Underwood et al v. Coinbase Global, Inc.
CHRISTOPHER UNDERWOOD, LOUIS OBERLANDER and ZENEYDA PATIN |
COINBASE GLOBAL, INC., Coinbase, Inc. and Brian Armstrong |
Henry Rodriguez |
1:2021cv08353 |
October 8, 2021 |
US District Court for the Southern District of New York |
Paul A Engelmayer |
Securities/Commodities |
28 U.S.C. § 1331 sv Fed. Question: Securities Violation |
Plaintiff |
Docket Report
This docket was last retrieved on May 1, 2024. A more recent docket listing may be available from PACER.
Document Text |
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Filing 72 CLERK'S JUDGMENT re: #71 Memorandum & Opinion in favor of Coinbase Global, Inc., Coinbase, Inc., Brian Armstrong against Christopher Underwood, Henry Rodriguez, Louis Oberlander, Zeneyda Patin. It is hereby ORDERED, ADJUDGED AND DECREED: That for the reasons stated in the Court's Opinion & Order dated February 1, 2023, the Court has dismissed all claims in the AC. The federal claims are dismissed with prejudice. The state-law claims are dismissed without prejudice; accordingly, the case is closed. (Signed by Clerk of Court Ruby Krajick on 2/1/2023) (Attachments: #1 Right to Appeal) (km) |
Filing 71 OPINION & ORDER re: #58 MOTION to Dismiss the Amended Complaint. filed by Coinbase, Inc., Brian Armstrong, COINBASE GLOBAL, INC., Coinbase Global, Inc.. For the reasons above, the Court dismisses all claims in the AC. The federal claims are dismissed with prejudice. The state-law claims are dismissed without prejudice. The Clerk of Court is respectfully directed to terminate the motion pending at docket number 58, and to close this case. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 2/1/2023) (ks) Transmission to Orders and Judgments Clerk for processing. |
Terminate Transcript Deadlines (km) |
Filing 70 LETTER addressed to Judge Paul A. Engelmayer from Jay B. Kasner dated January 24, 2023 re: Individual Rule 3(J). Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Kasner, Jay) |
Filing 69 LETTER MOTION for Oral Argument addressed to Judge Paul A. Engelmayer from Jay B. Kasner dated August 5, 2022. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Kasner, Jay) |
Filing 68 DECLARATION of Lara A. Flath in Support re: #58 MOTION to Dismiss the Amended Complaint.. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc.. (Attachments: #1 Exhibit 16 - January 31, 2019 User Agreement, #2 Exhibit 17 - December 3, 2019 User Agreement).(Flath, Lara) |
Filing 67 REPLY MEMORANDUM OF LAW in Support re: #58 MOTION to Dismiss the Amended Complaint. . Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Kasner, Jay) |
Filing 66 ORDER granting #65 Letter Motion for Leave to File Excess Pages. Granted. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 7/27/2022) (jca) |
Filing 65 LETTER MOTION for Leave to File Excess Pages addressed to Judge Paul A. Engelmayer from Lara A. Flath dated July 27, 2022. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Flath, Lara) |
Filing 64 ORDER granting #61 Letter Motion for Extension of Time. Granted. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 7/12/2022) (va) |
Set/Reset Deadlines: Replies due by 8/5/2022. (va) |
Filing 63 DECLARATION of Jordan A. Goldstein in Opposition re: #58 MOTION to Dismiss the Amended Complaint.. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Exhibit A - Coinbase Form 10-Q, #2 Exhibit B - Coinbase FAQ).(Goldstein, Jordan) |
