Pacific West Health Medical Center Inc. Employees Retirement Trust et al v. Fairfield Greenwich Group et al

Filing 5

AFFIDAVIT OF SERVICE of Complaint, Motion for TRO and Preliminary Injunction. Document filed by Pacific West Health Medical Center Inc. Employees Retirement Trust(On Behalf of Itself). (Finkel, Robert)

Download PDF
Pacific West Health Medical Center Inc. Employees Retirement Trust et al ...ld Greenwich Group et al Doc. 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK PACIFIC WEST HEALTH MEDICAL CENTER INC. EMPLOYEES RETIREMENT TRUST, On Behalf of Itself and All Others Similarly Situated, Plaintiff, vs. FAIRFIELD GREENWICH GROUP, FAIRFIELD GREENWICH LIMITED, FAIRFIELD GREENWICH (BERMUDA) LTD., FAIRFIELD GREENWICH ADVISORS LLC, WALTER M. NOEL, JR., ANDRES PIEDRAHITA, JEFFREY TUCKER, BRIAN FRANCOUER, AMIT VIJVERGIYA, YANKO DELLAW SCHIAVA, PHILIP TOUB, LOURDES BARRENECHE, CORNELIS BOELE, MATTHEW C. BROWN, VIANNEY D'HENDECOURT, HAROLD GREISMAN, JACQUELINE HARARY, DAVID HORN, RICHARD LANDSBERGER, DAVID LIPTON, JULIA LUONGO, MARK MCKEEFRY, MARIA TERESA PULIDO MENDOZO, CHARLES MURPHY, SANTIAGO REYES, and ANDREW SMITH, Defendants. DECLARATION OF SERVICE ROBERT C. FINKEL, being admitted to practice law in the State of New York and before this Court, does hereby state, under the penalties of perjury, that: 1. I am a member of Wolf Popper LLP, attorneys for plaintiff in this Action. I make Civil Action No. 09 CV 00134 (UA) this Declaration upon my personal knowledge. Doc. 162696 Dockets.Justia.com 2. On January 9, 2009, I caused the following documents to be served upon Fairfield Greenwich Group and Fairfield Greenwich Advisors LLC at their offices at 55 East 52nd Street, New York, New York 10022, attention Michael Thorne: Verified Class Action Complaint, dated January 8, 2009 Plaintiff's Notice of Motion for a TRO and Preliminary Injunction, dated January 9, 2009 [Proposed] Temporary Restraining Order, dated January 9, 2009 Plaintiff's Memorandum In Support of Motion for a TRO and Preliminary Injunction, dated January 9, 2009 Declaration of Robert C. Finkel In Support of TRO and Motion for Preliminary Injunction, dated January 9, 2009 3. On January 9, 2009, I also transmitted the foregoing documents to the following counsel for the identified parties by email and pdf file. I am in the process of verifying that those counsel are authorized to accept service of the foregoing documents on those clients: Mark G. Cunha, Esq. (Simpson Thacher) (mcunha@stblaw.com) (Attorney for the corporate entities) Daniel J. Fetterman, Esq. (Kasowitz Benson) (dfetterman@kasowitz.com) (Attorney for Defendant Tucker) Andrew Levander, Esq. (Dechert LLP) (andrew.levander@dechert.com) (Attorney for Defendant Piedrahita) Mark P. Goodman, Esq. (Debevoise) (mpgoodman@debevoise.com) (Attorney for Defendant Vijergiya) Glenn M. Kurtz, Esq. (gkurtz@whitecase.com) (Attorney for Defendant Noel) Dated: January 9, 2009 s/Robert C. Finkel Doc. 162696

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?