/18/2011)
2011-07-28 304 0 NOTICE of Withdrawal of Appearance. Document filed by Federal National Mortgage Association. (Olney, Eric) (Entered: 07/28/2011)
2011-08-09 305 0 TRANSCRIPT of Proceedings re: Conference held on 8/3/2011 before Judge Paul A. Crotty. Court Reporter/Transcriber: Alena Lynch, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 9/2/2011. Redacted Transcript Deadline set for 9/12/2011. Release of Transcript Restriction set for 11/10/2011.(McGuirk, Kelly) (Entered: 08/09/2011)
2011-08-09 306 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/3/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 08/09/2011)
2011-08-15 307 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/3/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 08/15/2011)
2011-08-15 308 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/3/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 08/15/2011)
2011-08-19 309 0 ORDER FOR ADMISSION PRO HAC VICE granting 278 Motion for Erik L. Kitchen to Appear Pro Hac Vice as counsel for Robert J. Levin. (Signed by Judge Paul A. Crotty on 8/19/2011) (lmb) Modified on 8/19/2011 (lmb). (Entered: 08/19/2011)
2011-08-19 310 0 ORDER: Lead plaintiffs (see Letter of July 1, 2011) and Fannie Mae (see letter of July 7, 2011) are in dispute concerning the scope of discovery permissible on the remaining claim in this action after the Courts Opinion and Order, dated September 30, 2010. At the most general level, the Court held that Fannie Maes risk management and controls were insufficient to evaluate the risks of subprime and Alt-A Mortgages; and that Fannie Mae misinformed the market concerning its risk management capabilities. (See Opinion and Order of September 30, 2010, pg. 22-27). The Court heard oral argument on August 3, 2011 concerning the discovery dispute. We may take as a given that lead plaintiffs are not entitled to discovery on claims which have been dismissed, and their discovery is limited to the claim remaining in the lawsuit. As counsel for lead plaintiffs conceded at the August 3, 2011 oral argument: Let me make one thing clear to the extent we havent made it clear, is that we are not seeking documents beyond the scope of whats in the Courts order on pages 22-26. In other words, we fully understand [with respect to dismissed claims]... we are not seeking discovery on that. We are only seeking discovery for what your Honor upheld, which is on pages 22 to 26. (pg 4 ll 25 pg 5 ll 11). Lead plaintiffs counsels concession applies to both the First and Second set of document requests. While discovery is limited to the remaining claim dealing with risk management, lead plaintiffs are entitled to discovery as full as permitted by law and the Federal Rules of Civil Procedure. Discovery cannot be limited to the events surrounding Mr. Dallavecchias several emails. Nor can risk management be limited by the term credit risk management, as Fannie Mae suggests, so that it excludes other risks related to guarantee fees; underwriting standards or losses sustained by Fannie Mae relating to subprime and Alt-A Mortgages. Having sustained lead plaintiffs claims on risk management, lead plaintiffs are entitled to discovery, including all events, occurrences and transactions covered by Fannie Maes risk management policiesor, in the exercise of reasonable prudence, should have been covered by such policies. Thus, it would include risks arising out of or occurring on transactions with loan losses and creating reserves for such losses, or for creating reserves for losses on guarantees. Fannie Mae believes that its losses were caused by a once in a century meltdown in the housing finance sector. It argues that lead plaintiffs have failed to explain how they will show that something other than the global financial crisis caused Fannie Maes stock price to drop in September (Fannie Mae letter of July 7, 2011, pg. 3). But this argument puts the cart before the horse; lead plaintiffs are not required to disprove defendants defense as a condition precedent to discovery. Rather, lead plaintiff is allowed to seek documents and related discovery on its theory of liability which is still viable. Lead plaintiffs may discover documents concerning deficient risk policies and procedures, including documents concerning risk and losses, underwriting guidelines, guarantee fees, institutional counter-party risk and risk model. In short, lead plaintiffs may discover Fannie Maes risk management policies, what the policies covered and how; further, they are entitled to discovery on what the risk management policy should have covered, including managements consideration of how, when and why to apply appropriate standards for risk management. Given this guidance, the parties should meet and confer concerning any remaining discovery disputes. The guiding beacon, however, is that lead plaintiffs are entitled to discovery on the remaining viable claim in this action concerning Fannie Maes risk management policy, procedures and practices, as applied to the risks confronting Fannie Man. (Signed by Judge Paul A. Crotty on August 19, 2011) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(mov) (Entered: 08/19/2011) 2011-08-22 01:45:31 0f51fee858068819df00869bcb1c2614f7123ce5
2011-08-25 311 0 DECLARATION of Eric Kirkpatrick in Opposition re: 291 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2 (Part 1 of 2), # 3 Exhibit 2 (Part 2 of 2), # 4 Exhibit 3, # 5 Exhibit 4, # 6 Exhibit 5, # 7 Exhibit 6, # 8 Exhibit 7, # 9 Exhibit 8, # 10 Exhibit 9, # 11 Exhibit 10, # 12 Exhibit 11, # 13 Exhibit 12, # 14 Exhibit 13, # 15 Exhibit 14, # 16 Exhibit 15, # 17 Exhibit 16, # 18 Exhibit 17, # 19 Exhibit 18, # 20 Exhibit 19, # 21 Exhibit 20, # 22 Exhibit 21, # 23 Exhibit 22, # 24 Exhibit 23 (Part 1 of 12), # 25 Exhibit 23 (Part 2 of 12), # 26 Exhibit 23 (Part 3 of 12), # 27 Exhibit 23 (Part 4 of 12), # 28 Exhibit 23 (Part 5 of 12), # 29 Exhibit 23 (Part 6 of 12), # 30 Exhibit 23 (Part 7 of 12), # 31 Exhibit 23 (Part 8 of 12), # 32 Exhibit 23 (Part 9 of 12), # 33 Exhibit 23 (Part 10 of 12), # 34 Exhibit 23 (Part 11 of 12), # 35 Exhibit 23 (Part 12 of 12), # 36 Exhibit 24, # 37 Exhibit 25, # 38 Exhibit 26, # 39 Errata 27, # 40 Exhibit 28 (Part 1 of 2), # 41 Exhibit 28 (Part 2 of 2))(Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 312 0 MEMORANDUM OF LAW in Opposition re: 291 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 313 0 AFFIDAVIT of Andrew J. Frisch in Opposition re: 291 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit A)(Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 314 0 RESPONSE in Opposition re: 291 MOTION to Dismiss. Objection to Exhibit 17 of Declaration of Michael J. Walsh, Jr.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 315 0 RESPONSE in Opposition re: 291 MOTION to Dismiss. Objection to Request for Judicial Notice of Exhibit 17. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 316 0 MEMORANDUM OF LAW in Opposition re: 282 MOTION to Dismiss Plaintiff's First Amended Complaint.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 317 0 MEMORANDUM OF LAW in Opposition re: 288 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 318 0 MEMORANDUM OF LAW in Opposition re: 280 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 319 0 MEMORANDUM OF LAW in Opposition re: 288 MOTION to Dismiss., 282 MOTION to Dismiss Plaintiff's First Amended Complaint., 280 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Frisch, Andrew) (Entered: 08/25/2011)
2011-08-25 320 0 AFFIRMATION of Andrew J. Frisch in Opposition re: 288 MOTION to Dismiss., 282 MOTION to Dismiss Plaintiff's First Amended Complaint., 280 MOTION to Dismiss.. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit A)(Frisch, Andrew) (Entered: 08/25/2011)
2011-09-01 321 0 NOTICE OF APPEARANCE by Eric Brendan Bruce on behalf of Fannie Mae (Bruce, Eric) (Entered: 09/01/2011)
2011-09-15 322 0 REPLY MEMORANDUM OF LAW in Support re: 280 MOTION to Dismiss.. Document filed by Stephen M. Swad. (Tuttle, Jonathan) (Entered: 09/15/2011)
2011-09-15 323 0 REPLY MEMORANDUM OF LAW in Support re: 285 MOTION to Dismiss Plaintiff Edward Smith's Complaint.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 09/15/2011)
2011-09-15 324 0 REPLY MEMORANDUM OF LAW in Support re: 288 MOTION to Dismiss.. Document filed by Robert J. Levin. (Rosenberg, Alejandro) (Entered: 09/15/2011)
2011-09-15 325 0 REPLY MEMORANDUM OF LAW in Support re: (24 in 1:10-cv-02781-PAC, 291 in 1:08-cv-07831-PAC, 47 in 1:09-cv-06102-PAC, 81 in 1:09-md-02013-PAC) MOTION to Dismiss.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 09/15/2011)
2011-09-15 326 0 REPLY MEMORANDUM OF LAW in Support re: 282 MOTION to Dismiss Plaintiff's First Amended Complaint.. Document filed by Enrico Dallavecchia. (Kramer, Kelly) (Entered: 09/15/2011)
2011-09-26 327 0 TRANSCRIPT of Proceedings re: Conference held on 8/3/2011 before Judge Paul A. Crotty. Court Reporter/Transcriber: Alena Lynch, (212) 805-0300. Tape Number: 8/3/11. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 10/20/2011. Redacted Transcript Deadline set for 10/31/2011. Release of Transcript Restriction set for 12/29/2011.Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 09/26/2011)
2011-09-26 328 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 8/3/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 09/26/2011)
2011-10-11 329 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 10/7/11 re: The parties request that the deadline for Defendants to oppose Lead Plaintiffs' class certification motions be extended to January 13, 2012, and that the time for Lead Plaintiffs to file replies in support of class certification be extended to March 22, 2012. ENDORSEMENT: So ordered. (Responses due by 1/13/2012. Replies due by 3/22/2012.) (Signed by Judge Paul A. Crotty on 10/11/11) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) (Entered: 10/12/2011)
2011-10-13 330 0 NOTICE OF CHANGE OF ADDRESS by Kelly Bain Kramer on behalf of Enrico Dallavecchia. New Address: Mayer Brown, LLP, 1999 K Street, NW, Washington, DC, 20006, 202-263-3300. (Kramer, Kelly) (Entered: 10/13/2011)
2011-10-31 331 0 NOTICE OF APPEARANCE by Joseph J. Aronica on behalf of Federal Housing Finance Agency (Aronica, Joseph) (Entered: 10/31/2011)
2011-11-17 332 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Frederick S. Fox; Jonathan M. Plasse and Glen DeValerio dated November 16, 2011 re: Lead Plaintiffs' counsel writes to supplemental their 10/17/2011 letter, which was written pursuant to Rule 3(D) of Your Honor's Individual Practices and which responded to Defendant Federal Housing Finance Agency's ("FHFA") 10/12/2011 letter-request for a pre-motion conference concerning FHFA's anticipation motion for an indefinite stay of all proceedings in this action. ENDORSEMENT: It would be strange if Federal Housing Finance Agency ('FHFA") could adopt a rule frustrating the payment of claims in this proceeding; but FHFA is entitled to make a motion, however unlikely it will be granted. There is no need for a pre-motion conference. The parties should meet and confer and submit a proposed schedule, but FHFA's motion should be made no later than Friday, 12/2/2011. In the meantime, lest there be any doubt, there is NO stay of any and all ongoing discovery. ( Motions due by 12/2/2011.) (Signed by Judge Paul A. Crotty on 11/17/2011) (ae) (Entered: 11/17/2011)
2011-12-06 333 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 12/1/2011 re: We represent defendant Fannie Mae in this litigation and write on behalf of the current and former Fannie Mae officers and directors named in the above-captioned actions to respectfully request that the Court reschedule the oral arguments on all outstanding motions to dismiss the above-captioned actions. ENDORSEMENT: Application GRANTED. The oral argument on the three pending motions to dismiss the consolidated ERlSA action (09-cv-1350) will go forward on Wednesday, February 8, 2012 at 04:45PM in Courtroom 26A. The oral argument on the ten pending motions to dismiss the Smith, CIS and Liberty Mutual cases (08-cv-7831) is adjourned to Friday, February 10, 2012 at 1:30PM in Courtroom 26A. (Signed by Judge Paul A. Crotty on 12/6/2011) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(rjm) (Entered: 12/06/2011)