Filing 62 MEMORANDUM OF LAW in Opposition re: #58 MOTION to Dismiss the Amended Complaint. . Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 61 LETTER MOTION for Extension of Time of Briefing Schedule on Defendants' Motion to Dismiss [Dkt. 58] addressed to Judge Paul A. Engelmayer from Steven Bloch and Jordan Goldstein dated July 11, 2022. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 60 DECLARATION of Lara A. Flath in Support re: #58 MOTION to Dismiss the Amended Complaint.. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc.. (Attachments: #1 Exhibit 1 Amended Complaint, #2 Exhibit 2 December 20, 2021 User Agreement, #3 Exhibit 3 Stipulation and Order dated February 7, 2022, #4 Exhibit 4 Transcript of February 4, 2022 Hearing, #5 Exhibit 5 Complaint, #6 Exhibit 6 Order on Motion to Appoint Lead Plaintiffs, #7 Exhibit 7 Goldstein Declaration in Further Support of Motion for Temporary Restraining Order, #8 Exhibit 8 Certification of Louis Oberlander, #9 Exhibit 9 Certification of Henry Rodriguez, #10 Exhibit 10 Proposed Order to Show Cause for Temporary Restraining Order, #11 Exhibit 11 Memorandum of Law in Support of Temporary Restraining Order, #12 Exhibit 12 Goldstein Declaration in Support of Temporary Restraining Order, #13 Exhibit 13 Reply in Further Support of Temporary Restraining Order, #14 Exhibit 14 October 2018 User Agreement, #15 Exhibit 15 Coinbase Global, Inc. Form 10-K).(Flath, Lara) |
Filing 59 MEMORANDUM OF LAW in Support re: #58 MOTION to Dismiss the Amended Complaint. . Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Kasner, Jay) |
Filing 58 MOTION to Dismiss the Amended Complaint. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Kasner, Jay) |
Filing 57 ORDER granting #51 Letter Motion for Leave to File Excess Pages. Granted. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 5/4/2022) (tg) |
Filing 56 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Corporate Parent COINBASE GLOBAL, INC. for Coinbase, Inc.. Document filed by Coinbase, Inc...(Kasner, Jay) |
Filing 55 NOTICE OF APPEARANCE by Abigail Elizabeth Davis on behalf of Brian Armstrong, Coinbase, Inc...(Davis, Abigail) |
Filing 54 NOTICE OF APPEARANCE by Alexander C Drylewski on behalf of Brian Armstrong, Coinbase, Inc...(Drylewski, Alexander) |
Filing 53 NOTICE OF APPEARANCE by Lara A. Flath on behalf of Brian Armstrong, Coinbase, Inc...(Flath, Lara) |
Filing 52 NOTICE OF APPEARANCE by Jay B. Kasner on behalf of Brian Armstrong, Coinbase, Inc...(Kasner, Jay) |
Filing 51 LETTER MOTION for Leave to File Excess Pages addressed to Judge Paul A. Engelmayer from Lara A. Flath dated May 3, 2022. Document filed by Brian Armstrong, Coinbase Global, Inc., Coinbase, Inc...(Flath, Lara) |
NOTICE OF REDESIGNATION TO ANOTHER MAGISTRATE JUDGE. The above entitled action has been redesignated to Magistrate Judge Valerie Figueredo. Please note that this is a reassignment of the designation only. (sac) |
Filing 50 MEMO ENDORSEMENT on re: #49 Letter, filed by Coinbase, Inc., Louis Oberlander, Brian Armstrong, Henry Rodriguez, Christopher Underwood. ENDORSEMENT: SO ORDERED. Brian Armstrong answer due 5/10/2022; Coinbase, Inc. answer due 5/10/2022.( Responses due by 7/9/2022, Replies due by 8/3/2022.) (Signed by Judge Paul A. Engelmayer on 3/29/2022) (tg) |
Filing 49 JOINT LETTER addressed to Judge Paul A. Engelmayer from Jordan A. Goldstein and Lara A. Flath dated March 18, 2022 re: Updated Briefing Schedule. Document filed by Brian Armstrong, Coinbase, Inc., Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 48 PROPOSED STIPULATION AND ORDER. Document filed by Brian Armstrong, Coinbase, Inc., Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 47 ELECTRONIC SUMMONS ISSUED as to Coinbase, Inc...(gp) |
Filing 46 ELECTRONIC SUMMONS ISSUED as to Brian Armstrong..(gp) |
