Romero v. CenturyLink, Inc.

CourtDistrict Court, D. Minnesota
DecidedFebruary 21, 2020
Docket0:17-cv-02832
StatusUnknown

This text of Romero v. CenturyLink, Inc. (Romero v. CenturyLink, Inc.) is published on Counsel Stack Legal Research, covering District Court, D. Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Romero v. CenturyLink, Inc., (mnd 2020).

Opinion

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

IN RE: CENTURYLINK SALES MDL No. 17-2795 (MJD/KMM) PRACTICES AND SECURITIES LITIGATION

This Document Relates to MEMORANDUM OF LAW & ORDER Civil File Nos. 17-2832, 17-4613, 17-4614, 17-4615, 17-4616, 17-4617, 17-4618, 17-4619, 17-4622, 17-4943, 17-4944, 17-4945, 17-4947, 17-5046, 18-1562, 18-1565, 18-1572, 18-1573,

Carolyn G. Anderson, Brian C. Gudmundson, Bryce D. Riddle, and Hart L. Robinovitch, Zimmerman Reed LLP, Plaintiffs’ Interim Co- Lead and Liaison Counsel; Mark M. O’Mara, Alyssa J. Flood, Channa Lloyd, and Caitlin Reese, O’Mara Law Group, and Mark J. Geragos, Benjamin J. Meiselas, and Lori G. Feldman, Geragos & Geragos, APC, Plaintiffs’ Interim Co-Lead Counsel; Daniel C. Hedlund and Michelle J. Looby, Gustafson Gluek PLLC, Plaintiffs’ Executive Committee Chair; Richard M. Hagstrom, Anne T. Regan, Nicholas S. Kuhlmann, and Jason Raether, Hellmuth & Johnson, PLLC, Roxanne Barton Conlin, Roxanne Conlin & Associates, PC, and Francois M. Blaudeau, W. Lewis Garrison, Jr., Christopher B. Hood, and James F. McDonough, III, Heninger Garrison Davis, LLC, Plaintiffs’ Executive Committee; and T. Ryan Langley, Hodge & Langley Law Firm, P.C., Michael Fuller, Olsen Daines PC, Brandon C. Fernald, Fernald Law Group LLP, Bonner C. Walsh, Walsh PLLC, Alfred M. Sanchez, and Orin Kurtz, Gardy & Notis, LLP, Counsel for Plaintiffs and the Proposed Class.

Douglas P. Lobel, David A. Vogel, and Jeffrey M. Gutkin, Cooley LLP; Carolyn J. Fairless, Michael T. Williams, Andrew Unthank, and Theresa Wardon Benz, Wheeler Trigg O’Donnell LLP; and William A. McNab and David M. Aafedt, Winthrop & Weinstine, P.A., and Jerry W. Blackwell, Blackwell Burke P.A., Counsel for Defendant CenturyLink, Inc. and the Proposed Intervenors.

Warren D. Postman and Ashley C. Keller, Keller Lenkner LLC, and Jared D. Shepherd, Hoff Barry, P.A., Counsel for Movants Edwin Miller, Vonita Taylor, and Patrick West.

I. INTRODUCTION This matter is before the Court on Movants Edwin Miller, Vonita Taylor, and Patrick West’s Motion for Stay Pending Appeal [Docket No. 554] and Motion for Leave to File Reply Brief [Docket No. 564]. The Court heard oral argument on February 20, 2020. For the reasons that follow, Movants’ motion for a stay pending appeal is denied. II. BACKGROUND A. Procedural History of Settlement of the Consumer MDL On October 16, 2019, Plaintiffs moved for an Order (1) granting

Preliminary Approval of the Settlement; (2) provisionally certifying the proposed Settlement Class; (3) conditionally appointing the proposed Class Representatives as the Settlement Class Representatives; (4) conditionally

appointing the proposed Class Counsel as the Settlement Class Counsel; (5) approving the form and manner of notice, (6) ordering that notice be disseminated to the Settlement Class; (7) establishing the deadlines for

Settlement Class Members to request exclusion from the Settlement Class, file objections to the Settlement, or file Claims for a Settlement Award; and 8) setting the proposed schedule for completion of further settlement proceedings,

including scheduling the final fairness hearing. [Docket No. 466] With that motion, Plaintiffs filed a Proposed Order, which included a preliminary

injunction against the Releasing Parties from participating in, among other things, arbitration relating to the Released Claims. ([Docket No. 474] Proposed Order ¶ 10.) Defendant CenturyLink, Inc. and the Proposed Intervenors

(“CenturyLink”) filed a brief in support of Plaintiffs’ motion. [Docket No. 481] On January 10, 2020, CenturyLink also filed a Supplemental Brief in

support of the motion for preliminary approval addressing Plaintiffs’ request that the Court’s Preliminary Approval Order contain a temporary injunction of all parallel proceedings, including arbitrations, by putative class members.

