Hauenstein v. Frey
Filing
15
DECLARATION of Evan J. Smith, Esquire in Support re: 14 MOTION to Consolidate Cases 06-0669, 06-0693, 06-1167, 06-4642, 06-4643, 06-4644, 06-4645, 06-4646, 06-4647, 06-4648, 06-5402, and Appoint Co-Interim Class Counsel.. Document filed by "A Million Little Pieces" Plaintiffs' Group. (Attachments: # 1 Exhibit A# 2 Exhibit B)Filed In Associated Cases: 1:06-md-01771-RJH,1:06-cv-00669-RJH,1:06-cv-00693-RJH,1:06-cv-01167-RJH,1:06-cv-04642-RJH, 1:06-cv-04643-RJH,1:06-cv-04644-RJH,1:06-cv-04645-RJH,1:06-cv-04646-RJH,1:06-cv-04647-RJH, 1:06-cv-04648-RJH,1:06-cv-05402-RJH(Smith, Evan)
Hauenstein v. Frey
Doc. 15
Case 1:06-cv-04643-RJH
Document 15
Filed 09/22/2006
Page 1 of 3
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK ____________________________________ : In Re "A Million Little Pieces : MDL Docket No. 1771 Litigation" : ____________________________________: : THIS DOCUMENT RELATES TO : ALL ACTIONS : ____________________________________: DECLARATION OF EVAN J. SMITH, ESQUIRE IN SUPPORT OF "A MILLION LITTLE PIECES" PLAINTIFFS' GROUP'S MOTION FOR CONSOLIDATION AND APPOINTMENT OF CO-INTERIM CLASS COUNSEL I, Evan J. Smith, Esquire hereby declares: 1. I am an attorney, duly licensed and admitted to practice law in the
State of New York and in this Court. I am a partner in the law firm of Brodsky & Smith, LLC, counsel for Plaintiff Michele Snow in these coordinated proceedings. I have personal knowledge of the facts set forth in this Declaration. If called upon and sworn as a witness, I could and would competently testify to these facts. 2. In April 2006, I, along with co-counsel Larry Drury and Scott Frost,
attempted via email and/or telephone, to contact all Plaintiffs' counsel to coordinate a Plaintiffs' leadership structure. We were successful in putting together all Plaintiffs' counsel with the exception of counsel for Plaintiff Rubenstein. Co-Plaintiffs in one action, Taylor and Hauenstein, were part of the instant group until they decided to withdraw. The group did in fact authorize us to speak for Plaintiffs in the group when discussing settlement with Defendants. 3. I, along with Larry Drury's co-Counsel for Plaintiff Vedral, attended and
argued before the MDL panel in Kansas City, Kansas on May 25, 2006.
Dockets.Justia.com
Case 1:06-cv-04643-RJH
Document 15
Filed 09/22/2006
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4.
Larry Drury and I attended numerous and lengthy settlement negotiation
sessions either in person in Illinois and/or via telephone over a four month period which culminated in a Memorandum of Understanding on behalf of 10 of the 12 Plaintiffs for a proposed nationwide class settlement. 5. We negotiated and are in the final stages of finalizing the settlement
documents and motion for preliminary approval papers of this settlement on behalf of 10 of the 12 Plaintiffs. We also negotiated and continue to negotiate the nature of confirmatory discovery before the final settlement papers are filed. 6. Larry Drury and I have (and continue to) led, updated, conferenced,
discussed and sought approval with and from all Plaintiffs in this cohesive Plaintiffs' team before finalizing any Memorandum of Understanding during this four month process. 7. A true and correct copy of the JPML Transfer Order and conditional
Transfer Order #1 are attached hereto as Exhibit "A." 8. A true and correct copy of Plaintiff Snow's Complaint is attached hereto
as Exhibit "B." 9. A true and correct copy of Plaintiff Vedral's Complaint is attached hereto
as Exhibit "C." 10. A true and correct copy of Plaintiff Snow and Vedral's Affidavit of
Service and/or waiver of service documents are attached hereto as Exhibit "D." 11. A true and correct copy of Plaintiff Snow's MDL Brief in Support of
Transfer is attached hereto as Exhibit "E." 12. A true and correct copy of Plaintiff Vedral's MDL Brief is attached hereto
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Case 1:06-cv-04643-RJH
Document 15
Filed 09/22/2006
Page 3 of 3
as Exhibit "F." 13. A true and correct copy of Plaintiff Snow's Request for status conference
is attached hereto as Exhibit "G." 14. A true and correct copy of Brodsky & Smith, LLC's firm profile is
attached hereto as Exhibit "H." 16. as Exhibit "I." I hereby declare under penalty of perjury that the foregoing is true and correct. Dated: September 22, 2006 /s/ Evan J. Smith, Esquire (ES3254) Evan J. Smith, Esquire (ES3254) A true and correct copy of Larry D. Drury's firm profile is attached hereto
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