Filing 45 REQUEST FOR ISSUANCE OF SUMMONS as to Brian Armstrong, re: #43 Amended Complaint,. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 44 REQUEST FOR ISSUANCE OF SUMMONS as to Coinbase, Inc., re: #43 Amended Complaint,. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 43 AMENDED COMPLAINT amending #1 Complaint, against Coinbase Global, Inc., Coinbase, Inc., Brian Armstrong with JURY DEMAND.Document filed by Christopher Underwood, Henry Rodriguez, Louis Oberlander. Related document: #1 Complaint,..(Goldstein, Jordan) |
Filing 42 NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a CONFERENCE proceeding held on 2/4/22 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days....(Moya, Goretti) |
Filing 41 TRANSCRIPT of Proceedings re: CONFERENCE held on 2/4/2022 before Judge Paul A. Engelmayer. Court Reporter/Transcriber: Sharonda Jones, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 3/14/2022. Redacted Transcript Deadline set for 3/24/2022. Release of Transcript Restriction set for 5/23/2022..(Moya, Goretti) |
Filing 40 NOTICE OF CHANGE OF ADDRESS by Jordan Ari Goldstein on behalf of Louis Oberlander, Henry Rodriguez, Christopher Underwood. New Address: Selendy Gay Elsberg PLLC,..(Goldstein, Jordan) |
Filing 39 STIPULATION AND ORDER. For the purposes of only this Action and a related action or proceeding and in reliance on the above representations of Lead Plaintiffs and without prejudice to the rights of Global or Coinbase, Inc. in any other unrelated action or proceeding, neither Global nor Coinbase, Inc. will in this Action or in a related action or proceeding seek to apply ( or cause another entity to seek to apply) the dispute resolution provisions of the updated Coinbase, Inc. User Agreement to the Lead Plaintiffs or any other putative class member who was a customer of Coinbase, Inc. on or before January 31, 2022 (for purposes of this Stipulation and Proposed Order, a "related action or proceeding" shall mean a proceeding that results from a transfer by a court or agreement of the parties of this Action to a different venue or arbitral forum); The Parties reserve all rights with respect to the versions of the Coinbase, Inc. User Agreements that existed prior to the January 31, 2022 User Agreement, including but not limited to the enforceability and applicability of any such agreements, as applied to the claims asserted in this Action; 3. Nothing about this stipulation shall affect the rights of Global or Coinbase, Inc. in any unrelated action or unrelated proceeding to seek to enforce the terms of the dispute resolution provisions of the updated User Agreement including with respect to the Lead Plaintiffs or any putative class member; and Plaintiffs voluntarily withdraw the Motion as moot, and the withdrawal of the Motion shall be without prejudice. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 2/7/22) (yv) |
Filing 38 JOINT LETTER addressed to Judge Paul A. Engelmayer from Jordan A. Goldstein and Lara A. Flath dated February 7, 2022 re: Stipulation and Proposed Order. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Stipulation and Proposed Order).(Goldstein, Jordan) |
Filing 37 ORDER: The Court has received a request to open the courtroom phone line during the oral argument on plaintiffs' application for emergency relief scheduled for today at 2 p.m. The Court grants this request. Members of the public who are interested in auditing today's proceeding may dial into the Court's dedicated conference line at (888) 363-4749, and enter Access Code 468-4906, followed by the pound(#) key. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 2/4/2022) (va) |