2011-12-07 334 0 Letter addressed to Judge Paul A. Crotty from David W. Fassett dated 12/2/2011 re: Counsel writes to inform the Court that FHFA has decided not to file a motion to stay at the present time. Document filed by Federal Housing Finance Agency. (ab) (Entered: 12/07/2011)
2012-01-11 335 0 NOTICE OF CHANGE OF ADDRESS by Alejandro Gabriel Rosenberg on behalf of Robert J. Levin. New Address: Steptoe & Johnson, LLP, 1114 Avenue of the Americas, New York, New York, United States of America 10036, 212-506-3900. (Rosenberg, Alejandro) (Entered: 01/11/2012)
2012-01-13 336 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 1/12/2012 re: Counsel for the defendant requests to adjourn the remaining deadlines in the Second Amended Case Management Plan including Defendants' opposition to Lead Plaintiffs' class certification motions and Lead Plaintiffs' replies. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 1/13/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC (ft) (Entered: 01/17/2012)
2012-01-25 337 0 NOTICE OF APPEARANCE by Jonathan K. Youngwood on behalf of Goldman Sachs & CO., J.P. Morgan Securities, Inc., Merrill Lynch Pierce, Fenner & Smith, Inc. (Youngwood, Jonathan) (Entered: 01/25/2012)
2012-01-25 338 0 NOTICE OF APPEARANCE by Shannon Price Torres on behalf of Goldman Sachs & CO., J.P. Morgan Securities, Inc., Merrill Lynch Pierce, Fenner & Smith, Inc. (Torres, Shannon) (Entered: 01/25/2012)
2012-01-27 339 0 NOTICE OF APPEARANCE by Andrew J. Levander on behalf of Enrico Dallavecchia Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(Levander, Andrew) (Entered: 01/27/2012)
2012-01-27 340 0 NOTICE OF APPEARANCE by Hector Gonzalez on behalf of Enrico Dallavecchia Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(Gonzalez, Hector) (Entered: 01/27/2012)
2012-01-27 341 0 NOTICE OF APPEARANCE by David Paul Staubitz on behalf of Enrico Dallavecchia Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(Staubitz, David) (Entered: 01/27/2012)
2012-02-06 342 0 ORDER. For the reasons stated on the record at the conference held on February 1, 2012, plaintiffs are authorized to file amended complaints. See transcript for complete details. (Signed by Judge Paul A. Crotty on 2/6/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(rjm) (Entered: 02/06/2012)
2012-02-07 343 0 TRANSCRIPT of Proceedings re: Conference held on 2/1/2012 before Judge Paul A. Crotty. Court Reporter/Transcriber: Tara Jones, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 3/2/2012. Redacted Transcript Deadline set for 3/12/2012. Release of Transcript Restriction set for 5/10/2012.Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 02/07/2012)
2012-02-07 344 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 2/1/2012 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 02/07/2012)
2012-02-17 345 0 TRANSCRIPT of Proceedings re: Conference held on 2/1/2012 before Judge Paul A. Crotty. Court Reporter/Transcriber: Tara Jones, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 3/12/2012. Redacted Transcript Deadline set for 3/22/2012. Release of Transcript Restriction set for 5/21/2012.Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 02/17/2012)
2012-02-17 346 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 2/1/2012 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 02/17/2012)
2012-03-02 347 0 SEALED DOCUMENT placed in vault.(mps) (Entered: 03/05/2012)
2012-03-02 348 0 SECOND AMENDED COMPLAINT against Enrico Dallavecchia, Robert J. Levin, Fannie Mae, Daniel H. Mudd, Stephen M. Swad, Citigroup Global Markets, Inc., Wachovia Capital Markets, LLC with JURY DEMAND.Document filed by Comprehensive Investment Services, Inc.(lmb) (Entered: 03/06/2012)
2012-03-02 349 0 SECOND AMENDED CONSOLIDATED CLASS ACTION COMPLAINT against Enrico Dallavecchia, Federal Housing Finance Agency, Fannie Mae, Daniel H. Mudd with JURY DEMAND.Document filed by Boston Retirement Board, Tennessee Consolidated Retirement System, Massachusetts Pension Reserves Investment Management Board ("PRIM").(mro) (Additional attachment(s) added on 3/8/2012: # 1 part 2, # 2 part 3, # 3 part 4) (tro). (Entered: 03/08/2012)
2012-03-22 350 0 TRANSCRIPT of Proceedings re: Conference held on 2/1/2012 before Judge Paul A. Crotty. Court Reporter/Transcriber: Tara Jones, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 4/16/2012. Redacted Transcript Deadline set for 4/26/2012. Release of Transcript Restriction set for 6/25/2012.Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 03/22/2012)
2012-03-22 351 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 2/1/12 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 03/22/2012)
2012-04-02 352 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr dated 3/29/2012 re: Counsel respectfully request permission for Fannie Mae to file a memorandum of law of up to 50 pages in support of its motion to dismiss the second amended joint consolidated class action complaint. ENDORSEMENT: Being brief is a virtue. The Court denies the request, but will allow a brief of up to 35 pages. Plaintiffs response will bit be enlarged. (Signed by Judge Paul A. Crotty on 4/2/2012) (jfe) (Entered: 04/02/2012)
2012-04-04 353 0 MOTION to Dismiss / Notice of Motion to Dismiss the Second Amended Complaint. Document filed by Stephen M. Swad. (Attachments: # 1 Certificate of Service)(Tuttle, Jonathan) (Entered: 04/04/2012)
2012-04-04 354 0 MEMORANDUM OF LAW in Support re: 353 MOTION to Dismiss / Notice of Motion to Dismiss the Second Amended Complaint. / Memorandum of Law in Support of Stephen M. Swad's Motion to Dismiss the Second Amended Complaint. Document filed by Stephen M. Swad. (Attachments: # 1 Certificate of Service)(Tuttle, Jonathan) (Entered: 04/04/2012)
2012-04-04 355 0 MOTION to Dismiss. Document filed by Robert J. Levin. (Attachments: # 1 Certificate of Service)(Rosenberg, Alejandro) (Entered: 04/04/2012)
2012-04-04 356 0 MEMORANDUM OF LAW in Support re: 355 MOTION to Dismiss.. Document filed by Robert J. Levin. (Rosenberg, Alejandro) (Entered: 04/04/2012)
2012-04-04 357 0 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint. Document filed by Enrico Dallavecchia.(Levander, Andrew) (Entered: 04/04/2012)
2012-04-04 358 0 MEMORANDUM OF LAW in Support re: 357 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Enrico Dallavecchia. (Levander, Andrew) (Entered: 04/04/2012)
2012-04-04 359 0 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 360 0 DECLARATION of Hector Gonzalez in Support re: 357 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit 1)(Levander, Andrew) (Entered: 04/04/2012)
2012-04-04 361 0 MEMORANDUM OF LAW in Support re: 359 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 362 0 MOTION to Dismiss the Second Amended Complaint. Document filed by Goldman Sachs & CO..(Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 363 0 MEMORANDUM OF LAW in Support re: 362 MOTION to Dismiss the Second Amended Complaint.. Document filed by Goldman Sachs & CO.. (Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 364 0 DECLARATION of Craig S. Waldman in Support re: 362 MOTION to Dismiss the Second Amended Complaint.. Document filed by Goldman Sachs & CO.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C (Part 1 of 2), # 4 Exhibit C (Part 2 of 2), # 5 Exhibit D (Part 1 of 2), # 6 Exhibit D (Part 2 of 2), # 7 Exhibit E, # 8 Exhibit F, # 9 Exhibit G, # 10 Exhibit H, # 11 Exhibit I, # 12 Exhibit J, # 13 Exhibit K, # 14 Exhibit L, # 15 Exhibit M, # 16 Exhibit N (Part 1 of 5), # 17 Exhibit N (Part 2 of 5), # 18 Exhibit N (Part 3 of 5), # 19 Exhibit N (Part 4 of 5), # 20 Exhibit N (Part 5 of 5), # 21 Exhibit O)(Waldman, Craig) (Entered: 04/04/2012)
2012-04-04 365 0 MOTION to Dismiss the Second Amended Complaint. Document filed by Citigroup Global Markets, Inc., Goldman Sachs & CO., Banc of America Securities LLC, Deutsche Banc Securities Inc., JP Morgan Securities LLC, JP Morgan Chase & Co., Morgan Stanley & Co. LLC, UBS Securities LLC.(Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 366 0 MEMORANDUM OF LAW in Support re: 365 MOTION to Dismiss the Second Amended Complaint.. Document filed by Banc of America Securities LLC, Citigroup Global Markets, Inc., Deutsche Banc Securities Inc., Goldman Sachs & CO., JP Morgan Chase & Co., JP Morgan Securities LLC, Merrill Lynch Pierce, Fenner & Smith, Inc., Morgan Stanley & Co. LLC, UBS Securities LLC. (Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 367 0 DECLARATION of Craig S. Waldman in Support re: 365 MOTION to Dismiss the Second Amended Complaint.. Document filed by Banc of America Securities LLC, Citigroup Global Markets, Inc., Deutsche Banc Securities Inc., Goldman Sachs & CO., JP Morgan Chase & Co., JP Morgan Securities LLC, Merrill Lynch Pierce, Fenner & Smith, Inc., Morgan Stanley & Co. LLC, UBS Securities LLC. (Attachments: # 1 Exhibit A)(Waldman, Craig) (Entered: 04/04/2012)
2012-04-04 368 0 MOTION to Dismiss the Smith Second Amended Complaint. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 369 0 MEMORANDUM OF LAW in Support re: (124 in 1:09-md-02013-PAC, 368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 370 0 MOTION to Dismiss the Second Amended Complaint. Document filed by Citigroup Global Markets, Inc., Wachovia Capital Markets, LLC.(Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 371 0 MEMORANDUM OF LAW in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Citigroup Global Markets, Inc., Wachovia Capital Markets, LLC. (Youngwood, Jonathan) (Entered: 04/04/2012)
2012-04-04 372 0 MOTION to Dismiss the CIS Second Amended Complaint. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 373 0 DECLARATION of Craig S. Waldman in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Citigroup Global Markets, Inc., Wachovia Capital Markets, LLC. (Attachments: # 1 Exhibit A)(Waldman, Craig) (Entered: 04/04/2012)
2012-04-04 374 0 MEMORANDUM OF LAW in Support re: (126 in 1:09-md-02013-PAC, 88 in 1:09-cv-06102-PAC, 372 in 1:08-cv-07831-PAC) MOTION to Dismiss the CIS Second Amended Complaint.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 375 0 DECLARATION of Michael J. Walsh, Jr. in Support re: (124 in 1:09-md-02013-PAC, 368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint., (372 in 1:08-cv-07831-PAC, 126 in 1:09-md-02013-PAC, 88 in 1:09-cv-06102-PAC) MOTION to Dismiss the CIS Second Amended Complaint., (359 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit 1-7, # 2 Exhibit 8, # 3 Exhibit 9, # 4 Exhibit 10-21, # 5 Exhibit 22, # 6 Exhibit 23-33, # 7 Exhibit 34-43)Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 376 0 NOTICE of Request for Judicial Notice re: (125 in 1:09-md-02013-PAC, 369 in 1:08-cv-07831-PAC, 62 in 1:10-cv-02781-PAC) Memorandum of Law in Support of Motion, (126 in 1:09-md-02013-PAC, 88 in 1:09-cv-06102-PAC, 372 in 1:08-cv-07831-PAC) MOTION to Dismiss the CIS Second Amended Complaint., (375 in 1:08-cv-07831-PAC, 95 in 1:09-cv-06102-PAC, 128 in 1:09-md-02013-PAC, 65 in 1:10-cv-02781-PAC) Declaration in Support of Motion,,, (89 in 1:09-cv-06102-PAC, 374 in 1:08-cv-07831-PAC, 127 in 1:09-md-02013-PAC) Memorandum of Law in Support of Motion, (124 in 1:09-md-02013-PAC, 368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint., (361 in 1:08-cv-07831-PAC) Memorandum of Law in Support of Motion, (359 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 377 0 MOTION to Strike Portions of Amended Complaints. Document filed by Federal National Mortgage Association Benefit Plans Committee, Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 04/04/2012)
2012-04-04 378 0 MOTION to Dismiss Plaintiff CIS's Second Amended Complaint. Document filed by Daniel H. Mudd.(Anklam, James) (Entered: 04/04/2012)
2012-04-04 379 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MEMORANDUM OF LAW in Support re: 378 MOTION to Dismiss Plaintiff CIS's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Attachments: # 1 Affidavit Declaration of Jeffrey D. Rotenberg in Support of Daniel Mudd's Motion to Dismiss Second Amended Complaint (CIS) (with Ex. 1))(Anklam, James) Modified on 4/5/2012 (ldi). (Entered: 04/04/2012)
