Corcoran et al v. CVS Health Corporation

Northern District of California, cand-4:2015-cv-03504

Declaration of Brian Devery of Angeion Group, LLC re: Exclusion Requests filed by Debbie Barrett, Tyler Clark, Robert Garber, Robert Jenks, Darlene McAfee, Stephen Sullivan, Carl Washington.

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UNITED STATES DISTRICT COURT 1 NORTHERN DISTRICT OF CALIFORNIA 2 OAKLAND DIVISION 3 4 Christopher Corcoran, et al., on behalf of Case No. 4:15-cv-03504-YGR-JSC themselves and others similarly situated, 5 DECLARATION OF BRIAN DEVERY OF Plaintiffs, ANGEION GROUP, LLC RE EXCLUSION 6 REQUESTS 7 v. 8 CVS Pharmacy, Inc. 9 Defendant. 10 11 I, Brian Devery, declare as follows: 12 1. I am a Project Manager with Angeion Group, LLC ("Angeion"), the Settlement 13 Administrator retained in this matter, located at 1650 Arch Street, Suite 2210, Philadelphia, PA 14 19103. I am over 21 years of age and am not a party to this action. I have personal knowledge of the 15 facts set forth herein and, if called as a witness, could and would testify competently thereto. 16 2. Angeion was appointed by the Court to serve as the class notice provider pursuant to the 17 Court's November 22, 2019 Order (1) Granting Amended Motion to Substitute Class 18 Representatives and for Certification of the New York and Arizona Classes, and (2) Granting in 19 Part and Denying in Part Motion for Approval of Notice Provider and Class Notice Program (Dkt. 20 No. 407). Angeion provided notice pursuant to the Court's December 3, 2019 Order Approving 21 Forms of Class Notice (Dkt. No. 409). 22 Exclusion Requests 23 3. The deadline for most Class Members to submit a request for exclusion was March 2, 2020. 24 This deadline was extended to May 30, 2020 for certain potential Class Members via the Court's 25 April 3, 2020 Order Granting Plaintiffs' Local Rule 7-11 Administrative Motion to Extend 26 Exclusion Deadline for Certain Class Members (Dkt. No. 430). 27 28 1 DECLARATION OF BRIAN DEVERY 1 4. As of June 1, 2020, Angeion has received 671 requests for exclusion. Of these exclusion 2 requests, 13 are duplicate submissions and 3 were submitted after the applicable deadline. 3 Therefore, there are a total of 655 timely filed, valid exclusions. A list of the names of the individuals 4 requesting exclusion is attached hereto as Exhibit "A". 5 I hereby declare under penalty of perjury that the foregoing is true and correct to the best of 6 my knowledge. 7 8 June 9, 2020 Brian Devery 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 DECLARATION OF BRIAN DEVERY