Minute Entry for proceedings held before Judge Paul A. Engelmayer: Oral Argument held on 2/4/2022. Plaintiff's counsel present. Defense counsel present. Court reporter present. (ajs) |
Filing 36 SUPPLEMENTAL RESPONSE . Document filed by Coinbase Global, Inc.. (Attachments: #1 Appendix).(Flath, Lara) |
Filing 35 DECLARATION of Suellen Black (Supplemental) . Document filed by Coinbase Global, Inc.. (Attachments: #1 Schedule 1, #2 Exhibit 1 - September 14, 2017 User Agreement, #3 Exhibit 2 - March 12, 2018 User Agreement, #4 Exhibit 3 - March 19, 2018 User Agreement, #5 Exhibit 4 April 13, 2018 User Agreement, #6 Exhibit 5 - June 29, 2018 User Agreement, #7 Exhibit 6 - July 31, 2018 User Agreement, #8 Exhibit 7 - August 3, 2018 User Agreement, #9 Exhibit 8 - October 11, 2018 User Agreement, #10 Exhibit 9 - October 23, 2018 User Agreement, #11 Exhibit 10 - November 9, 2018 User Agreement, #12 Exhibit 11 - December 27, 2018 User Agreement, #13 Exhibit 12 - January 31, 2019 User Agreement, #14 Exhibit 13 - January 31, 2019 User Agreement, #15 Exhibit 14 - September 30, 2019 User Agreement, #16 Exhibit 15 - October 1, 2019 User Agreement, #17 Exhibit 16 - October 2, 2019 User Agreement, #18 Exhibit 17 - October 15, 2019 User Agreement, #19 Exhibit 18 - October 24, 2019 User Agreement, #20 Exhibit 19 - November 5, 2019 User Agreement, #21 Exhibit 20 November 5, 2019 User Agreement, #22 Exhibit 21 - November 6, 2019 User Agreement, #23 Exhibit 22 - November 20, 2019 User Agreement, #24 Exhibit 23 - December 3, 2019 User Agreement, #25 Exhibit 24 - May 18, 2020 User Agreement, #26 Exhibit 25 - May 21, 2020 User Agreement, #27 Exhibit 26 - September 23, 2020 User Agreement, #28 Exhibit 27 - September 29, 2020 User Agreement, #29 Exhibit 28 - December 8, 2020 User Agreement, #30 Exhibit 29 - December 9, 2020 User Agreement, #31 Exhibit 30 - December 9, 2020 User Agreement, #32 Exhibit 31 - December 18, 2020 User Agreement, #33 Exhibit 32 - December 27, 2018 Email).(Flath, Lara) |
Filing 34 ORDER: To assist the Court in its preparation for oral argument this Friday, February 2, 2022, the Court directs defendant, by February 3, 2022, at 3pm, to file a submission providing the following additional information and/or attaching the following materials: 1. Please provide any intervening versions of the Coinbase User Agreement subsequent to the August 2017 version and prior to the December 2020 version. 2. Please identify which portions of each version of the User Agreements define the term "Coinbase Services," as that tem1 relates to the scope of the User Agreement. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 2/2/2022) (jca) |
Filing 33 ORDER: The Court will hold argument on the pending motion on Friday, February 4, 2022 at 2 p.m. in Courtroom 1305 at the Thurgood Marshall U.S. Courthouse, 40 Centre Street, New York, New York 10007. Participants are directed to review the District's COVID-19 protocols for courthouse entry, which are available online at https://www.nysd.uscourts.gov/covid-19-coronavirus, to ensure that they will be able to gain access to the courthouse. ( Oral Argument set for 2/4/2022 at 02:00 PM in Courtroom 1305, 40 Centre Street, New York, NY 10007 before Judge Paul A. Engelmayer.) (Signed by Judge Paul A. Engelmayer on 1/31/2022) (va) |
Set/Reset Deadlines: Amended Pleadings due by 6/9/2022. Responses due by 10/7/2022 Replies due by 11/11/2022. (tg) |
Filing 32 DECLARATION of Jordan A. Goldstein in Support re: #24 Proposed Order to Show Cause With Emergency Relief,. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Exhibit I - 2017.08.23 Coinbase User Agreement).(Goldstein, Jordan) |