2012-04-05 380 0 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint. Document filed by Daniel H. Mudd.(Anklam, James) (Entered: 04/05/2012)
2012-04-05 381 0 FILING ERROR - DEFICIENT DOCKET ENTRY (SEE DOCUMENT #386) - MEMORANDUM OF LAW in Support re: 380 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Attachments: # 1 Affidavit Declaration of Jeffrey D. Rotenberg in Support of Daniel Mudd's Motion to Dismiss Second Amended Complaint (Smith) (with Ex. 1))(Anklam, James) Modified on 4/6/2012 (ldi). (Entered: 04/05/2012)
2012-04-05 382 0 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint. Document filed by Daniel H. Mudd.(Anklam, James) (Entered: 04/05/2012)
2012-04-05 383 0 FILING ERROR - DEFICIENT DOCKET ENTRY (SEE DOCUMENT #388) - MEMORANDUM OF LAW in Support re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel H. Mudd. (Attachments: # 1 Affidavit Declaration of Jeff Rotenberg in Support of Motion to Dismiss the Joint Consolidated Amended Class Action Complaint, # 2 Exhibit Exhibits 1-10 to Rotenberg Declaration, # 3 Exhibit Exhibits 11-16 to Rotenberg Declaration)(Anklam, James) Modified on 4/6/2012 (ldi). (Entered: 04/05/2012)
2012-04-05 384 0 MEMORANDUM OF LAW in Support re: 378 MOTION to Dismiss Plaintiff CIS's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Anklam, James) (Entered: 04/05/2012)
2012-04-05 385 0 DECLARATION of Jeffrey D. Rotenberg in Support re: 378 MOTION to Dismiss Plaintiff CIS's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Anklam, James) (Entered: 04/05/2012)
2012-04-05 386 0 MEMORANDUM OF LAW in Support re: 380 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Anklam, James) (Entered: 04/05/2012)
2012-04-05 387 0 DECLARATION of Jeffrey D. Rotenberg in Support re: 380 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint.. Document filed by Daniel H. Mudd. (Anklam, James) (Entered: 04/05/2012)
2012-04-05 388 0 MEMORANDUM OF LAW in Support re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel H. Mudd. (Anklam, James) (Entered: 04/05/2012)
2012-04-05 389 0 DECLARATION of Jeffrey D. Rotenberg in Support re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel H. Mudd. (Attachments: # 1 Exhibit 1-10 to the Declaration of Jeffrey D. Rotenberg, # 2 Exhibit 11-16 to the Declaration of Jeffrey D. Rotenberg)(Anklam, James) (Entered: 04/05/2012)
2012-04-13 390 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Joseph H. Meltzer dated 4/11/12 re: Counsel for the plaintiffs requests leave to file their opposition to the BPC defendants' motion to strike, together with plaintiffs' oppositions to the pending motions to dismiss, on 5/4/12. ENDORSEMENT: So ordered.( Responses due by 5/4/2012) (Signed by Judge Paul A. Crotty on 4/13/2012) (mro) (Entered: 04/13/2012)
2012-04-18 391 0 ORDER: The defendants in the SEC action have also filed motions to dismiss. In order to align the briefing schedules between the various cases, the Court modifies the briefing schedule in the above caption cases as follows: plaintiffs' opposition briefs are now due on May 21, 2012; defendants' reply briefs are due on June 18, 2012. This schedule applies equally to any motions to strike filed in the above captioned cases. Oral argument on the motions, which had been scheduled for June 11, 2012, will now be held on July 18, 2012, at 11:00 a.m. Additionally, the Court has received and reviewed the securities class action lead plaintiffs' letter, date April 11, 2012, requesting that the Court strike portions of defendants Mudd and Dallavecchia's briefs that incorporate by reference arguments made in other motions to dismiss. The Court has also received and reviewed defendants Dallavecchia and Mudd's responses, dated April 12 and 16, 2012, respectively. Plaintiffs' request to strike those portions of the defendants' motions is denied, but the securities class action plaintiffs are granted an extra five pages for their opposition brief. ( Oral Argument set for 7/18/2012 at 11:00 AM before Judge Paul A. Crotty.), Set Deadlines/Hearing as to (124 in 1:09-md-02013-PAC, 368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint., (126 in 1:09-md-02013-PAC, 88 in 1:09-cv-06102-PAC, 372 in 1:08-cv-07831-PAC) MOTION to Dismiss the CIS Second Amended Complaint., (85 in 1:09-cv-06102-PAC) MOTION to Dismiss the Second Amended Complaint., (90 in 1:09-cv-06102-PAC) MOTION to Dismiss the Second Amended Complaint., (98 in 1:09-cv-06102-PAC) MOTION to Dismiss the Second Amended Complaint., (83 in 1:09-cv-06102-PAC) MOTION to Dismiss / Notice of Motion to Dismiss the Second Amended Complaint., (93 in 1:09-cv-06102-PAC) MOTION to Dismiss., (378 in 1:08-cv-07831-PAC) MOTION to Dismiss Plaintiff CIS's Second Amended Complaint., (359 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint., (362 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Complaint., (353 in 1:08-cv-07831-PAC) MOTION to Dismiss / Notice of Motion to Dismiss the Second Amended Complaint., (355 in 1:08-cv-07831-PAC) MOTION to Dismiss., (380 in 1:08-cv-07831-PAC) MOTION to Dismiss Plaintiff Smith's Second Amended Complaint., (382 in 1:08-cv-07831-PAC) MOTION to Dismiss Joint Consolidated Amended Class Action Complaint., (370 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Complaint., (365 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Complaint., (357 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint., (66 in 1:09-cv-01350-PAC) MOTION to Dismiss and Strike the Amended Consolidated Class Action Complaint., (65 in 1:09-cv-01350-PAC) MOTION to Dismiss the Amended Consolidated Class Action Complaint., (22 in 1:09-cv-01350-PAC) MOTION to Dismiss the Consolidated Class Action Complaint., (20 in 1:09-cv-01350-PAC) MOTION to Dismiss Consolidated Class Action Complaint., (69 in 1:09-cv-01350-PAC) MOTION to Dismiss the Amended Consolidated Class Action Complaint., (24 in 1:09-cv-01350-PAC) MOTION to Dismiss the Consolidated Class Action Complaint., (68 in 1:10-cv-02781-PAC) MOTION to Dismiss the Second Amended Complaint., (61 in 1:10-cv-02781-PAC) MOTION to Dismiss the Second Amended Complaint., (19 in 1:10-cv-02781-PAC) MOTION to Dismiss Plaintiff's First Amended Complaint., (28 in 1:10-cv-02781-PAC) MOTION to Dismiss Plaintiff Edward Smith's Complaint (filed in 08-cv-07831 07/11/2011)., (24 in 1:10-cv-02781-PAC) MOTION to Dismiss., (22 in 1:10-cv-02781-PAC) MOTION to Dismiss the CIS and Smith Amended Complaints., (57 in 1:10-cv-02781-PAC) MOTION to Dismiss the Second Amended Complaint., (38 in 1:10-cv-09184-PAC) MOTION to Dismiss the Second Amended Complaint., (17 in 1:10-cv-09184-PAC) MOTION to Dismiss the Amended Complaint. :( Responses due by 5/21/2012, Replies due by 6/18/2012.) (Signed by Judge Paul A. Crotty on 4/18/2012) Filed In Associated Cases: 1:09-md-02013-PAC et al.(jfe) (Entered: 04/18/2012)
2012-04-19 392 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Frederic S. Fox, Jonathan M. Plasse, and Glen DeValerio dated 4/17/2012 re: Counsel for the Lead Plaintiffs write to request that the Court unseal the Second Amended Joint Consolidated Class Action Complaint filed March 2, 2012. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 4/19/2012) (ft) (Entered: 04/19/2012)
2012-04-30 393 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Jeff G. Hammel dated 4/26/12 re: Latham & Watkins LLP requests permission to withdraw as counsel for defendants Fannie Mae, Herbert M. Allison, Stephen B. Ashley, Louis J. Freeb, Brenda J. Gaines, Bridget A. Macaskill, Dennis R. Beresford, David H. Sidwell, Greg C. Smith, Egbert L. J. Perry, Jonathan Plutzik, Michael J. Williams, Judith C. Dunn, and Linda K. Knight. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 4/30/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(mro) (Entered: 04/30/2012)
2012-05-21 394 0 MEMORANDUM OF LAW in Opposition re: 359 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Barenbaum, Daniel) (Entered: 05/21/2012)
2012-05-21 395 0 MEMORANDUM OF LAW in Opposition re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Barenbaum, Daniel) (Entered: 05/21/2012)
2012-05-21 396 0 MEMORANDUM OF LAW in Opposition re: 357 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint. (Motion by Enrico Dallavecchia). Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Barenbaum, Daniel) (Entered: 05/21/2012)
2012-05-21 397 0 MEMORANDUM OF LAW in Opposition re: 377 MOTION to Strike Portions of Amended Complaints.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Barenbaum, Daniel) (Entered: 05/21/2012)
2012-05-21 398 0 MEMORANDUM OF LAW in Opposition re: 376 Notice (Other), Notice (Other), Notice (Other), Notice (Other), Notice (Other) FANNIE MAE'S REQUEST FOR JUDICIAL NOTICE IN SUPPORT OF ITS MOTION TO DISMISS. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Barenbaum, Daniel) (Entered: 05/21/2012)
2012-05-21 399 0 DECLARATION of Daniel E. Barenbaum in Opposition re: 377 MOTION to Strike Portions of Amended Complaints., 357 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint., 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint., 359 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K, # 12 Exhibit L, # 13 Exhibit M, # 14 Exhibit N, # 15 Exhibit O, # 16 Exhibit P, # 17 Exhibit Q, # 18 Exhibit R, # 19 Exhibit S, # 20 Exhibit T, # 21 Exhibit U, # 22 Exhibit V, # 23 Exhibit W, # 24 Exhibit X, # 25 Exhibit Y, # 26 Exhibit Z, # 27 Exhibit AA, # 28 Exhibit BB, # 29 Exhibit CC, # 30 Exhibit DD, # 31 Exhibit EE, # 32 Exhibit FF, # 33 Exhibit GG, # 34 Exhibit HH)(Barenbaum, Daniel) (Entered: 05/21/2012)
2012-04-19 400 0 SECOND AMENDED JOINT CONSOLIDATED CLASS ACTION COMPLAINT against Enrico Dallavecchia, Federal Housing Finance Agency, Federal National Mortgage Association, Daniel H. Mudd with JURY DEMAND.Document filed by Boston Retirement Board, Tennessee Consolidated Retirement System ("TCRS"), Massachusetts Pension Reserves Investment Management Board ("PRIM"). (This document was previously filed under seal in envelope #349 and unsealed on 4/19/2012.) (Received for docketing on 6/6/2012.)(mro) (Additional attachment(s) added on 6/12/2012: # 1 Second Amended Complaint part 2) (ama). (Entered: 06/06/2012) 2012-08-30 18:15:58 34a00ef5e5031799ca97fad41cd3d7587f8bfb01
400 1 Second Amended Complaint part 2
2012-06-18 401 0 REPLY MEMORANDUM OF LAW in Support re: 357 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Enrico Dallavecchia. (Levander, Andrew) (Entered: 06/18/2012)
2012-06-18 402 0 REPLY MEMORANDUM OF LAW in Support re: 353 MOTION to Dismiss / Notice of Motion to Dismiss the Second Amended Complaint.. Document filed by Stephen M. Swad. (Attachments: # 1 Certificate of Service)(Tuttle, Jonathan) (Entered: 06/18/2012)
2012-06-18 403 0 REPLY MEMORANDUM OF LAW in Support re: 355 MOTION to Dismiss.. Document filed by Robert J. Levin. (Attachments: # 1 Certificate of Service)(Rosenberg, Alejandro) (Entered: 06/18/2012)
2012-06-18 404 0 REPLY MEMORANDUM OF LAW in Support re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel Mudd, Daniel H. Mudd. (Rotenberg, Jeffrey) (Entered: 06/18/2012)
2012-06-18 405 0 DECLARATION of Jeffrey D. Rotenberg in Support re: 382 MOTION to Dismiss Joint Consolidated Amended Class Action Complaint.. Document filed by Daniel Mudd, Daniel H. Mudd. (Rotenberg, Jeffrey) (Entered: 06/18/2012)
2012-06-18 406 0 REPLY MEMORANDUM OF LAW in Support re: 380 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint.. Document filed by Daniel Mudd, Daniel H. Mudd. (Rotenberg, Jeffrey) (Entered: 06/18/2012)
2012-06-18 407 0 DECLARATION of Jeffrey D. Rotenberg in Support re: 380 MOTION to Dismiss Plaintiff Smith's Second Amended Complaint.. Document filed by Daniel Mudd, Daniel H. Mudd. (Rotenberg, Jeffrey) (Entered: 06/18/2012)
2012-06-18 408 0 REPLY MEMORANDUM OF LAW in Support re: 378 MOTION to Dismiss Plaintiff CIS's Second Amended Complaint.. Document filed by Daniel Mudd, Daniel H. Mudd. (Rotenberg, Jeffrey) (Entered: 06/18/2012)
