Opinion · Court of Appeals for the Fifth Circuit

Frances Unger, William Patterson, Lead Gordon Ellis, Lead v. Amedisys Inc.

401 F.3d 316

Type
Opinion
Court
Court of Appeals for the Fifth Circuit
Jurisdiction
Federal
Date
2005-02-17
Topic
general

How later courts describe this case

  • holding that the court's "findings must be made based on adequate admissible evidence to justify class certification"
  • holding that “findings [at the class certification stage] must be made based on adequate admissible evidence to justify class certification”
  • explaining that the district court improperly used three of the Cammer factors, including Cammer 5, "as achecklist rather than an analytical tool”
  • stating that "the court's determination for class certification purposes may be revised (or wholly rejected) by the ultimate factfinder"
  • explaining that the district court improperly used three of the Cammer factors, including Cammer 5, “as a checklist rather than an analytical tool”
  • stating that investors’ reliance on the integrity of the market may be presumed “when a fraudulent misrepresentation or omission impairs the value of a security traded in an efficient market”
  • requiring courts to find facts favoring class certification through the use of "rigorous, though preliminary, standards of proof
  • acknowledging "growing concern that the mere number of market makers, without further analysis, has little to do with market efficiency”

Citator

UpLaw has not yet analyzed Frances Unger, William Patterson, Lead Gordon Ellis, Lead v. Amedisys Inc.. The absence of a flag is not a finding that it is good law.

Cited by
201 opinions