Filing 31 REPLY MEMORANDUM OF LAW in Support re: #24 Proposed Order to Show Cause With Emergency Relief, . Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 30 MEMORANDUM OF LAW in Opposition re: #24 Proposed Order to Show Cause With Emergency Relief, . Document filed by Coinbase Global, Inc.. (Attachments: #1 Appendix).(Flath, Lara) |
Filing 29 DECLARATION of Suellen Black in Opposition re: #24 Proposed Order to Show Cause With Emergency Relief,. Document filed by Coinbase Global, Inc.. (Attachments: #1 Exhibit A - Current User Agreement, #2 Exhibit B Prior User Agreement, #3 Exhibit C January 26, 2022 email, #4 Exhibit D Updated User Agreement, #5 Exhibit E Help center article).(Flath, Lara) |
Filing 28 DECLARATION of Lara A. Flath in Opposition re: #24 Proposed Order to Show Cause With Emergency Relief,. Document filed by Coinbase Global, Inc.. (Attachments: #1 Exhibit A - January 26, 2022 Letter from Steven L. Bloch and Jordan A. Goldstein, #2 Exhibit B January 27, 2022 Letter from Lara A. Flath, #3 Exhibit C January 27, 2022 Email from Jordan Goldstein, #4 Exhibit D January 28, 2022 Email from Lara A. Flath, #5 Exhibit E January 28, 2022 Email from Jordan Goldstein, #6 Exhibit F January 28, 2022 Email from Lara A. Flath, #7 Exhibit G January 28, 2022 Email from Jordan Goldstein, #8 Exhibit H January 29, 2022 Email from Lara A. Flath, #9 Exhibit I January 30, 2022 Email from Jordan Goldstein, #10 Exhibit J - Coinbase Global, Inc. Form 10-Q).(Flath, Lara) |
Filing 27 ORDER: The Court has received plaintiffs' motion for a temporary restraining order, regarding amendments to defendant Coinbase's user agreement that plaintiffs represent are to take place on Monday, January 31, 2022, with potential effects on this pending litigation. See Dkts. 2426. Defendant's response is due Sunday, January 30, 2022, by 4pm; and plaintiffs' reply, if any, is due Sunday, January 30, 2022, by 10pm. In addition to being filed on ECF, these submissions are to be emailed, in full, to the Court's email address, which is engelmayernysdchambers@nysd.uscourts.gov. The Court will thereafter determine whether a hearing is merited before ruling on the application for temporary relief. The Court encourages counsel to confer urgently to determine whether a delay of the effective date of defendant's user-agreement amendments is attainable, so as to give the Court more time to consider the issues presented by plaintiffs' application. SO ORDERED. ( Responses due by 1/30/202. Replies due by 1/30/2022.) (Signed by Judge Paul A. Engelmayer on 1/28/2022) (va) |
Filing 26 DECLARATION of Jordan A. Goldstein in Support re: #24 Proposed Order to Show Cause With Emergency Relief,. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Exhibit A - January 25, 2022 Email from Defendant to Lead Plaintiffs and Certain Other Members of the Putative Class, #2 Exhibit B - Proposed Amendment to Coinbase User Agreement, #3 Exhibit C - Redline of Proposed Amended User Agreement, #4 Exhibit D - Coinbase Notice to Users re Amended User Agreement, #5 Exhibit E - January 26, 2022 Letter from Plaintiffs to Defendants Counsel, #6 Exhibit F - January 27, 2022 Defendants Response to January 26, 2022 Letter, #7 Exhibit G - January 27, 2022 Email from Plaintiffs to Defendant re Plaintiffs Intention to Move for TRO, #8 Exhibit H - January 28, 2022 Correspondence Between Plaintiffs and Defendant).(Goldstein, Jordan) |
Filing 25 MEMORANDUM OF LAW in Support re: #24 Proposed Order to Show Cause With Emergency Relief, . Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 24 PROPOSED ORDER TO SHOW CAUSE WITH EMERGENCY RELIEF. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) Proposed Order to Show Cause to be reviewed by Clerk's Office staff. |