2012-06-18 409 0 REPLY MEMORANDUM OF LAW in Support re: 359 MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 410 0 REPLY MEMORANDUM OF LAW in Support re: (88 in 1:09-cv-06102-PAC, 372 in 1:08-cv-07831-PAC) MOTION to Dismiss the CIS Second Amended Complaint.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 411 0 REPLY MEMORANDUM OF LAW in Support re: (368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint.. Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 412 0 NOTICE of Reply in Support of Fannie Mae's Request for Judicial Notice in Support of Fannie Mae's Motion to Dismiss re: (129 in 1:09-md-02013-PAC) Notice (Other), Notice (Other), Notice (Other), Notice (Other), Notice (Other). Document filed by Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 413 0 REPLY MEMORANDUM OF LAW in Support re: (97 in 1:09-cv-06102-PAC, 73 in 1:09-cv-01350-PAC, 67 in 1:10-cv-02781-PAC, 377 in 1:08-cv-07831-PAC) MOTION to Strike Portions of Amended Complaints.. Document filed by Federal National Mortgage Association Benefit Plans Committee, Federal National Mortgage Association. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 414 0 DECLARATION of Michael J. Walsh, Jr. in Support re: (88 in 1:09-cv-06102-PAC, 372 in 1:08-cv-07831-PAC) MOTION to Dismiss the CIS Second Amended Complaint., (368 in 1:08-cv-07831-PAC, 60 in 1:10-cv-02781-PAC) MOTION to Dismiss the Smith Second Amended Complaint., (359 in 1:08-cv-07831-PAC) MOTION to Dismiss the Second Amended Joint Consolidated Class Action Complaint.. Document filed by Federal National Mortgage Association. (Attachments: # 1 Exhibit 28, 44-52)Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(Walsh, Michael) (Entered: 06/18/2012)
2012-06-18 415 0 REPLY MEMORANDUM OF LAW in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Citigroup Global Markets, Inc., Wachovia Capital Markets, LLC. (Youngwood, Jonathan) (Entered: 06/18/2012)
2012-06-18 416 0 REPLY MEMORANDUM OF LAW in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Goldman Sachs & CO.. (Youngwood, Jonathan) (Entered: 06/18/2012)
2012-06-18 417 0 REPLY MEMORANDUM OF LAW in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Banc of America Securities LLC, Citigroup Global Markets, Inc., Deutsche Banc Securities Inc., Goldman Sachs & CO., J.P. Morgan Securities, Inc., JP Morgan Chase & Co., Merrill Lynch Pierce, Fenner & Smith, Inc., Morgan Stanley & Co. LLC, UBS Securities LLC. (Youngwood, Jonathan) (Entered: 06/18/2012)
2012-06-18 418 0 DECLARATION of Craig S. Waldman in Support re: 417 REPLY MEMORANDUM and in Support re: 370 MOTION to Dismiss the Second Amended Complaint.. Document filed by Banc of America Securities LLC, Citigroup Global Markets, Inc., Deutsche Banc Securities Inc., Goldman Sachs & CO., JP Morgan Chase & Co., JP Morgan Securities LLC, Merrill Lynch Pierce, Fenner & Smith, Inc., Morgan Stanley & Co. LLC, UBS Securities LLC. (Attachments: # 1 Exhibit 1)(Waldman, Craig) (Entered: 06/18/2012)
2012-07-11 419 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 7/10/12 re: Counsel for the defendants requests that the Court adjourn the oral argument in the ERISA action scheduled for 7/18/12 at 11 a.m. ENDORSEMENT: The request for an enlargement of the oral argument in the ERISA cases is DENIED. The argument will proceed as scheduled. So Ordered. (Signed by Judge Paul A. Crotty on 7/11/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(mro) (Entered: 07/12/2012)
2012-07-11 420 0 ORDER: The Court sets the following agenda for the July 18, 2012 oral argument in the above captioned cases. Beginning at 11:00 a.m., the Court will hear argument on all claims and motions relating to Fannie's subprime and Alt-A exposure, as raised through the SEC enforcement action and in the private securities actions. The Court will then hear argument on all other federal and state law claims raised in the private securities actions. The Court anticipates that all arguments relating to the various securities actions will conclude by 1:00 p.m. If additional time is needed, then argument in the securities actions will resume at 2:00 p.m. Barring any delays in the securities cases, the Court will hear argument regarding the ERISA action at 2:00 p.m. (Signed by Judge Paul A. Crotty on 7/11/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(mro) (Entered: 07/12/2012)
2012-08-06 421 0 TRANSCRIPT of Proceedings re: HEARING held on 7/18/2012 before Judge Paul A. Crotty. Court Reporter/Transcriber: Karen Gorlaski, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 8/30/2012. Redacted Transcript Deadline set for 9/10/2012. Release of Transcript Restriction set for 11/8/2012.Filed In Associated Cases: 1:08-cv-07831-PAC et al.(McGuirk, Kelly) (Entered: 08/06/2012)
2012-08-06 422 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a HEARING proceeding held on 7/18/12 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:08-cv-07831-PAC et al.(McGuirk, Kelly) (Entered: 08/06/2012)
2012-08-30 423 0 OPINION & ORDER: To summarize the Courts holdings:. Defendants motions to strike are DENIED;. FNMA, Mudd, and Dallavecchias motions to dismiss the Class Actions, Smiths, and CISs Section 10(b), Rule 10b-5 and Section 20(a) claims premised on FNMAs subprime and Alt-A exposure disclosures are DENIED;. FNMA, Mudd, and Dallavecchias motions to dismiss CISs Section 10(b), Rule 10b-5 and Section 20(a) claims premised on FNMAs core capital financials are GRANTED;. FNMA, Mudd, and Dallavecchias motions to dismiss Smiths and CISs Section 10(b), Rule 10b-5 and Section 20(a) claims premised on FNMAs risk management disclosures are DENIED; FNMA, Mudd, and Dallavecchias motions to dismiss all state law claims as against them under SLUSA are GRANTED;. Levin and Swads motions to dismiss for lack of personal jurisdiction are GRANTED; Goldmans motion to dismiss Liberty's complaint in its entirety is GRANTED; The Smith Underwriters motion to dismiss Smiths negligent misrepresentation claims is GRANTED; and. The CIS Underwriters motion to dismiss CISs state law claims against them is GRANTED. The Class Action, Smith and CISs federal securities law claims against FNMA, Mudd, and Dallavecchia regarding FNMAs subprime and Alt-A exposure disclosures and risk management controls can proceed. The Clerk of Court is directed to terminate the following motions: 08 Civ. 7831 Dkt. Nos. 353,355,357, 359,362, 365, 368,370,372, 377, 378,380, 382; 09 Civ. 6102 Dkt. Nos 83, 85, 88, 90, 93, 97, 98; 10 Civ. 2781 Dkt. Nos. 57, 60, 61, 67, 68; and 10 Civ. 9184 Dkt. No. 17. As all of Liberty's claims have been dismissed, the Clerk of Court is directed to close the 10 Civ. 9184 case. The Clerk of Court is further directed to dismiss the following defendants from the 09 Civ. 6102 action: Levin, Swad, Wachovia Capital Markets, LLC and Citigroup Global Markets, Inc. The Clerk of Court is directed to dismiss the following defendants from the 10 Civ. 2781 action: Bane of America Securities LLC, Citigroup Global Markets Inc., Deutsche Bank Securities Inc., Goldman, JPMorgan Securities LLC (f/k/a JPMorgan Securities, Inc.), JPMorgan Chase & Co., Merrill Lynch, Pierce, Fenner & Smith Inc., Morgan Stanley & Co. LLC (f/k/a Morgan Stanley & Co. Incorporated), and UBS Securities LLC. (Signed by Judge Paul A. Crotty on 8/30/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC, 1:10-cv-09184-PAC(pl) Modified on 8/30/2012 (pl). (Entered: 08/30/2012) 2012-08-30 16:19:48 af50f998ddf9654762bb87109cec73147fc15c8b
2012-09-11 424 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 9/10/2012 re: Fannie Mae seeks a 45-day enlargement of time to October 29, 2012 to file its answers to the complaints. Defendants Mudd and Dallavecchia seek an additional week, to November 5, 2012, to file their answers to the Complaints. ENDORSEMENT: So Ordered. (Signed by Judge Paul A. Crotty on 9/11/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(jfe) (Entered: 09/11/2012)
2012-10-09 425 0 TRANSCRIPT of Proceedings re: Hearing held on 7/18/2012 before Judge Paul A. Crotty. Court Reporter/Transcriber: Karen Gorlaski, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 11/2/2012. Redacted Transcript Deadline set for 11/13/2012. Release of Transcript Restriction set for 1/10/2013.Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 10/09/2012)
2012-10-09 426 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Hearing proceeding held on 7/18/12 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:09-md-02013-PAC et al.(McGuirk, Kelly) (Entered: 10/09/2012)
2012-10-09 427 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Frederic S. Fox, Louis Gottlieb and Glan DeValerio dated October 9, 2012 re: We request that the Court grant Lead Plaintiffs leave to appear at the October 10th S.E.C Action hearing and be heard.. ENDORSEMENT: Co-Lead plaintiffs may attend the conference as observers only. So Ordered. (Signed by Judge Paul A. Crotty on October 9, 2012) (mov) (Entered: 10/09/2012)
2012-10-10 428 0 Letter addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 10/5/12 re: Counsel for defendant Fannie Mae proposes that the parties begin in the process of meeting and conferring regarding a revised proposed case management plan and attempt to submit one to the Court expeditiously. (mro) (Entered: 10/10/2012)
2012-10-10 429 0 ORDER ON MOTIONS FOR RECONSIDERATION: Accordingly, CIS and Smith's motions for reconsideration are DENIED. The Clerk of Court is directed to terminate the following motions: 09 MD 2013 Dkt. No 156; 09 Civ. 6102 Ok!. No 128; and 10 Civ.2781 Dkt. No 88. (Signed by Judge Paul A. Crotty on 10/10/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC, 1:10-cv-02781-PAC(cd) (Entered: 10/11/2012)
2012-10-23 430 0 ORDER: In light of the Court's August 30, 2012 order in In re Fannie Mae 2008 Sec. Litig.,No. 08 Civ. 7831 (PAC), the Court's October 22, 2012 order in In re Fannie Mae 2008 ERISA Litig., No. 09 Civ. 1350 (PAC), the Plaintiffs and Defendants in the ERISA and Securities Litigations are directed to confer to schedule a Civil Case Management Plan. The plan should be submitted by Friday November 2, 2012. If there are any disputes, the parties are to highlight the disputes and submit to the Court by Monday, November 5, 2012. The Court will hold a conference on Wednesday, November 7, 2012 at 3:15 PM in Courtroom 20C to resolve any remaining disputes. ( Status Conference set for 11/7/2012 at 03:15 PM in Courtroom 20C, 500 Pearl Street, New York, NY 10007 before Judge Paul A. Crotty.) (Signed by Judge Paul A. Crotty on 10/23/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(js) (Entered: 10/23/2012) 2012-10-23 15:03:23 9b1b1fbea36017eeb168288e0d4d46a43167b08f
2012-10-29 431 0 ANSWER to 400 Amended Complaint,, with JURY DEMAND. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 10/29/2012)
2012-10-29 432 0 ANSWER to 348 Amended Complaint, with JURY DEMAND. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 10/29/2012)
2012-11-05 433 0 ANSWER to 400 Amended Complaint,, with JURY DEMAND. Document filed by Enrico Dallavecchia.(Gonzalez, Hector) (Entered: 11/05/2012)
2012-11-05 434 0 ANSWER to 400 Amended Complaint,, with JURY DEMAND. Document filed by Daniel H. Mudd.(Rotenberg, Jeffrey) (Entered: 11/05/2012)
2012-11-05 435 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh dated 11/2/2012 re: Request to extend time to file the proposed case management plan. ENDORSEMENT: The requested extension is granted, & the November 7 conference is adjourned to November 14, 2012 at 4:15 PM. (Status Conference reset for 11/14/2012 at 04:15 PM before Judge Paul A. Crotty.) (Signed by Judge Paul A. Crotty on 11/5/2012) (cd) (Entered: 11/07/2012)
2012-11-12 436 0 MOTION for David J. Stanoch to Appear Pro Hac Vice. Filing fee $ 200.00, receipt number 0208-7969114. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit - Pennsylvania Certificate of Good Standing, # 2 Exhibit - New Jersey Certificate of Good Standing, # 3 Text of Proposed Order)(Stanoch, David) (Entered: 11/12/2012)
