028.pdf

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Extraction Summary

5
People
3
Organizations
2
Locations
3
Events
2
Relationships
1
Quotes

Document Information

Type: Legal filing (notice of motion)
File Size: 123 KB
Summary

This document is a Notice of Motion filed on July 6, 2023, by attorneys for James E. Staley in the U.S. District Court for the Southern District of New York. It requests the dismissal of an amended stockholder derivative complaint involving JPMorgan Chase & Co. The filing outlines the legal basis (Rules 12(b)(6) and 23.1(b)) and sets the schedule for subsequent responses and replies.

People (5)

Name Role Context
James E. Staley Defendant
Former executive filing a motion to dismiss a stockholder derivative complaint.
John McNichols Attorney
Counsel for James Edward Staley, Williams & Connolly LLP.
Brendan V. Sullivan Jr. Attorney
Counsel for James Edward Staley, Williams & Connolly LLP.
Zachary K. Warren Attorney
Counsel for James Edward Staley, Williams & Connolly LLP.
Stephen L. Wohlgemuth Attorney
Counsel for James Edward Staley, Williams & Connolly LLP.

Organizations (3)

Name Type Context
United States District Court for the Southern District of New York
Court where the case is filed.
JPMorgan Chase & Co.
Nominal Defendant in the derivative litigation.
Williams & Connolly LLP
Law firm representing Defendant James E. Staley.

Timeline (3 events)

2023-07-06
Filing of Defendant James E. Staley's Notice of Motion to Dismiss.
Southern District of New York
2023-07-20
Deadline for Plaintiffs' response to the motion.
Southern District of New York
Plaintiffs
2023-07-29
Deadline for Defendants' reply briefs.
Southern District of New York
Defendants

Locations (2)

Location Context
Jurisdiction of the court.
Location of Williams & Connolly LLP (680 Maine Avenue SW).

Relationships (2)

James E. Staley Attorney-Client John McNichols
John McNichols listed as Counsel for Defendant James Edward Staley
Staley is a defendant in derivative litigation involving JPMorgan Chase & Co.

Key Quotes (1)

"Defendant James E. Staley hereby respectfully requests that the Court dismiss all claims in the Complaint filed by Plaintiffs on behalf of Nominal Defendant JPMorgan Chase & Co."
Source
028.pdf
Quote #1

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