Boston, Massachusetts 02129 and Kristen E. Dennison, Esquire, Campbell, Campbell, Edwards& Conroy, P.C., 690 Lee Road, Suite 300, Wayne, PA 19087.25. Defendant Vintage Pharmaceuticals, Inc. is an Alabama corporation with aprincipal place of business in Alabama. Defendant regularly conducts business in PhiladelphiaCounty, Pennsylvania.Defendant was involved in the research, testing, manufacture,distribution, marketing, promotion, sale, labeling, and design of metoclopramide detailed below.Defendant may be served with process by registered mail, return receipt requested, upon: JamesM. Campbell, Esquire, Campbell, Campbell, Edwards & Conroy, P.C., One Constitution Plaza,Boston, Massachusetts 02129 and Kristen E. Dennison, Esquire, Campbell, Campbell, Edwards& Conroy, P.C., 690 Lee Road, Suite 300, Wayne, PA 19087.26. Defendant The Harvard Drug Group LLC d/b/a Major Pharmaceuticals, Inc.,Individually is a Michigan corporation with a principal place of business in Michigan.Defendant regularly conducts business in Philadelphia County, Pennsylvania. Defendant wasinvolved in the research, testing, manufacture, distribution, marketing, promotion, sale, labeling,and design of metoclopramide detailed below. Pursuant to Case Management Order No. 1,Defendant may be served with process by registered mail, return receipt requested, upon: C.David Miller, II, Esquire, GARAN LUCOW MILLER, P.C., 1000 Woodbridge Street, Detroit,MI 48207-3192.27. Defendant Pharmaceutical Associates, Inc. is a South Carolina corporation with aprincipal place of business in South Carolina.Defendant regularly conducts business inPhiladelphia County, Pennsylvania.Defendant is a wholly owned subsidiary of DefendantBeach Products, Inc. Defendant was involved in the research, testing, manufacture, distribution,marketing, promotion, sale, labeling, and design of metoclopramide detailed below. Pursuant to- 20 -Case ID: 100101997
Case Management Order No. 1, Defendant may be served with process by registered mail, returnreceipt requested, upon: Daniel J. McCarthy, Esquire, MINTZER SAROWITZ ZERIS LEDVA& MEYERS L.L.P., 1500 Market Street, Suite 4100, Philadelphia, PA 19102.28. Defendant Beach Products, Inc. is a Florida corporation with a principal place ofbusiness in Florida.Defendant regularly conducts business in Philadelphia County,Pennsylvania.Defendant was involved in the research, testing, manufacture, distribution,marketing, promotion, sale, labeling, and design of metoclopramide detailed below. Pursuant toCase Management Order No. 1, Defendant may be served with process by registered mail, returnreceipt requested, upon: Daniel J. McCarthy, Esquire, MINTZER SAROWITZ ZERIS LEDVA& MEYERS L.L.P., 1500 Market Street, Suite 4100, Philadelphia, PA 19102.29. Defendant United Research Laboratories, Inc. a/k/a URL PHARMPRO, LLC andd/b/a URL PHARMA is a Pennsylvania corporation with a principal place of business inPhiladelphia, Pennsylvania. Defendant regularly conducts business in Philadelphia County,Pennsylvania.Defendant was involved in the research, testing, manufacture, distribution,marketing, promotion, sale, labeling, and design of metoclopramide detailed below. Pursuant toCase Management Order No. 1, Defendant may be served with process by registered mail, returnreceipt requested, upon:William J. O’Kane, Jr., Esquire, Archer & Grenier, P.C., OneCentennial Square, Haddonfield, NJ 08033.30. Defendant Mutual Pharmaceutical Company, Inc. is a Pennsylvania corporationwith a principal place of business in Philadelphia, Pennsylvania. Defendant regularly conductsbusiness in Philadelphia County, Pennsylvania. Defendant was involved in the research, testing,manufacture, distribution, marketing, promotion, sale, labeling, and design of metoclopramidedetailed below. Pursuant to Case Management Order No. 1, Defendant may be served with- 21 -Case ID: 100101997
- Page 1 and 2: IN RE ::COURT OF COMMON PLEASPHILAD
- Page 4: Sears Tower - Suite 5500Chicago, IL
- Page 7 and 8: 4 Penn Center, Suite 8001600 John F
- Page 9 and 10: Northstar Rx LLC4971 Southridge Blv
- Page 11 and 12: Richmond Pharmaceuticals, Inc.3510
- Page 13 and 14: Jersey 07940. Defendant regularly c
- Page 15 and 16: 12. Defendant Baxter Healthcare Cor
- Page 17 and 18: with process via The Hague Conventi
- Page 19: Pharmaceuticals USA, Inc. on Decemb
- Page 23 and 24: 34. Defendant Watson Laboratories,
- Page 25 and 26: through its registered agent for se
- Page 27 and 28: 47. Defendant VistaPharm, Inc. is a
- Page 29 and 30: labeling, and design of metoclopram
- Page 31 and 32: metoclopramide not yet known by Pla
- Page 33 and 34: packaging and/or advertising the ph
- Page 35 and 36: 76. In addition, Philadelphia Count
- Page 37 and 38: 87. The ―indications‖ (recommen
- Page 39 and 40: e satisfied that the proposed label
- Page 41 and 42: prescribed by physicians, most of w
- Page 43 and 44: exercise of reasonable care should
- Page 45 and 46: 113. Since 1985, GENERIC DEFENDANTS
- Page 47 and 48: e. independently monitor the sales
- Page 49 and 50: disfigurement, disability, pain and
- Page 51 and 52: care industry and consumers, includ
- Page 53 and 54: associated with the ordinary, expec
- Page 55 and 56: 146. The Reglan and/or generic meto
- Page 57 and 58: 158. Each of the DRUG COMPANY DEFEN
- Page 59 and 60: 22. They failed to implement proper
- Page 61 and 62: 166. As lawful consumers of Reglan
- Page 63 and 64: duration of use - confirming they w
- Page 65 and 66: involuntary movements, aggravation
- Page 67 and 68: DEFENDANTS professed to Plaintiffs
- Page 69 and 70: COUNT VIII - UNFAIR AND DECEPTIVE T
- Page 71 and 72:
loss: the difference between the pr
- Page 73 and 74:
214. BRAND NAME DEFENDANTS knew, or
- Page 75 and 76:
217. Alternatively or in addition,
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224. In addition, DRUG COMPANY DEFE
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237. The representatives of Deceden
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248. Plaintiffs also allege that th
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d) They continued to promote the sa
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(G)Such other relief as is deemed j