2012-11-13 437 0 CIVIL CASE MANAGEMENT PLAN AND SCHEDULING ORDER: The parties in the Consolidated Securities Action and the ERISA Action do not consent to conducting all further proceedings before a Magistrate Judge, including motions and trial. 28 U.S.C. § 636(c).The Consolidated Securities Action and the ERISA Action are to be tried to a jury. Amended pleadings in the Consolidated Securities Action or the ERISA Action may not be filed and additional parties may not be joined except with leave of the Court. Motions due by 2/13/2015. Responses due by 4/13/2015 Replies due by 5/29/2015. Fact Discovery due by 7/1/2014. Expert Discovery due by 12/2/2014. Case Management Conference set for 4/10/2013 at 04:00 PM before Judge Paul A. Crotty. (Signed by Judge Paul A. Crotty on 11/13/2012) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(js) Modified on 11/13/2012 (js). (Entered: 11/13/2012)
2012-12-12 438 0 ORDER granting 436 Motion for David J. Stanoch to Appear Pro Hac Vice (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 12/12/2012)
2013-01-17 439 0 NOTICE OF WITHDRAWAL OF APPEARANCE: David P. Staubitz, hereby respectfully withdraw my appearance as counsel for defendant Enrico Dallavecchia and request removal from service of any further pleadings in connection with the above captioned matter. The undersigned is no longer employed by or otherwise affiliated with Deehert LLP., counsel of record for defendant. (Signed by Judge Paul A. Crotty on 1/17/2013) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(js) (Entered: 01/18/2013)
2013-01-17 440 0 NOTICE OF WITHDRAWAL OF APPEARANCE: David P. Staubitz, hereby respectfully withdraw my appearance as counsel for defendant Enrico Dallavecchia and request removal from service of any further pleadings in connection with the above captioned matter. (Signed by Judge Paul A. Crotty on 1/17/2013) (js) (Entered: 01/18/2013)
2013-01-23 441 0 SUPPLEMENTAL PROTECTIVE ORDER CONCERNING THE SEC'S PRODUCTION OF CERTAIN DOCUMENTS FROM THE CUSTODY OR CONTROL OF FANNIE MAE THAT FHFA CONTENDS ARE SUBJECT TO THE EXAMINATION PRIVILEGE... regarding procedures to be followed that shall govern the handling of confidential material... (Signed by Judge Paul A. Crotty on 1/23/2013) (rjm) (Entered: 01/23/2013)
2013-04-18 442 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 4/17/2013 re: We represent defendant Fannie Mae and we write on behalf of all parties to the above captioned actions to request an adjournment of the status conference currently scheduled for 5:00 p.m. on April 24, 2013. At this time, the parties do not have any disputes to report to the Court. For the Court 's convenience, brief summaries of the status of each of the matters is set forth below. ENDORSEMENT: The conference is adjourned " sine die," The parties are directed to submit a status report by August 1, 2013. SO ORDERED. (Signed by Judge Paul A. Crotty on 4/18/2013) (rsh) (Entered: 04/18/2013)
2013-06-14 443 0 NOTICE of Withdrawal of Appearance of Irina Kobylevsky. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Kobylevsky, Irina) (Entered: 06/14/2013)
2013-06-18 444 0 MEMO ENDORSED on WITHDRAWAL OF APPEARANCE on re: 443 Notice (Other). PLEASE TAKE NOTICE that the undersigned hereby respectfully withdraws her appearance in the above captioned matter. Ms. Kobylevsky is leaving the employment of Kaplan Fox & Kilsheimer LLP. The firm of Kaplan Foz Kilsheimer LLP will continue to serve as counsel for Co-Lead Plaintiffs. SO ORDERED. (Signed by Judge Paul A. Crotty on 6/18/2013) (rsh) (Entered: 06/18/2013)
2013-07-01 445 0 ENDORSED LETTER: addressed to Judge Paul A. Crotty from Michael J. Walsh Jr. dated 6/24/2013 re: On behalf of defendant Fannie Mae, we are writing to seek the Court's assistance in resolving an ongoing discovery dispute with lead Plaintiffs. Fannie Mae has requested that Lead Plaintiffs produce information and documents sufficient to identify the four confidential witnesses ("Confidential Witnesses l-4") cited in Lead Plaintiffs' Second Amended Joint Consolidated Complaint ("Second Amended Complaint"). Despite the recent case law in this District holding otherwise, Lead Plaintiffs contend that the identities of Confidential Witnesses 14 are protected from discovery. We have met and conferred multiple times with Lead Plaintiffs and exchanged correspondence, which is attached for the Court's convenience as Exhibit A. Nevertheless, we remain unable to resolve this dispute. Fannie Mae therefore respectfully requests that the Court schedule a pre-motion conference to attempt to resolve this issue or grant leave for Fannie Mae to file a motion to compel In the alternative, given the strength of the case law supporting Fannie Mae's position and in an effort to conserve the resources of the Court and the parties, Fannie Mae would consent if the Court asked the parties to rest on their letter submissions and agree to forego both the pre-motion conference and any formal briefing. ENDORSEMENT: The Court believes it has sufficient information to rule on Fannie Mae's letter request of June 24, 2013; and co-lead plaintiff's counsel response of June 27, 2013. There is no need for s pre-motion conference and the Court waives the requirement. If either party wishes to submit further briefing-although the Court perceives no need for it-that party (or both parties) may do so, but any submissions must be made by the close of business on Monday, July 8, 2013 and the submissions may not exceed 5 pages. So Ordered. (Signed by Judge Paul A. Crotty on 7/1/2013) (js) Modified on 7/2/2013 (js). (Entered: 07/02/2013) 2013-07-02 10:16:06 0ea34f4b424555d546743b8c79cd81eca4c668e4
2013-07-01 446 0 LETTER addressed to Judge Paul A. Crotty from Donald R. Hall, Louis Gottlieb and Daniel E. Barenbaum dated 6/27/2013 re: Counsel for Co-Lead Plaintiffs ("Plaintiffs") in the above-referenced litigation. We write in response to defendant Fannie Mae's ("Fannie") June 24, 2013 pre-motion conference letter requesting that lead Plaintiffs be compelled to disclose the identities of the four confidential witnesses cited in their amended complaint. Plaintiffs respectfully request that the Court deny Fannie's request to compel Plaintiffs to disclose confidential-witness identities at this time(js) (Entered: 07/02/2013)
2013-07-12 447 0 ORDER: Upon review of the parties letters of June 24, 2013 and June 27, 2013 and the Court's order of July 1, 2013 Plaintiffs' objections to disclosing the identities of the four confidential witnesses cited in their second amended complaint are overruled. Plaintiffs are directed to produce information and documents sufficient to identify those four confidential witnesses. So Ordered (Signed by Judge Paul A. Crotty on 7/12/2013) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(js) (Entered: 07/12/2013)
2013-08-05 448 0 ENDORSED LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 8/1/2013 re: Counsel for defendant Fannue Mac and all defendants except Daniel Mudd. We write on behalf of all parties to provide the status report. At this time none of the parties to any of the actions believe a status conference is necessary. ENDORSEMENT: The parties are directed to submit another status report in 90 days. So Ordered. (Signed by Judge Paul A. Crotty on 8/5/2013) (rsh) (Entered: 08/05/2013)
2013-09-20 449 0 NOTICE OF APPEARANCE by Wendy Helene Schwartz on behalf of Federal National Mortgage Association. (Schwartz, Wendy) (Entered: 09/20/2013)
2013-10-10 450 0 NOTICE OF APPEARANCE by Scott Kurtis McCulloch on behalf of Federal National Mortgage Association. (McCulloch, Scott) (Entered: 10/10/2013)
2013-10-23 451 0 LETTER addressed to Judge Paul A. Crotty from Frederic S. Fox dated 10/23/2013 re: requesting a pre-motion conference seeking permission to file a motion for Rule 54(b) certification of the dismissed Securities Act claims. Document filed by Tennessee Consolidated Retirement System ("TCRS").(Fox, Frederic) (Entered: 10/23/2013) 2013-10-23 18:12:06 022282e9e973787c4ad72c152569f874d539f920
2013-10-28 452 0 LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 10/28/2013 re: opposition to plaintiffs' 10/23/2013 letter request. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 10/28/2013)
2013-10-28 453 0 LETTER addressed to Judge Paul A. Crotty from Jonathan K. Youngwood dated October 28, 2013 re: Letter response to Plaintiffs request that the Court enter a final judgment on the dismissal of Plaintiffs claims under Sections 12(a)(2) and 15 of the 1933 Securities Act.. Document filed by Banc of America Securities LLC, Citigroup Global Markets, Inc., Deutsche Banc Securities Inc., Goldman Sachs & CO., JP Morgan Chase & Co., Morgan Stanley & Co. LLC, UBS Securities LLC, Wachovia Capital Markets, LLC.(Youngwood, Jonathan) (Entered: 10/28/2013)
2013-11-01 454 0 LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 11/01/2013 re: Litigation Status Report. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 11/01/2013)
2013-11-04 455 0 MEMO ENDORSEMENT on re: (171 in 1:09-md-02013-PAC, 454 in 1:08-cv-07831-PAC, 122 in 1:09-cv-01350-PAC) Letter, filed by Federal National Mortgage Association. If the Court agrees that no status conference is necessary at this time, the parties can submit another status report within 90 days of the Court's endorsement of this letter if the Court so orders. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 11/4/2013) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(rsh) (Entered: 11/04/2013)
2013-11-15 456 0 E-mail Notification: Mr. Ovalles,My firm is lead counsel for lead plaintiff, Tennessee Consolidated Retirement System, in the above referenced matter. We are scheduled to file a motion for entry of final judgment on the dismissedSecurities Act claims on Monday, November 18, 2013. I am writing to inform Judge Paul A. Crotty that upon further discussion lead plaintiffs' counsel havedecided not to file the motion. Please advise if there is anything further that needs to be done regarding this matter - Wilfred Gomes. (mov) (Entered: 11/25/2013)
2013-12-05 457 0 TRANSCRIPT of Proceedings re: Proceeding held on 11/6/2013 before Judge Paul A. Crotty. Court Reporter/Transcriber: Carole Ludwig, (212) 420-0771. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 12/30/2013. Redacted Transcript Deadline set for 1/9/2014. Release of Transcript Restriction set for 3/10/2014.(ca) (Entered: 12/05/2013)
2013-12-05 458 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Proceeding proceeding held on 11/06/2013 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(ca) (Entered: 12/05/2013)
2014-02-03 459 0 LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated February 3, 2014 re: Litigation Status Report. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 02/03/2014)
2014-02-21 460 0 NOTICE OF APPEARANCE by Diane Nicole Princ on behalf of Enrico Dallavecchia. (Princ, Diane) (Entered: 02/21/2014)
2014-02-21 461 0 NOTICE OF APPEARANCE by Amanda Rios on behalf of Enrico Dallavecchia. (Rios, Amanda) (Entered: 02/21/2014)
2014-02-21 462 0 NOTICE OF APPEARANCE by Daphne T Ha on behalf of Enrico Dallavecchia. (Ha, Daphne) (Entered: 02/21/2014)
2014-02-25 463 0 MOTION for Catherine Vera Wigglesworth to Appear Pro Hac Vice. Filing fee $ 200.00, receipt number 0208-9391723. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Text of Proposed Order)(Wigglesworth, Catherine) (Entered: 02/25/2014)
2014-02-26 464 0 ORDER granting 463 Motion for Catherine Vera Wigglesworth to Appear Pro Hac Vice (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 02/26/2014)
2014-03-10 465 0 NOTICE OF APPEARANCE by Adam James van Alstyne on behalf of Daniel H. Mudd. (van Alstyne, Adam) (Entered: 03/10/2014)
2014-03-13 466 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Katherine Marie Ruffing to Appear Pro Hac Vice. Filing fee $ 200.00, receipt number 0208-9452572. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Daniel H. Mudd. (Attachments: # 1 Exhibit Certificate of Good Standing (DC), # 2 Exhibit Certificate of Good Standing (VA), # 3 Text of Proposed Order)(Ruffing, Katherine) Modified on 3/13/2014 (bcu). (Entered: 03/13/2014)
2014-03-13 467 0 NOTICE OF APPEARANCE by Rebecca Sarah Kahan on behalf of Enrico Dallavecchia. (Kahan, Rebecca) (Entered: 03/13/2014)
2014-03-19 468 0 AMENDED MOTION for Katherine Marie Ruffing to Appear Pro Hac Vice. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Daniel H. Mudd. (Attachments: # 1 Exhibit Certificate of Good Standing (DC), # 2 Exhibit Certificate of Good Standing (VA), # 3 Text of Proposed Order)(Ruffing, Katherine) (Entered: 03/19/2014)
