In re JPMorgan Treasury Futures Spoofing Litig.

CourtDistrict Court, S.D. New York
DecidedOctober 9, 2020
Docket1:20-cv-03515
StatusUnknown

This text of In re JPMorgan Treasury Futures Spoofing Litig. (In re JPMorgan Treasury Futures Spoofing Litig.) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In re JPMorgan Treasury Futures Spoofing Litig., (S.D.N.Y. 2020).

Opinion

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK BREAKWATER TRADING LLC, individually and on behalf of all those similarly situated, 20Civ. 3515(PAE) Plaintiff, -v- OPINION & ORDER JPMORGAN CHASE & CO., JP MORGAN CLEARING CORP., JP MORGAN SECURITIES LLC and JOHN DOES 1-25, Defendants. JOHN GRACE, individually and on behalf of all those similarly situated, 20Civ. 4523(PAE) Plaintiff, -v- J.P. MORGAN CHASE & CO., J.P. MORGAN CLEARING CORP., J.P. MORGAN SECURITIES LLC and JOHN DOES 1-25, Defendants. ENDEAVOR TRADING, LLC, individually and on behalf of all those similarly situated, 20Civ. 5285(PAE) Plaintiff, -v- JPMORGAN CHASE & CO., J.P. MORGAN SECURITIES LLC, J.P. MORGAN CLEARING CORP. (now known as J.P. MORGAN SECURITIES LLC), J.P. MORGAN FUTURES INC. (now known as J.P. MORGAN SECURITIES LLC), and JOHN DOES 1-25, Defendants. ROBERT CHARLES CLASS A, L.P., on Behalf of Itself and All Others Similarly Situated, 20Civ. 5298(PAE) Plaintiff, -v- J.P. MORGAN CHASE & CO., J.P. MORGAN CLEARING CORP., J.P. MORGAN SECURITIES LLC, J.P. MORGAN FUTURES, INC. (now known as J.P. MORGAN SECURITIES LLC), and JOHN DOES 1-50, Defendants. CHARLES HERBERT PROCTOR, III and SYNOVA ASSET MANAGEMENT, LLC, on behalf of themselves and all others similarly situated, 20Civ. 5360(PAE) Plaintiffs, -v- JP MORGAN CHASE & CO., J.P. MORGAN CLEARING CORP., J.P. MORGAN SECURITIES LLC, J.P. MORGAN FUTURES, INC. (now known as J.P. MORGAN SECURITIES LLC), and JOHN DOES 1-50, Defendants. BUDO TRADING LLC, Individually and on Behalf of All Others Similarly Situated, 20Civ. 5772(PAE) Plaintiff, -v- J.P. MORGAN CHASE & CO., J.P. MORGAN CLEARING CORP., J.P. MORGAN SECURITIES LLC, J.P. MORGAN FUTURES, INC. (now known as J.P. MORGAN SECURITIES LLC), and JOHN DOES 1-50, Defendants. THOMAS GRAMATIS, on behalf of himself and all others similarly situated, 20Civ. 5918(PAE) Plaintiff, -v- J.P. MORGAN CHASE & CO., J.P. MORGAN CLEARING CORP., J.P. MORGAN SECURITIES LLC, J.P. MORGAN FUTURES, INC. (now known as J.P. MORGAN SECURITIES LLC), and JOHN DOES 1-50, Defendants. PAUL A. ENGELMAYER, District Judge: Before the Court are motions from plaintiffs Breakwater Trading, LLC (“Breakwater”), Endeavor Trading, LLC (“Endeavor”), and John Grace (together, the “Breakwater Plaintiffs”) and from plaintiffs Charles Herbert Proctor, III and Synova Asset Management, LLC(together, the “Proctor Plaintiffs”)seeking appointment of interim lead counsel. Also before the Court are two unopposed motionsto consolidate the above-captioned actions. All parties consent to consolidation. For the reasons that follow, the Court appoints Lowey Dannenberg, P.C. (“Lowey”) and Kirby McInerney, LLP (“Kirby”)as interim lead co-counsel for the putative classand consolidates the above-captioned actions. I. Background The above putative class actioncomplaints arise out of claims that defendants JPMorgan Chase & Co., J.P. Morgan Securities LLC, J.P. Morgan Clearing Corp. (now known as J.P. Morgan Securities LLC), J.P. Morgan Futures Inc. (now known as J.P. Morgan Securities LLC), and John Does 1–50(collectively, “JPMorgan”), engaged in “spoofing” of the treasury futures market in violation of the Commodities Exchange Act, 7 U.S.C. §1,et seq.(“CEA”). Spoofing is a form of trading manipulation that creates a false sense of supply or demand in a market,with the aim of affecting futures prices. See Breakwater Trading LLC v. JPMorgan Chase & Co., No. 20 Civ. 3515, Dkt. 1 ¶¶24–25 (S.D.N.Y.filed May 5, 2020) (“Breakwater Compl.”); Proctorv.