[Docket No. 508] CenturyLink specifically addressed the individual consumer arbitrations brought against CenturyLink by clients of the law firms of Keller

Lenkner LLC (“Keller”) and Troxel Law LLP (“Troxel”). It represented that it would serve Keller and the American Arbitration Association (“AAA”) with a

copy of its brief on January 10, 2020. (Id. at 3 n.3.) On January 22, 2020, the Court held a hearing regarding the motion for preliminary approval of the settlement. [Docket No. 524] None of Keller’s

clients appeared at the hearing; nor did they file any document in the MDL. On January 24, 2020, the Court issued the Preliminary Approval Order,

which included the following language, as requested by Plaintiffs and CenturyLink: 10. Injunction against Releasing Parties’ Pursuit of Released Claims. Pending the Final Approval Hearing and issuance of the Final Approval Order and Final Judgment, Releasing Parties are hereby enjoined from filing, commencing, prosecuting, maintaining, intervening in, participating in (as class members or otherwise), or receiving any benefits from any class action or other lawsuit, arbitration, or administrative, regulatory, or other proceeding in any jurisdiction based on or relating to the Released Claims. The Court finds that issuance of this preliminary injunction is necessary and appropriate in aid of the Court’s jurisdiction over this action. The Court finds no bond is necessary for issuance of this injunction.

([Docket No. 528] Preliminary Approval Order ¶ 10.) “Releasing Party” is defined as “The Settlement Class Representatives, all Settlement Class Members, and their respective heirs, executors, administrators, representatives, agents, lawyers, partners, successors, and assigns.” ([Docket No.

469] Gudmundson Decl., Ex. A, Settlement Agreement § 1.35.) B. Arbitration Actions Brought by Keller’s Clients In 2019, Keller began advertising through Facebook and other websites to

recruit arbitration claimants against CenturyLink. ([Docket No. 513] Unthank Decl. ¶¶ 15, 19-21; Unthank Decl., Exs. C-D.) Keller claims that more than 22,000 CenturyLink customers have engaged its services to bring individual arbitration

claims against CenturyLink. (Unthank Decl. ¶ 51.)

a) Keller’s Interactions with CenturyLink On May 14, 2019, Keller sent a letter to CenturyLink on behalf of “[m]ore than 9,000” clients who had retained Keller to pursue arbitration claims against

CenturyLink. (Unthank Decl. ¶ 30; Unthank Decl., Ex. H.) Two weeks later, Keller sent a letter to CenturyLink identifying “nearly 3,000 additional”

claimants. (Unthank Decl. ¶ 35; Unthank Decl., Ex. I.) On June 12, 2019, CenturyLink requested that Keller provide certain information about the claims that CenturyLink claims to need in order to

evaluate and resolve each claim before proceeding to arbitration, as required by the arbitration contracts. (Unthank Decl. ¶ 38; Unthank Decl., Ex. J.) Keller would not provide information such as account numbers, descriptions of

individual claims, or the amount of actual damages sought be each claimant. (Id. ¶¶ 38-39.) Keller did provide clients’ names, “current physical addresses, email addresses, and phone numbers.” (Id. ¶ 39; Unthank Decl., Ex. K.) Keller stated

that it would not spend “15 minutes” to discuss each claim “on an individual basis” with CenturyLink because “such a pre-demand ‘dialogue’ would consume

more than 3,500 hours.” (Unthank Decl. ¶ 40; Unthank Decl., Ex. K at 2.) CenturyLink asserts that its initial review of Keller’s clients’ claims raised concerns and a need for more information. (Unthank Decl. ¶¶ 42-44.) For

example, CenturyLink could not identify any potential customer account that could be connected with some of Keller’s clients; some clients claimed to receive

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