2014-03-20 469 0 ORDER granting 468 Motion for Katherine Marie Ruffing to Appear Pro Hac Vice (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 03/20/2014)
2014-03-26 470 0 LETTER addressed to Judge Paul A. Crotty from Donald R. Hall dated March 26, 2014 re: request that the Court intervene in a discovery dispute between Lead Plaintiffs and Defendants. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H)(Hall, Donald) (Entered: 03/26/2014)
2014-03-27 471 0 MOTION for Victor S. Elias to Appear Pro Hac Vice. Filing fee $ 200.00, receipt number 0208-9504015. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"). (Attachments: # 1 Text of Proposed Order, # 2 Good Standing Certificate)(Elias, Victor) (Entered: 03/27/2014)
2014-03-27 472 0 ORDER granting 471 Motion for Victor S. Elias to Appear Pro Hac Vice (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 03/27/2014)
2014-03-28 473 0 MEMO ENDORSEMENT on (173 in 1:09-md-02013-PAC), (459 in 1:08-cv-07831-PAC), (124 in 1:09-cv-01350-PAC) Letter, filed by Federal National Mortgage Association. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 3/28/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(ft) Modified on 3/28/2014 (ft). (Entered: 03/28/2014)
2014-03-31 474 0 FILING ERROR - WRONG EVENT TYPE SELECTED FROM MENU - LETTER MOTION for Conference re: 470 Letter,, addressed to Judge Paul A. Crotty from James Anklam dated 03/31/2014. Document filed by Daniel H. Mudd. (Attachments: # 1 Exhibit)(Anklam, James) Modified on 4/1/2014 (db). (Entered: 03/31/2014)
2014-03-31 475 0 NOTICE OF APPEARANCE by Damien Harris Weinstein on behalf of Tennessee Consolidated Retirement System ("TCRS"). (Weinstein, Damien) (Entered: 03/31/2014)
2014-03-31 476 0 LETTER addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 03/31/2014 re: Lead Plaintiffs' March 26, 2014 Letter. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 03/31/2014)
2014-04-01 477 0 LETTER addressed to Judge Paul A. Crotty from James E. Anklam dated March 31, 2014 re: 3/31/2014 Letter in response to Plaintiffs' letter of March 26, 2014: Document # 470 . Document filed by Enrico Dallavecchia, Daniel H. Mudd. (Attachments: # 1 Exhibit "A")(Anklam, James) (Entered: 04/01/2014)
2014-04-04 478 0 LETTER addressed to Judge Paul A. Crotty from Andrew J. Mytelka dated April 4, 2014 re: Lead Plaintiffs' March 26, 2014 Letter. Document filed by Comprehensive Investment Services, Inc..(Mytelka, Andrew) (Entered: 04/04/2014) 2014-04-04 17:54:29 c943ef647f3b475a0cbb5a396602a914981183da
2014-04-08 479 0 ORDER re: (470 in 1:08-cv-07831-PAC) Letter, filed by Massachusetts Pension Reserves Investment Management Board ("PRIM"), Boston Retirement Board, Tennessee Consolidated Retirement System ("TCRS"), (477 in 1:08-cv-07831-PAC) Letter, filed by Daniel H. Mudd, Enrico Dallavecchia: After reviewing and considering Defendants' objections, see ECF No. 477, the Court overrules them and orders Defendants to produce the transcripts and exhibits of all depositions in the SEC action. The parties should adopt a confidentiality order agreeing to be bound by the terms of the March 19, 2013 Amended Confidentiality Order in the SEC Action. (Signed by Judge Paul A. Crotty on 4/8/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC (tn) (Entered: 04/08/2014)
2014-04-16 480 0 NOTICE OF APPEARANCE by Thomas A. Dubbs on behalf of Boston Retirement Board. (Dubbs, Thomas) (Entered: 04/16/2014)
2014-04-16 481 0 LETTER addressed to Judge Paul A. Crotty from Thomas A. Dubbs dated 04/16/2014 re: submission of Stipulation and Order Regarding Discovery and Proposed Fourth Amended Civil Case Management Plan and Scheduling Order. Document filed by Boston Retirement Board. (Attachments: # 1 Stipulation and Proposed Order Regarding Discovery, # 2 Proposed Fourth Amended Case Management Plan and Scheduling Order)(Dubbs, Thomas) (Entered: 04/16/2014)
2014-04-17 482 0 NOTICE OF APPEARANCE by Louis Gottlieb on behalf of Boston Retirement Board. (Gottlieb, Louis) (Entered: 04/17/2014)
2014-04-17 483 0 NOTICE OF APPEARANCE by Thomas Gregory Hoffman, Jr on behalf of Boston Retirement Board. (Hoffman, Thomas) (Entered: 04/17/2014)
2014-04-17 484 0 FOURTH AMENDED CIVIL CASE MANAGEMENT PLAN AND SCHEDULING ORDER: The parties in the Actions do not consent to conducting all further proceedings before a Magistrate Judge, including motions and trial. 28 U.S. C. § 636(c). The Actions are to be tried to a jury. Fact Discovery due by 9/29/2014. Expert Discovery due by 3/2/2015. Motions due by 5/14/2015. Responses due by 7/10/2015. Replies due by 8/27/2015. Case Management Conference set for 9/23/2014 at 04:15 PM in Courtroom 11D, 500 Pearl Street, New York, NY 10007 before Judge Paul A. Crotty. (Signed by Judge Paul A. Crotty on 4/17/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(ft) (Entered: 04/17/2014)
2014-04-17 485 0 STIPULATION AND ORDER REGARDING DISCOVERY: All deadlines set forth in the Third Amended Civil Case Management Plan and Scheduling Order issued by the Court on November 13, 2012, shall be extended by approximately 90 days pursuant to the proposed Fourth Amended Civil Case Management Plan and Scheduling Order submitted herewith. This Stipulation may be executed in any number of counterparts, each of which shall constitute an original, but all of which together shall constitute but one and the same document. (Signed by Judge Paul A. Crotty on 4/17/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(ft) (Entered: 04/17/2014)
2014-04-21 486 0 LETTER addressed to Judge Paul A. Crotty from Thomas A. Dubbs dated 04/21/2014 re: Submission of proposed Supplemental Pretrial Protective Order pursuant to order of 4/8/2014. Document filed by Boston Retirement Board. (Attachments: # 1 Proposed Supplemental Pretrial Protective Order Concerning Certain Deposition Transcripts and Exhibits)(Dubbs, Thomas) (Entered: 04/21/2014)
2014-04-22 487 0 MEMO ENDORSEMENT on re: (179 in 1:09-md-02013-PAC) Notice (Other) filed by Comprehensive Investment Services, Inc. ENDORSEMENT: SO ORDERED. Attorney Steven Carl Windsor terminated. (Signed by Judge Paul A. Crotty on 4/22/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-06102-PAC(tn) (Entered: 04/22/2014)
2014-04-22 488 0 SUPPLEMENTAL PRETRIAL PROTECTIVE ORDER CONCERNING CERTAIN DEPOSITION TRANSCRIPTS AND EXHIBITS...regarding procedures to be followed that shall govern the handling of confidential material... (Signed by Judge Paul A. Crotty on 4/22/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC (tn) (Entered: 04/22/2014)
2014-04-24 489 0 MOTION for Emily Shea to Appear Pro Hac Vice. Filing fee $ 200.00, receipt number 0208-9599079. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Enrico Dallavecchia. (Attachments: # 1 Exhibit A District of Columbia Certificate of Good Standing, # 2 Exhibit B- Maryland Certificate of Good Standing, # 3 Text of Proposed Order)(Shea, Emily) (Entered: 04/24/2014)
2014-04-24 490 0 ORDER granting 489 Motion for Emily Shea to Appear Pro Hac Vice (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 04/24/2014)
2014-05-01 491 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Kelly-Ann F. Clarke to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number 0208-9626825. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit Certification of Kelly-Ann Clark, # 2 Exhibit Certificate of Good Standing, # 3 Text of Proposed Order)(Frisch, Andrew) Modified on 5/1/2014 (wb). (Entered: 05/01/2014)
2014-05-01 492 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for David J. Booth to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number 0208-9626936. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit Certification of David J. Booth, # 2 Exhibit Certificate of Good Standing, # 3 Text of Proposed Order)(Frisch, Andrew) Modified on 5/1/2014 (wb). (Entered: 05/01/2014)
2014-05-01 493 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Roni G.S. Mihaly to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number 0208-9626965. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit Certification of Roni Mihaly, # 2 Exhibit Certificate of Good Standing, # 3 Exhibit)(Frisch, Andrew) Modified on 5/1/2014 (wb). (Entered: 05/01/2014)
2014-05-01 494 0 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION for Janet L. Rushing to Appear Pro Hac Vice . Filing fee $ 200.00, receipt number 0208-9626999. Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Exhibit Certification of Janet L. Rushing, # 2 Exhibit Certificate of Good Standing, # 3 Text of Proposed Order)(Frisch, Andrew) Modified on 5/1/2014 (wb). (Entered: 05/01/2014)
2014-05-15 495 0 MOTION for Roni G.S. Mihaly to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Certificate of Good Standing, # 2 Text of Proposed Order)(Frisch, Andrew) (Entered: 05/15/2014)
2014-05-15 496 0 MOTION for Kelly-Ann F. Clarke to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Certificate of Good Standing, # 2 Text of Proposed Order)(Frisch, Andrew) (Entered: 05/15/2014)
2014-05-15 497 0 MOTION for David J. Booth to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Certificate of Good Standing, # 2 Text of Proposed Order)(Frisch, Andrew) (Entered: 05/15/2014)
2014-05-15 498 0 MOTION for Janet W. Rushing to Appear Pro Hac Vice . Motion and supporting papers to be reviewed by Clerk's Office staff. Document filed by Comprehensive Investment Services, Inc.. (Attachments: # 1 Certificate of Good Standing, # 2 Text of Proposed Order)(Frisch, Andrew) (Entered: 05/15/2014)
2014-05-16 499 0 ORDER granting 495 Motion for Roni G.S. Mihaly to Appear Pro Hac Vice. Roni G.S. Mihaly is directed to file a notice of appearance forthwith! (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 05/16/2014)
2014-05-16 500 0 ORDER granting 496 Motion for Kelly-Ann F. Clarke to Appear Pro Hac Vice. Kelly-Ann F. Clarke is directed to file a notice of appearance forthwith! (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 05/16/2014)
2014-05-16 501 0 ORDER granting 497 Motion for David J. Booth to Appear Pro Hac Vice. David J. Booth is directed to file a notice of appearance forthwith! (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 05/16/2014)
2014-05-16 502 0 ORDER granting 498 Motion for Janet W. Rushing to Appear Pro Hac Vice. Janet W. Rushing is directed to file a notice of appearance forthwith! (HEREBY ORDERED by Judge Paul A. Crotty)(Text Only Order) (Crotty, Paul) (Entered: 05/16/2014)
2014-05-21 503 0 NOTICE OF APPEARANCE by Janet LaRene Wells Rushing on behalf of Comprehensive Investment Services, Inc.. (Rushing, Janet) (Entered: 05/21/2014)
2014-05-22 504 0 NOTICE OF APPEARANCE by David John Booth on behalf of Comprehensive Investment Services, Inc.. (Booth, David) (Entered: 05/22/2014)
2014-05-22 505 0 NOTICE OF APPEARANCE by Kelly-Ann Fayette Clarke on behalf of Comprehensive Investment Services, Inc.. (Clarke, Kelly-Ann) (Entered: 05/22/2014)
2014-06-16 506 0 LETTER addressed to Judge Paul A. Crotty from Charles R. Cohen, Esq. dated June 16, 2014 re: ECF notices. Document filed by Daniel Kramer.(Cohen, Charles) (Entered: 06/16/2014)
2014-06-17 507 0 MEMO ENDORSEMENT on re: (506 in 1:08-cv-07831-PAC) Letter filed by Daniel Kramer. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 6/17/2014) Filed In Associated Cases: 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(tn) (Entered: 06/17/2014)
2014-06-26 508 0 STATUS REPORT. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 06/26/2014)
2014-06-30 509 0 MEMO ENDORSEMENT on re: (183 in 1:09-md-02013-PAC, 508 in 1:08-cv-07831-PAC) Status Report filed by Federal National Mortgage Association. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 6/30/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(tn) (Entered: 06/30/2014) 2014-06-30 13:49:28 e3f7ceb955ea176e46c4378f89406e57c13a5a28
2014-06-30 510 0 NOTICE OF CHANGE OF ADDRESS by Matthew P. Siben on behalf of Edward Smith. New Address: Dietrich Siben Thorpe LLP, 500 Australian Way South, Suite 637, West Palm Beach, Florida, U.S. 33401, (561) 820-4883. Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC(Siben, Matthew) (Entered: 06/30/2014)
2014-07-07 511 0 NOTICE of Withdrawal of Appearance of Donald Grayson Yeargin. Document filed by Enrico Dallavecchia. (Yeargin, Donald) (Entered: 07/07/2014)