***NOTICE TO COURT REGARDING PROPOSED ORDER TO SHOW CAUSE WITH EMERGENCY RELIEF. Document No. #24 Proposed Order to Show Cause With Emergency Relief, was reviewed and approved as to form. (dt) |
Filing 23 MEMO ENDORSEMENT on re: #22 Letter, filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. ENDORSEMENT: Granted. If defendant moves to dismiss, Lead Plaintiffs may also amend the Consolidated Amended Complaint. In that event, the schedule in footnote 1 of this order will govern the subsequent briefing. SO ORDERED. ( Amended Pleadings due by 6/9/2022., Responses due by 10/7/2022, Replies due by 11/11/2022.) (Signed by Judge Paul A. Engelmayer on 1/25/2022) (tg) Modified on 1/31/2022 (tg). |
Filing 22 JOINT LETTER addressed to Judge Paul A. Engelmayer from Jordan A. Goldstein and Jay B. Kasner dated January 24, 2022 re: Schedule for Amended Complaint and Responsive Briefing per January 11, 2022 Order [Dkt. 21]. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 21 ORDER granting #15 Motion to Appoint Christopher Underwood, Louis Oberlander, Henry Rodriguez as Lead Plaintiff(s). For the reasons set out above, the Court grants Underwood, Oberlander, and Rodriguez's motion for appointment as lead plaintiffs, and appoints SGT and Selendy & Gay as co-lead counsel. The Clerk of the Court is respectfully directed to terminate the motion pending at docket entry 15. The Court directs the parties to meet and confer and, by January 25, 2022, to file a joint letter setting out an efficient proposed schedule for next steps in this case, including proposed dates for the filing of (1) a consolidated amended complaint and (2) defendants' response. If defendant anticipates that its response will take the form of a motion to dismiss, the parties shall include proposed dates for the opposition and reply briefs as well. SO ORDERED. (Signed by Judge Paul A. Engelmayer on 1/11/2022) (va) |
***NOTICE TO COURT REGARDING PROPOSED ORDER. Document No. #16 Proposed Order was reviewed and approved as to form. (km) |
Filing 20 NOTICE OF APPEARANCE by Mitchell D. Nobel on behalf of Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Nobel, Mitchell) |
Filing 19 DECLARATION of Jordan A. Goldstein in Support re: #15 MOTION to Appoint Louis Oberlander, Henry Rodriguez, and Christopher Underwood to serve as lead plaintiff(s) and to approve of selection of co-lead counsel.. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Exhibit A - 2021.12.13 Certification of Plaintiff Louis Oberlander, #2 Exhibit A-1 - Plaintiff Louis Oberlander Loss Summary, #3 Exhibit B - 2021.12.13 Certification of Plaintiff Henry Rodriguez, #4 Exhibit B-1 - Plaintiff Henry Rodriguez Loss Summary, #5 Exhibit C - 2021.12.13 Certification of Plaintiff Christopher Underwood, #6 Exhibit C-1 - Plaintiff Christopher Underwood Loss Summary, #7 Exhibit D - Selendy & Gay Firm Resume).(Goldstein, Jordan) |
Filing 18 DECLARATION of Steven L. Bloch in Support re: #15 MOTION to Appoint Louis Oberlander, Henry Rodriguez, and Christopher Underwood to serve as lead plaintiff(s) and to approve of selection of co-lead counsel.. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. (Attachments: #1 Exhibit A - Press Release, #2 Exhibit B - SGT Resume).(Sloss, Ian) |
Filing 17 MEMORANDUM OF LAW in Support re: #15 MOTION to Appoint Louis Oberlander, Henry Rodriguez, and Christopher Underwood to serve as lead plaintiff(s) and to approve of selection of co-lead counsel. . Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 16 PROPOSED ORDER. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood. Related Document Number: #15 ..(Goldstein, Jordan) Proposed Order to be reviewed by Clerk's Office staff. |
