In Re Adelphia Communications Corp. Securities & Derivative Litigation (No. II)

273 F. Supp. 2d 1353, 2003 U.S. Dist. LEXIS 12908, 2003 WL 21749524
CourtUnited States Judicial Panel on Multidistrict Litigation
DecidedJuly 23, 2003
DocketMDL-1529
StatusPublished
Cited by11 cases

This text of 273 F. Supp. 2d 1353 (In Re Adelphia Communications Corp. Securities & Derivative Litigation (No. II)) is published on Counsel Stack Legal Research, covering United States Judicial Panel on Multidistrict Litigation primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Adelphia Communications Corp. Securities & Derivative Litigation (No. II), 273 F. Supp. 2d 1353, 2003 U.S. Dist. LEXIS 12908, 2003 WL 21749524 (jpml 2003).

Opinion

TRANSFER ORDER

This litigation currently consists of the 46 actions pending as listed on the attached Schedule A. Defendant Deloitte & Touche LLP and nineteen financial institution defendants 1 renew their motion pursuant to 28 U.S.C. § 1407 for coordinated or consolidated pretrial proceedings of these actions. The moving defendants initially suggested the Eastern District of Pennsylvania as transferee district; however, in subsequent pleadings and at oral argument these defendants emphasized their desire for centralization in any district which the Panel deemed appropriate. Defendant Credit Suisse First Boston Corporation joins in the motion for transfer. Individual defendants John Rigas, Michael Rigas, Timothy Rigas, and James Rigas (collectively Rigas defendants) support the motion for transfer as does defendant Peter L. Venetis. 2

Plaintiffs in the Western District of Pennsylvania action oppose transfer to the Eastern District of Pennsylvania and instead suggest centralization of all actions in the Western District of Pennsylvania. Plaintiffs in the other actions pending outside the Eastern District of Pennsylvania oppose the motion. 3 If the Panel orders centralization in this docket, then the plaintiffs in the Southern District and Western District of New York actions support transfer to the district in which their respective actions are pending. Plaintiff in the two Western District of New York actions specifically requests that the Panel *1355 transfer only the individual actions pending outside the Eastern District of Pennsylvania to the Western District of New York, in the event the Panel orders transfer.

On the basis of the papers filed and hearing session held, the Panel finds that these 46 actions involve common questions of fact, and that centralization under Section 1407 in the Southern District of New York will serve the convenience of the parties and witnesses and promote the just and efficient conduct of this litigation. All actions share factual questions arising out of alleged misrepresentations or omissions concerning the financial condition of Adelphia Communications Corporation (Adelphia). Centralization under Section 1407 is thus necessary in order to eliminate duplicative discovery; prevent inconsistent pretrial rulings, especially with respect to class certification; and conserve the resources of the parties, their counsel and the judiciary.

In ordering transfer under Section 1407, the Panel is not passing on the appropriateness of the stay order that is extant in the Eastern District of Pennsylvania actions involved in this litigation. Instead, we leave to the discretion of the transferee judge the best manner in which to proceed with this overall litigation in light of the petition for a writ of mandamus emanating from this stay that is currently pending in the Court of Appeals for the Third Circuit.

To the plaintiffs who argue against transfer of their respective actions on the basis of pending motions to remand to state court, we point out that such motions can be presented to and decided by the transferee court. See, e.g., In re Ivy, 901 F.2d 7 (2nd Cir.1990); In re Prudential Insurance Company of America Sales Practices Litigation, 170 F.Supp.2d 1346, 1347-48 (Jud.Pan.Mult.Lit.2001).

Although any of the suggested federal districts could be viewed as an appropriate forum for Section 1407 proceedings in this litigation, the Panel has decided to entrust this litigation to the Southern District of New York, in which proceedings related to the present litigation are pending. A civil enforcement proceeding brought by the Securities and Exchange Commission is pending in the Southern District of New York as are criminal proceedings against the individual defendants. Bankruptcy proceedings involving Adelp-hia are also pending in this district. We also note that this district i) provides a relatively convenient location, and ii) possesses the necessary resources to be able to devote the substantial time and effort to pretrial matters that this complex docket is likely to require.

IT IS THEREFORE ORDERED that, pursuant to 28 U.S.C. § 1407, the actions listed on the attached Schedule A and pending outside the Southern District of New York are transferred to the Southern District of New York and, with the consent of that court, assigned to the Honorable Harold Baer, Jr., for coordinated or consolidated pretrial proceedings with the action listed on Schedule A and pending in that district.

SCHEDULE A

MDL-1529 — In re Adelphia Communications Corp. Securities & Derivative Litigation (No. II)

Central District of California
Los Angeles County Employee Retirement Association v. John J. Rigas, et al., C.A. No. 2:02-9575
Franklin Strategic Income Fund, et al. v. John J. Rigas, et al., C.A. No. 2:02-9578
Southern District of New York
New York City Employees’ Retirement System, et al. v. John J. Rigas, et al, C.A. No. 1:02-9804
*1356 Western District of New York
W.R. Huff Asset Management, Co., LLC., etc. v. Deloitte & Touche, LLP, et al., C.A. No. 1:02-417
W.R. Huff Asset Management, Co., LLC., etc. v. Deloitte & Touche, LLP, et al., C.A. No. 1:02-825
Eastern District of Pennsylvania
Joseph Stocke, et al. v. John J. Rigas., et al., C.A. No. 2:02-mc-312
In re Adelphia Communications Securities Litigation, C.A. No. 2:02-1781
Richard Otter v. Adelphia Communications Corp., et al., C.A. No. 2:02-1790
TZ Micro Computing, Inc. v. Adelphia Communications Corp., et al., C.A. No. 2:02-1813
William J. Hattrick, Jr. v. Adelphia Communications Corp., et al., C.A. No. 2:02-1816
Alan Shulimson v. Adelphia Communications Corp., et al., C.A. No. 2:02-1819
Steven Rossow, etc. v. John Rigas, et al., C.A. No. 2:02-1831
Market Street Securities, Inc. v. Adelphia Communications Corp., et al., C.A. No. 2:02-1835
Israel Costa v. Adelphia Communications Corp., et al., C.A. No. 2:02-1839
Mark G. Epstein v. Adelphia Communications Corp., et al., C.A. No. 2:02-1871
Joanne Gold v. Adelphia Communications Corp., et al., C.A. No.

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Bluebook (online)
273 F. Supp. 2d 1353, 2003 U.S. Dist. LEXIS 12908, 2003 WL 21749524, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-adelphia-communications-corp-securities-derivative-litigation-no-jpml-2003.