2014-07-08 512 0 LETTER MOTION for Extension of Time for Submission of Proposed Class Certification Briefing Schedule addressed to Judge Paul A. Crotty from Michael J. Walsh, Jr. dated 07/08/2014. Document filed by Federal National Mortgage Association.(Walsh, Michael) (Entered: 07/08/2014)
2014-07-09 513 0 ORDER granting 512 Letter Motion for Extension of Time: SO ORDERED. (Signed by Judge Paul A. Crotty on 7/9/2014) (tn) (Entered: 07/09/2014)
2014-07-29 514 0 MOTION for Diane Princ to Withdraw as Attorney . Document filed by Enrico Dallavecchia. (Attachments: # 1 Text of Proposed Order)(Kahan, Rebecca) (Entered: 07/29/2014)
2014-07-30 515 0 ORDER GRANTING MOTION FOR WITHDRAWL OF DIANE PRINCAS COUNSEL FOR DEFENDANT ENRICO DALLAVECCHIA granting (514) Motion to Withdraw as Attorney: the motion for withdrawal of Diane Princ as counsel for defendant Enrico Dallavecchia is hereby GRANTED. The Clerk of this Court is hereby directed to remove Diane Princ as counsel of record for defendant Enrico Dallavecchia. Attorney Diane Nicole Princ terminated in case 1:08-cv-07831-PAC. (Signed by Judge Paul A. Crotty on 7/30/2014) ***As per chambers, Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC (tn) (Entered: 07/30/2014)
2014-07-30 516 0 MEMO ENDORSEMENT on re: 511 Notice (Other) filed by Enrico Dallavecchia. ENDORSEMENT: SO ORDERED. Attorney Donald Grayson Yeargin terminated. (Signed by Judge Paul A. Crotty on 7/30/2014) (tn) (Entered: 07/30/2014)
2014-08-15 517 0 LETTER addressed to Judge Paul A. Crotty from Mark K. Gyandoh and Robert I. Harwood dated August 15, 2014 re: Extension Request. Document filed by Stephen B. Ashley, Dennis R. Beresford, Louis J. Freeh, Brenda J. Gaines, David Hisey, Bridget A. Macaskill, Daniel H. Mudd. (Attachments: # 1 Text of Proposed Order)(Gyandoh, Mark) (Entered: 08/15/2014)
2014-08-28 518 0 ORDER GRANTING STIPULATION TO MODIFY SCHEDULING ORDER: Upon consideration of the Parties' stipulation to modify the Fourth Amended Civil Case Management Plan and Scheduling Order ("Fourth Scheduling Order") entered April 17, 2014 (Dkt. No. 127) and for good cause appearing therefrom, IT IS HEREBY ORDERED that the stipulation is GRANTED. IT IS FURTHER ORDERED THAT the Fourth Amended Civil Case Management Plan and Scheduling Order (Dkt. No. 127) shall be modified as follows: All fact discovery to be completed no later than January 30, 2015. All expert discovery to be completed no later than July 3, 2015. Deadline by which to file motions for summary judgment and Daubert motions, due by September 14, 2015. Deadline by which to file opposition to motions for summary judgment and Daubert motions due by November 10, 2015. Deadline by which to file replies in support of motions for summary judgment and Daubert motions, due by December 28, 2015, and as further set forth herein. (Expert Discovery due by 7/3/2015, Fact Discovery due by 1/30/2015, Motions due by 9/14/2015, Responses due by 11/10/2015, Replies due by 12/28/2015.) (Signed by Judge Paul A. Crotty on 8/28/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(ja) Modified on 8/29/2014 (ja). (Entered: 08/28/2014)
2014-09-29 519 0 STATUS REPORT. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 09/29/2014)
2014-10-01 520 0 MEMO ENDORSEMENT on re: (188 in 1:09-md-02013-PAC, 135 in 1:09-cv-01350-PAC, 519 in 1:08-cv-07831-PAC) Status Report filed by Federal National Mortgage Association. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 10/1/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(lmb) (Entered: 10/01/2014)
2014-10-24 521 0 MOTION for Settlement Preliminary Approval of Class Action Settlement and related relief. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Text of Proposed Order)(Dubbs, Thomas) (Entered: 10/24/2014) 2014-10-24 17:14:56 1f458c5433d030d747c31cd1dc6e1fb6e9822586
521 1 Text of Proposed Order 2014-10-24 17:15:26 ecaa795ec72fa955bce5ca6e3dee4bc256cd1b16
2014-10-24 522 0 DECLARATION of Glen Devalerio, Thomas A. Dubbs and Frederic S. Fox in Support re: 521 MOTION for Settlement Preliminary Approval of Class Action Settlement and related relief.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5)(Dubbs, Thomas) (Entered: 10/24/2014)
2014-10-24 523 0 MEMORANDUM OF LAW in Support re: 521 MOTION for Settlement Preliminary Approval of Class Action Settlement and related relief. . Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Dubbs, Thomas) (Entered: 10/24/2014) 2014-10-24 17:18:11 990054e83d18b2d485e0426b74d86e2fd7491edc
2014-11-04 524 0 NOTICE OF APPEARANCE by Nicole M. Zeiss on behalf of Boston Retirement Board. (Zeiss, Nicole) (Entered: 11/04/2014)
2014-11-04 525 0 NOTICE of CAFA Compliance. Document filed by Federal National Mortgage Association. (Walsh, Michael) (Entered: 11/04/2014)
2014-11-04 526 0 CERTIFICATE of Counsel by Michael John Walsh on behalf of Federal National Mortgage Association. Re: 525 Notice (Other). (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Walsh, Michael) (Entered: 11/04/2014)
2014-11-12 527 0 ORDER GRANTING PRELIMINARY APPROVAL OF CLASS ACTION SETTLEMENT, APPROVING FORM AND MANNER OF NOTICE, AND SETTING DATE FOR HEARING ON FINAL APPROVAL OF SETTLEMENT: granting 521 Motion for Settlement. IT IS HEREBY ORDERED, this 12th day of November, 2014 that: 1. The Court preliminarily finds the Settlement set forth in the Stipulation to be fair, reasonable and adequate, subject to further consideration at the Settlement Hearing described below. 2. Pursuant to Rules 23(a) and (b)(3) of the Federal Rules of Civil Procedure, the Court hereby certifies, for the purposes of the Settlement only, the Common Stock Class consisting of: all Persons who, during the Class Period, either on the secondary market or through an original offering pursuant to a registration statement or prospectus: (a) purchased or acquired Fannie Mae common stock and/or call options and/or (b) sold Fannie Mae common stock put options, and were thereby damaged as further set forth in this order. 7. A hearing (the "Settlement Hearing") pursuant to Rule 23(e) of the Federal Rules of Civil Procedure is hereby scheduled to be held before the Court on March 3, 2015, at 3 p.m. in Courtroom 14-C, 500 Pearl St. for the following purposes as further set forth in this order. 27. The Court retains exclusive jurisdiction over the Action to consider all further matters arising out of or connected with the Settlement. (Signed by Judge Paul A. Crotty on 11/12/2014) (lmb) (Entered: 11/12/2014) 2014-11-12 18:07:51 48a187d2351a0b893db2f02b7790b07df358978c
2014-12-04 528 0 MOTION for Adam van Alstyne to Withdraw as Attorney for Defendant Daniel H. Mudd. Document filed by Daniel H. Mudd. (Attachments: # 1 Text of Proposed Order [Proposed] Order Permitting Withdrawal of Appearance of Adam van Alstyne)(Rotenberg, Jeffrey) (Entered: 12/04/2014)
2014-12-05 529 0 ORDER GRANTING MOTION FOR WITHDRAWAL OF ADAM VAN ALSTYNE AS COUNSEL FOR DEFENDANT DANIEL H. MUDD: granting 528 Motion to Withdraw as Attorney. Based on the representations that it will have no effect on the litigation of this matter, the motion for withdrawal of Adam van Alstyne as counsel for defendant Daniel H. Mudd is hereby GRANTED. The Clerk of this Court is hereby directed to remove Adam van Alstyne as counsel of record for defendant Daniel H. Mudd. Attorney Adam James van Alstyne terminated. (Signed by Judge Paul A. Crotty on 12/5/2014) (lmb) Modified on 12/5/2014 (lmb). (Entered: 12/05/2014)
2014-12-10 530 0 TRANSCRIPT of Proceedings re: CONFERENCE held on 11/12/2014 before Judge Paul A. Crotty. Court Reporter/Transcriber: Rose Prater, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 1/5/2015. Redacted Transcript Deadline set for 1/15/2015. Release of Transcript Restriction set for 3/13/2015.(McGuirk, Kelly) (Entered: 12/10/2014)
2014-12-10 531 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a CONFERENCE proceeding held on 11/12/2014 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 12/10/2014)
2014-12-22 532 0 MEMO ENDORSEMENT on NOTICE OF WITHDRAWAL OF COUNSEL. ENDORSEMENT: SO ORDERED. Attorney Tobias James Stern terminated. (Signed by Judge Paul A. Crotty on 12/22/2014) ***As per chambers, Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01352-PAC(tn) (Entered: 12/22/2014)
2014-12-30 533 0 STATUS REPORT. Document filed by Federal National Home Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 12/30/2014)
2014-12-31 534 0 MEMO ENDORSEMENT on re: (140 in 1:09-cv-01350-PAC, 191 in 1:09-md-02013-PAC, 533 in 1:08-cv-07831-PAC) Status Report filed by Federal National Home Mortgage Association. ENDORSEMENT: SO ORDERED. (Signed by Judge Paul A. Crotty on 12/31/2014) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(tn) (Entered: 12/31/2014)
2015-01-16 535 0 NOTICE OF APPEARANCE by Sarah Elizabeth Trombley on behalf of Massachusetts Pension Reserves Investment Management Board ("PRIM"). (Trombley, Sarah) (Entered: 01/16/2015)
2015-01-16 536 0 NOTICE OF CHANGE OF ADDRESS by Sarah Elizabeth Trombley on behalf of Massachusetts Pension Reserves Investment Management Board ("PRIM"). New Address: Massachusetts Office of the Attorney General, One Ashburton Pl., 18th Floor, APT 6143, Boston, MA, United States 02108, 212-963-2395. (Trombley, Sarah) (Entered: 01/16/2015)
2015-01-16 537 0 MOTION for Settlement Final Approval. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). Return Date set for 3/3/2015 at 03:00 PM.(Dubbs, Thomas) (Entered: 01/16/2015)
2015-01-16 538 0 MEMORANDUM OF LAW in Support re: 537 MOTION for Settlement Final Approval. . Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Dubbs, Thomas) (Entered: 01/16/2015) 2015-02-27 16:53:20 8822e91934a88bcff16531d8f9c545d5e108f177
2015-01-16 539 0 DECLARATION of Glen DeValerio, Thomas A. Dubbs, Fredric S. Fox in Support re: 537 MOTION for Settlement Final Approval.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15)(Dubbs, Thomas) (Entered: 01/16/2015)
2015-01-16 540 0 MOTION for Attorney Fees . Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). Return Date set for 3/3/2015 at 03:00 PM.(Dubbs, Thomas) (Entered: 01/17/2015)
2015-01-17 541 0 MEMORANDUM OF LAW in Support re: 540 MOTION for Attorney Fees . . Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Dubbs, Thomas) (Entered: 01/17/2015)
2015-01-17 542 0 DECLARATION of Glen DeValerio, Thomas A. Dubbs, Frederic S. Fox in Support re: 537 MOTION for Settlement Final Approval., 540 MOTION for Attorney Fees .. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15)(Dubbs, Thomas) (Entered: 01/17/2015)
2015-02-06 543 0 MOTION for David J. Stanoch to Withdraw as Attorney . Document filed by Enrico Dallavecchia. (Attachments: # 1 Text of Proposed Order)(Waldman, Rebecca) (Entered: 02/06/2015)
2015-02-06 544 0 NOTICE OF APPEARANCE by Michael Hun Park on behalf of Enrico Dallavecchia. (Park, Michael) (Entered: 02/06/2015)
2015-02-09 545 0 ORDER GRANTING MOTION FOR WITHDRAWAL OF DAVID J. STANOCH AS COUNSEL FOR DEFENDANT ENRICO DALLAVECCHIA granting 543 Motion to Withdraw as Attorney. The motion for withdrawal of David J. Stanoch as counsel for defendant Enrico Dallavecchia is hereby GRANTED. The Clerk of this Court is hereby directed to remove David J. Stanoch as counsel of record for defendant Enrico Dallavecchia. Attorney David J. Stanoch terminated. (Signed by Judge Paul A. Crotty on 2/9/2015) (kko) (Entered: 02/09/2015)
2015-02-17 546 0 REPLY MEMORANDUM OF LAW in Support re: 540 MOTION for Attorney Fees ., 537 MOTION for Settlement Final Approval. . Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Proposed Final Order and Judgment, # 2 Proposed Order Approving Plan of Allocation, # 3 Proposed Order Awarding Attorneys' Fees and Expenses)(Dubbs, Thomas) (Entered: 02/17/2015)
2015-02-17 547 0 DECLARATION of Adam D. Walter in Support re: 537 MOTION for Settlement Final Approval., 540 MOTION for Attorney Fees .. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Exhibit A-Part 1, # 2 Exhibit A-Part 2, # 3 Exhibit A-Part 3, # 4 Exhibit A-Part 4, # 5 Exhibit A-Part 5, # 6 Exhibit A-Part 6, # 7 Exhibit A-Part 7, # 8 Exhibit B)(Dubbs, Thomas) (Entered: 02/17/2015)