Filing 15 MOTION to Appoint Louis Oberlander, Henry Rodriguez, and Christopher Underwood to serve as lead plaintiff(s) and to approve of selection of co-lead counsel. Document filed by Louis Oberlander, Henry Rodriguez, Christopher Underwood..(Goldstein, Jordan) |
Filing 14 NOTICE OF APPEARANCE by Jordan Ari Goldstein on behalf of Louis Oberlander, Christopher Underwood, Henry Rodriguez..(Goldstein, Jordan) |
Filing 13 ORDER granting #11 Letter Motion for Extension of Time. Granted. SO ORDERED.. (Signed by Judge Paul A. Engelmayer on 11/2/2021) (kv) |
Filing 12 NOTICE OF APPEARANCE by Steven Lawrence Bloch on behalf of Louis Oberlander, Zeneyda Patin, Christopher Underwood..(Bloch, Steven) |
Filing 11 LETTER MOTION for Extension of Time to Answer, Move, or Otherwise Respond to the Complaint addressed to Judge Paul A. Engelmayer from Jay B. Kasner dated November 1, 2021. Document filed by Coinbase Global, Inc...(Kasner, Jay) |
Filing 10 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Coinbase Global, Inc...(Kasner, Jay) |
Filing 9 NOTICE OF APPEARANCE by Abigail Elizabeth Davis on behalf of Coinbase Global, Inc...(Davis, Abigail) |
Filing 8 NOTICE OF APPEARANCE by Alexander C Drylewski on behalf of Coinbase Global, Inc...(Drylewski, Alexander) |
Filing 7 NOTICE OF APPEARANCE by Lara A. Flath on behalf of Coinbase Global, Inc...(Flath, Lara) |
Filing 6 NOTICE OF APPEARANCE by Jay B. Kasner on behalf of Coinbase Global, Inc...(Kasner, Jay) |
Filing 5 AFFIDAVIT OF SERVICE of Summons and Complaint,. Coinbase Global, Inc. served on 10/13/2021, answer due 11/3/2021. Service was accepted by PATRICK DUFFY, REGISTERED AGENT. Document filed by Christopher Underwood; Zeneyda Patin; Louis Oberlander..(Sloss, Ian) |
Filing 4 ELECTRONIC SUMMONS ISSUED as to Coinbase Global, Inc...(gp) |
***NOTICE TO ATTORNEY REGARDING PARTY MODIFICATION. Notice to attorney Ian Wise Sloss. The party information for the following party/parties has been modified: All parties. The information for the party/parties has been modified for the following reason/reasons: party name was entered in all caps. (gp) |
CASE OPENING INITIAL ASSIGNMENT NOTICE: The above-entitled action is assigned to Judge Paul A. Engelmayer. Please download and review the Individual Practices of the assigned District Judge, located at #https://nysd.uscourts.gov/judges/district-judges. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. Please download and review the ECF Rules and Instructions, located at #https://nysd.uscourts.gov/rules/ecf-related-instructions..(gp) |
Case Designated ECF. (gp) |
Magistrate Judge Debra C. Freeman is so designated. Pursuant to 28 U.S.C. Section 636(c) and Fed. R. Civ. P. 73(b)(1) parties are notified that they may consent to proceed before a United States Magistrate Judge. Parties who wish to consent may access the necessary form at the following link: #https://nysd.uscourts.gov/sites/default/files/2018-06/AO-3.pdf. (gp) |
Filing 3 REQUEST FOR ISSUANCE OF SUMMONS as to COINBASE GLOBAL, INC., re: #1 Complaint,. Document filed by LOUIS OBERLANDER, ZENEYDA PATIN, CHRISTOPHER UNDERWOOD..(Sloss, Ian) |
Filing 2 CIVIL COVER SHEET filed..(Sloss, Ian) |
Filing 1 COMPLAINT against COINBASE GLOBAL, INC.. (Filing Fee $ 402.00, Receipt Number ANYSDC-25175095)Document filed by CHRISTOPHER UNDERWOOD, ZENEYDA PATIN, LOUIS OBERLANDER. (Attachments: #1 C UNDERWOOD CERTIFICATION, #2 L OBERLANDER CERTIFICATION, #3 Z PATIN CERTIFICATION).(Sloss, Ian) |
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