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51job, Inc.: Filed Case |
| | This page is dedicated to the 51job, Inc. class action. It contains links to all court documents related to the 51job, Inc. class action that Class Action World has been able to obtain from various class action law firms and other class action information sources. Although the goal of Class Action World is to provide a comprehensive library of all court documents related to the 51job, Inc. class action, it has not been possible to do so. The staff of Class Action World continually seeks to obtain additional court documents related to the 51job, Inc. class action. Therefore, the 51job, Inc. class action case documents that appear on this Filed 51job, Inc. class action case page today, may be supplemented by additional identified 51job, Inc. class action case documents tomorrow. If you do not find the 51job, Inc. class action case document that you are looking for, it would be prudent to periodically visit this 51job, Inc. Filed class action case document page. Class Action World staff updates this 51job, Inc. class action case document page to reflect newly identified documents as expeditiously as possible. However, due to the logistics involved in the process, it may take a few days for newly identified 51job, Inc. class action documents to be reflected on this Filed 51job, Inc. class action page. Where multiple copies of a 51job, Inc. class action case document are available, Class Action World has selected the most legible copy. All 51job, Inc. class action documents identified below are believed to be copies of 51job, Inc. class action case documents actually filed with the courts. However, Class Action World has not authenticated each and every document. Therefore, Class Action World makes no warranty regarding authenticity. | | | | | | | |
| - Memorandum And Order (63 KB)
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK ------------------------------------------------------ x
BRUCE GOPLEN, individually and on behalf of all others similarly situated,
Plaintiff,
MEMORANDUM AND ORDER
-against-
05 Civ. 769 (CSH)
51JOB, INC., DONALD LUCAS, RICK : YAN, and KATHLEEN CHIEN, :
: Defendants. :
------------------------------------------------------ x
ROBERT KEMP IRA, individually and on :
behalf of all others similarly situated,
-against-
Plaintiff,
05 Civ. 974 (CSH)
51JOB, INC., RICK YAN, KATHLEEN : CHIEN, and DONALD L. LUCAS, :
: Defendants. :
------------------------------------------------------ x
TOM FOUGERE, individually and on :
behalf of all others similarly situated, :
: Plaintiff, :
-against-
05 Civ. 1029 (CSH)
51JOB, INC., RICK YAN CHIEN, and KATHLEEN CHIEN
Defendants. : ------------------------------------------------------ x
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- Notice Of Motion Of The Webster Group For Consolidation, Appointment As Lead Plaintiff And Approval Of Selection Of Lead Counsel (226 KB)
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
BRUCE GOPLEN, Individually And On Behalf of :
All Others Similarly Situated, : Case No. 05CV0769 (CSH)
Plaintiff, : CLASS ACTION
vs. :
51 JOB, INC., DONALD LUCAS, RICK YAN, :
and KATHLEEN CHIEN, :
Defendants. :
ROBERT KEMP IRA FBO ROBERT KEMP, :
Individually And On Behalf of All Others : Case No. 05CV974 (UA)
Similarly Situated, :
: CLASS ACTION
Plaintiff, :
vs. :
51 JOB, INC., DONALD LUCAS, RICK YAN, :
and KATHLEEN CHIEN, :
Defendants. :
(Additional Captions Set Forth Below)
NOTICE OF MOTION OF THE WEBSTER GROUP FOR CONSOLIDATION
- Class Action Complaint For Violations Of The Federal Securities Laws (85 KB)
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
ROBERT KEMP IRA FBO ROBERT KEMP, Individually and On Behalf Of All Others Similarly Situated,
Plaintiff,
vs.
51JOB, INC., RICK YAN, KATHLEEN CHIEN and DONALD L. LUCAS,
Defendants.
Case No.
CLASS ACTION COMPLAINT FOR VIOLATIONS OF THE FEDERAL SECURITIES LAWS
JURY TRIAL DEMANDED
Plaintiff has alleged the following based upon the investigation of plaintiff’s counsel, which included a review of United States Securities and Exchange Commission (“SEC”) filings by 51job, Inc. (“51job or the “Company”), as well as regulatory filings and reports, securities analysts reports and advisories about the Company, press releases, and media reports about the Company, and plaintiff believes that substantial additional evidentiary support will exist for the allegations set forth herein after a reasonable opportunity for discovery.
NATURE OF THE ACTION AND SUMMARY OF ALLEGATIONS
1. This is a class action on behalf of all persons and entities who purcha
- Class Action Complaint (0.60 MB)
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
BRUCE GOPLEN, Individually and On Behalf of )
All Others Similarly Situated, ) CIVIL ACTION NO.
Plaintiff, )
vs. ) CLASS ACTION COMPLAINT
51 JOB, INC., DONALD LUCAS, RICK YAN, )
AND, KATHLEEN CHIEN, )
) JURY TRIAL DEMANDED Defendants. )
Plaintiff, Bruce Goplen ("Plaintiff), individually and on behalf of all other persons similarly situated, by his undersigned attorneys, for his complaint against defendants, alleges the following based upon personal knowledge as to himself and his own acts, and information and belief as to all other matters, based upon, inter alia, the investigation conducted by and through his attorneys, which included, among other things, a review of the defendants' public documents, conference calls and announcements made by defendants, United States S
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