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Tellabs Inc. v. Makor Issues & Rights, 551 U.S. 308 (2007), was a United States Supreme Court case in which the Court ruled on the interpretation of the Private Securities Litigation Reform Act of 1995's requirement of scienter in a civil action in apply to Tellabs and Makor Issues & Rights. [1]
"reasonableness" of a federal prison sentence under United States v. Booker; continuing application of the Federal Sentencing Guidelines: Tellabs, Inc. v. Makor Issues & Rights, Ltd. 551 U.S. 308 (2007) The proper standard for determining whether a plaintiff has alleged a "strong inference" of scienter under the PSLRA: Morse v. Frederick: 551 U ...
Since then, he argued before the U.S. Supreme Court on behalf of Milberg clients in Tellabs, Inc. v. Makor Issues & Rights, [4] and was involved in the briefing in opposition to the writ of certiorari in Pfizer, Inc. v. Abdullahi. [5]
This page was last edited on 19 December 2024, at 15:34 (UTC).; Text is available under the Creative Commons Attribution-ShareAlike 4.0 License; additional terms may apply.
The Private Securities Litigation Reform Act of 1995, Pub. L. 104–67 (text), 109 Stat. 737 (codified as amended in scattered sections of 15 U.S.C.) ("PSLRA") implemented several substantive changes in the United States that have affected certain cases brought under the federal securities laws, including changes related to pleading, discovery, liability, class representation, and awards fees ...
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Opinion counts only include the bench opinions listed above; opinions relating to orders or in-chambers opinions are not included. Agreement with the Court's judgment does not guarantee agreement with the reasoning expressed in its opinion.
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