Court filing
Pslra Named Plaintiff Certification (Jie Ling Guo) — Tran v. Beyond Meat (C.D. Cal.)
Filed July 1, 2020 in Tran v. Beyond Meat; one of 4 filings from this case.
Record facts
| Court | U.S. District Court, Central District of California |
|---|---|
| Filed | 2020-07-01 |
U.S. District Court, Central District of California · No. 2:20-cv-00963-MWF-AFM · Doc. 54-1 · 2020-07-01 · Docket on CourtListener
Full text
EXHIBIT A Case 2:20-cv-00963-MWF-AFM Document 54-1 Filed 07/01/20 Page 1 of 3 Page ID #:650 00553461;V1 CERTIFICATION OF NAMED PLAINTIFF PURSUANT TO FEDERAL SECURITIES LAWS JIE LING GUO (“Plaintiff”), declares the following as to the claims asserted under the federal securities laws: 1. Plaintiff has reviewed a complaint filed in this matter and has authorized the filing of a complaint based on similar allegations in a related or amended complaint. Plaintiff retains Bernstein Liebhard LLP and such counsel they deem appropriate to associate with to pursue such action. 2. Plaintiff did not purchase or acquire the security that is the subject of this action at the direction of Plaintiff’s counsel or in order to participate in this private action or any other litigation under the federal securities laws. 3. Plaintiff, individually or as part of a group, is willing to serve as a representative party on behalf of the class, including providing testimony at deposition and trial, if necessary. A lead plaintiff is a representative party who acts on behalf of other class members in directing the action, and whose duties may include testifying at deposition and trial. Plaintiff understands that the litigation is not settled, this is not a claim form, and sharing in any recovery is not dependent upon the execution of this Certification. 4. Plaintiff’s transactions in BEYOND MEAT, INC. securities during the relevant period as specified in the complaint are set forth in “Attachment A” to this Certification. 5. Plaintiff has not sought to serve or served as a representative party in a class action that was filed under the federal securities laws within the three-year period prior to the date of this Certification. 6. Plaintiff will not accept any payment for serving as a representative party on behalf of the class beyond Plaintiff’s pro rata share of any recovery, except as ordered and approved by the court, any award for reasonable costs and expenses (including lost wages) directly relating to the representation of the class. I declare under the penalty of perjury under the laws of the United States of America that the foregoing is true and correct. DATED:__________. JIE LING GUO DocuSign Envelope ID: FB19716C-19F9-4B28-9534-F0C486E9F5BC June 29, 2020 Case 2:20-cv-00963-MWF-AFM Document 54-1 Filed 07/01/20 Page 2 of 3 Page ID #:651 00553461;V1 Attachment A JIE LING GUO Transactions in BEYOND MEAT, INC. TRANSACTION TYPE DATE SHARES PRICE ($) PURCHASE 08/08/19 150 160.8800 SALE 08/15/19 150 153.6541 PURCHASE 08/22/19 150 148.0000 SALE 08/26/19 150 154.5005 PURCHASE 09/24/19 170 141.9017 PURCHASE 01/13/20 8 114.1000 DocuSign Envelope ID: FB19716C-19F9-4B28-9534-F0C486E9F5BC Case 2:20-cv-00963-MWF-AFM Document 54-1 Filed 07/01/20 Page 3 of 3 Page ID #:652
File and source
- File
- gov.uscourts.cacd.771552.54.1.pdf
- Size
- 429,946 bytes
- SHA-256
- 32ec9b73f3177d06eddfcf626be15a642769282e48a46e25622312f1aebf3cce
- Original
- archive.org