JP Morgan Chase & Co., No. 20 Civ. 5360, Dkt. 1 ¶¶ 39–40 (S.D.N.Y.filed May 1, 2020) (“Proctor Compl.”).1 On February 25, 2020, JPMorgan filed its 2019 Form 10-K, in which it disclosed that JPMorgan was responding to requests from the Department of Justice’s Criminal Division, among other authorities, relatingto JPMorgan’s tradingpractices in financial instruments, including U.S. treasuries. Breakwater Compl. ¶ 32; Proctor Compl. ¶ 52. On March 17, 2020, the Wall Street Journalreported that JPMorgan was specifically being investigated for treasuries manipulation. Breakwater Compl. ¶33; Proctor Compl. ¶ 53. On May 1, 2020, Charles Herbert Proctor, IIIandSynova Asset Management, LLC, represented by Lowey, Kirby,and liaison counsel Cafferty Clobes Meriwether & Sprengel LLP

(“Cafferty”),filed the first putativeclass action in the Northern District of Illinois. Proctor Compl. On May 5, 2020, Breakwater, represented by Nussbaum Law Group, P.C.(“NLG”), filed the first putative class action in this District. Breakwater Compl. On May29, 2020, Robert Charles Class A, L.P., represented by Korein TilleryLLC(“Koreain Tillery”),Scott+Scott Attorneys at Law LLP(“Scott+Scott”),and Louis F. Burke PC,filed its putative class action in the Northern District of Illinois. No. 20 Civ. 5298. On June 12, 2020, John Grace, represented byFreedman Boyd Hollander Goldberg Urias & WardP.A.(“Freedman Boyd”) and Fine,

1 Proctor, among others,was originally filed in the Northern District of Illinois and was transferred to this District on July 9, 2020. See No. 20 Civ. 5360, Dkt. 36. All case numbers refer to the case numbers designated in the Southern District of New York. Kaplan and Black, R.P.C.,(“Fine, Kaplan, and Black”) filed his putative class action in this District. No. 20 Civ. 4523. On June 29, 2020, Thomas Gramatis, represented by Freed Kanner London & Millen, LLC(“Freed Kanner”), filed his putativeclass action in the Northern District of Illinois. No. 20 Civ. 5918.

On July 8, 2020, with consent of the plaintiffs, JPMorgan moved to transfer the Proctor and Robert Charles Class Acases from the Northern District of Illinois to this District. No. 20 Civ. 5360, Dkts. 34, 34-1; No. 20 Civ. 5298, Dkts. 33, 33-1. On July 9, 2020, both cases were transferred to this District. No. 20 Civ. 5360, Dkt. 36; No. 20 Civ. 5298, Dkt. 35. On July9,2020, Endeavor, represented by Kessler Topaz Meltzer Check LLP(“Kessler Topaz”), filed its putative class action in this District. No. 20 Civ. 5285. On July 10, 2020, with consent of the plaintiffs, JPMorgan moved to transfer the Gramatiscase from the Northern District of Illinoisto this District, see No. 20 Civ. 5918, Dkts. 10, 10-1, and the case was transferred on July 29, 2020, see id., Dkt. 14. On July 24, 2020, Budo Trading LLC(“Budo”), represented by Freed Kanner and Scott+Scott, filed its putative class action in this District. No. 20 Civ. 5772.

The Court accepted theassembledcases as related. On August 13, 2020, the Court held a telephonic conference, during which the Court discussed a number of case management issues, including the consolidation of the cases and the appointment of interim lead counsel. At this conference, the parties represented that no party opposed consolidation of the cases, and that plaintiffs’counsel did not anticipatethe filing of additional actions. Following the conference, the Court set a briefing schedule for motions for the appointment of interim lead counsel. On August 21, 2020, the Court received competing motions to appoint NLGand Kessler Topaz, seeNo. 20 Civ. 3515, Dkt. 28 (“NLG/Kessler Mem.”), and Lowey and Kirby, see id., Dkt. 30 (“Lowey/Kirby Mem.”)as interim lead counsel. The Court also received applications from other counsel in support of the appointment of Lowey and Kirby as interim lead counsel. See No. 20 Civ. 5298, Dkt. 55 (“Scott+Scott Mem.”); No. 20 Civ. 5360, Dkt. 49 (“Cafferty Mem.”); No. Civ. 5918, Dkt. 30 (“Freed Kanner Mem.”). On September 4, 2020,the moving parties filed their responses. No. 20 Civ. 3515, Dkts. 35 (“NLG/Kessler Resp.”), 36

(“Lowey/Kirby Resp.”). II. Discussion A. Consolidation Federal Rule of Civil Procedure

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
In re JPMorgan Treasury Futures Spoofing Litig., Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-jpmorgan-treasury-futures-spoofing-litig-nysd-2020.