2015-02-27 548 0 RESPONSE in Support of Motion re: 540 MOTION for Attorney Fees ., 537 MOTION for Settlement Final Approval. Lead Plaintiffs' Supplement Concerning Late Objections and Requests for Exclusions. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Attachments: # 1 Text of Proposed Order Final Order and Judgment, # 2 Text of Proposed Order Approving Plan of Allocation, # 3 Text of Proposed Order Order Awarding Attorneys' Fees and Expenses)(Dubbs, Thomas) (Entered: 02/27/2015)
2015-02-27 549 0 DECLARATION of Adam D. Walter on behalf of A.B. Data Ltd. in Support re: 540 MOTION for Attorney Fees ., 537 MOTION for Settlement Final Approval.. Document filed by Boston Retirement Board, Massachusetts Pension Reserves Investment Management Board ("PRIM"), Tennessee Consolidated Retirement System ("TCRS"). (Dubbs, Thomas) (Entered: 02/27/2015)
2015-03-03 550 0 Minute Entry for proceedings held before Judge Paul A. Crotty: Final Settlement Approval Conference held on 3/3/2015. REMARK: The Court "so ordered" the proposed: (1) Order Approving Plan of Allocation; (2) Order Awarding Attorneys' Fees and Expenses, and (3) Final Order and Judgment. See transcript for complete details of this proceeding. The transcript "order form" is attached to this entry. In the alternative, visit------ http://www.nysd.uscourts.gov/courtrm_tech.php -------with respect to ordering a transcript of a recorded proceeding via "Courtflow." (mov) (Entered: 03/03/2015)
2015-03-03 551 0 ORDER APPROVING PLAN OF ALLOCATION: granting 537 Motion for Settlement. IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that: 1. Pursuant to and in compliance with Rule 23 of the Federal Rules of Civil Procedure, the Court hereby finds and concludes that due and adequate notice of these proceedings was directed to all persons and entities who are Members of the Settlement Classes advising them of the Plan of Allocation and of their right to object thereto, and a full and fair opportunity was accorded to persons and entities who are Members of the Settlement Classes to be heard with respect to the Plan of Allocation. There has been one objection to the Plan of Allocation, which is hereby rejected. 2. The Court hereby finds and concludes that the Plan of Allocation for the calculation of the claims of Authorized Claimants that is set forth in the Notice of (I) Proposed Class Action Settlement and Plan of Allocation; (II) Settlement Hearing; And (III) Requests for Awards of Attorneys' Fees and Litigation Expenses ("Notice"), which was disseminated to Members of the Settlement Classes, provides a fair and reasonable basis upon which to allocate the net settlement proceeds among Members of the Settlement Classes. 3. The Court hereby finds and concludes that the Plan of Allocation set forth in the Notice is, in all respects, fair and reasonable, and the Court hereby approves the Plan of Allocation. (Signed by Judge Paul A. Crotty on 3/3/2015) (lmb) (Entered: 03/03/2015)
2015-03-03 552 0 ORDER AWARDING ATTORNEYS' FEES AND EXPENSES: granting 540 Motion for Attorney Fees. IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that: 1. The Court has jurisdiction over the subject matter of this Action and over all parties to the Action, including all Members of the Settlement Classes and the Claims Administrator. 2. Notice of Lead Counsel's motion for attorneys' fees and payment of expenses was given to all Members of the Settlement Classes who could be identified with reasonable effort. The form and method of notifying the Settlement Classes of the motion for attorneys' fees and expenses met the requirements of Rules 23 and 54 of the Federal Rules of Civil Procedure, Section 21D(a)(7) of the Securities Exchange Act of 1934, 15 U.S.C. § 78u-4(a)(7), as amended by the Private Securities Litigation Reform Act of 1995 (the "PSLRA"), due process, and any other applicable law, constituted the best notice practicable under the circumstances, and constituted due and sufficient notice to all persons and entities entitled thereto. 3. Lead Counsel is hereby awarded attorneys' fees in the amount of 17.65% of the Settlement Fund and payment of litigation expenses in the amount of $2,057,321, which sums the Court finds to be fair and reasonable. 4. In accordance with 15 U.S.C. §78u-4(a)(4), for their representation of the Settlement Classes, the Court hereby awards Lead Plaintiff PRIM $42,433.39, Lead Plaintiff SBRB $13,410, and Lead Plaintiff TCRS $58,110, as reimbursement of their reasonable lost wages and expenses directly related to their representation. 5. The award of attorneys' fees and expenses may be paid to Lead Counsel from the Settlement Fund immediately upon entry of this Order, subject to the terms, conditions, and obligations of the Stipulation, which terms, conditions, and obligations are incorporated herein as further set forth in this order. 9. In the event that the Settlement is terminated or does not become Final or the Effective Date does not occur in accordance with the terms of the Stipulation, this order shall be rendered null and void to the extent provided by the Stipulation and shall be vacated in accordance with the Stipulation. (Signed by Judge Paul A. Crotty on 3/3/2015) (lmb) (Entered: 03/03/2015)
2015-03-03 553 0 FINAL ORDER AND JUDGMENT. IT IS ORDERED, ADJUDGED AND DECREED that: 1. This Final Order and Judgment ("Judgment") incorporates by reference the definitions in the Stipulation and all capitalized terms used in this Judgment that are not otherwise defined herein shall have the same meanings as set forth in the Stipulation. 2. This Court has jurisdiction over the subject matter of the Action and over all parties to the Action, including all Members of the Settlement Classes as further set forth in this order. 12. The Action and the Complaint, which the Court finds were filed on a good faith basis in accordance with the PSLRA and Rule 11 of the Federal Rules of Civil Procedure based upon all publicly available information, are hereby dismissed in their entirety, with prejudice, and without costs to any Settling Party, except as otherwise provided in the Stipulation. 13. The Court further finds that during the course of the Action, the parties and their respective counsel at all times complied in all respects with each requirement of Rule 11 of the Federal Rules of Civil Procedure in connection with the commencement, maintenance, prosecution, defense, and settlement of the Action. 14. Upon the Effective Date, Lead Plaintiffs and each and every other Member of the Common Stock Class and the Preferred Stock Class, on behalf of themselves and each of their respective heirs, executors, trustees, administrators, predecessors, successors, and assigns, shall be deemed to have fully, finally, and forever waived, released, discharged, and dismissed each and every one of the Released Class Claims as against each and every one of the Released Defendant Parties and shall forever be BARRED, ENJOINED AND RESTRAINED from commencing, instituting, prosecuting or maintaining any and all such Released Class Claims against any and all of the Released Defendant Parties as further set forth in this order. 25. Without affecting the finality of this Judgment in any way, this Court hereby retains continuing jurisdiction over: (i) implementation of the Stipulation and Settlement; (ii) the allowance, disallowance or adjustment of any Member of the Settlement Classes's claim on equitable grounds and any award or distribution of the Settlement Fund; (iii) disposition of the Settlement Fund; (iv) hearing and determining applications for attorneys' fees, costs, interest and payment of expenses in the Action; (v) all Settling Parties for the purpose of construing, enforcing and administering the Stipulation, Settlement and this Judgment; and (vi) other matters related or ancillary to the foregoing. There is no just reason for delay in the entry of this Judgment and immediate entry by the Clerk of the Court is expressly directed. (Signed by Judge Paul A. Crotty on 3/3/2015) (lmb) (Entered: 03/03/2015)
2015-03-09 554 0 TRANSCRIPT of Proceedings re: Final Settlement Approval Conference held on 3/3/2015 before Judge Paul A. Crotty. Court Reporter/Transcriber: Carole Ludwig, (212) 420-0771. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 4/2/2015. Redacted Transcript Deadline set for 4/13/2015. Release of Transcript Restriction set for 6/11/2015.(ca) (Entered: 03/09/2015)
2015-03-09 555 0 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Final Settlement Approval Conference proceeding held on 03/03/2015 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(ca) (Entered: 03/09/2015)
2015-03-12 556 0 LETTER from Johanna Anderson dated 1/7/15 re: Investor Johanna Anderson writes to the Court to object to the small settlement amount which the investors are getting regarding the Class Action Suit relating to the Fannie Mae 2008 Securities Litigation; and she requests that the Court reconsider the settlement amount that goes to the investors who have been bilked out of so much.. (sc) (Entered: 03/12/2015)
2015-03-31 557 0 STATUS REPORT. Document filed by Federal National Mortgage Association.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(Walsh, Michael) (Entered: 03/31/2015)
2015-04-01 558 0 MEMO ENDORSEMENT on re: (194 in 1:09-md-02013-PAC, 144 in 1:09-cv-01350-PAC, 557 in 1:08-cv-07831-PAC) Status Report filed by Federal National Mortgage Association. ENDORSEMENT: So ordered. (Signed by Judge Paul A. Crotty on 4/1/2015) Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:09-cv-01350-PAC(lmb) (Entered: 04/01/2015)
2015-04-22 559 0 NOTICE OF CHANGE OF ADDRESS by James E. Anklam on behalf of Daniel H. Mudd. New Address: Fried, Frank, Harris, Shriver & Jacobson LLP, 801 17th Street, NW, Washington, District of Columbia, United States of America 20006, 202-639-7042. (Anklam, James) (Entered: 04/22/2015)
2015-04-23 560 0 NOTICE OF CHANGE OF ADDRESS by James D. Wareham on behalf of Daniel H. Mudd. New Address: Fried, Frank, Harris, Shriver & Jacobson LLP, 801 17th Street, NW, Washington, District of Columbia, United States of America 20006, 202-639-7040. (Wareham, James) (Entered: 04/23/2015)
2015-04-23 561 0 FILING ERROR - ELECTRONIC FILING OF NON-ECF DOCUMENT - STIPULATION OF VOLUNTARY DISMISSAL It is hereby stipulated and agreed by and between the parties and/or their respective counsel(s) that the above-captioned action is voluntarily dismissed, with prejudice against the defendant(s) Enrico Dallavecchia, Fannie Mae, Daniel H. Mudd and without costs to either party pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure. Document filed by Edward Smith.Filed In Associated Cases: 1:09-md-02013-PAC, 1:08-cv-07831-PAC, 1:10-cv-02781-PAC(Thorpe, David) Modified on 4/24/2015 (km). (Entered: 04/23/2015)
2015-04-27 562 0 STIPULATION OF VOLUNTARY DISMISSAL WITH PREJUDICE OF CLAIMS AGAINST ALL DEFENDANTS: Pursuant to Federal Rule of Civil Procedure 41(a)(l)(A)(ii), Plaintiff Edward Smith and Defendants in the above-action action stipulate to dismissal with prejudice of all claims in the Smith action against all Defendants. Each of the parties shall be responsible for their own fees and costs incurred in this action. (Signed by Judge Paul A. Crotty on 4/27/2015) (spo) (Entered: 04/27/2015) 2015-04-27 18:36:08 7de1317424e9a6b1503a7b2753545818398473fb
2015-04-28 563 0 FINAL ORDER OF DISMISSAL: Plaintiff, Comprehensive Investment Services, Inc., and Defendants Fannie Mae, Daniel H. Mudd and Enrico Dallavecchia filed a joint stipulation of dismissal seeking to dismiss all claims between Plaintiff and Defendants with prejudice, with each party to bear its own costs, expenses, and attorneys' fees. The Court is of the opinion that the stipulation should be, and is hereby, GRANTED. It is, therefore, ORDERED, ADJUDGED AND DECREED that all claims asserted in this cause between Plaintiff, Comprehensive Investment Services, Inc., and Defendants Fannie Mae, Daniel H. Mudd and Enrico Dallavecchia are dismissed with prejudice, with each party to bear its own attorneys' fees, costs, and expenses. (Signed by Judge Paul A. Crotty on 4/28/2015) (lmb) (Entered: 04/28/2015)