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Enron Corp. - University of California | Office of The President

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Class Period false and misleading statements in its analyst research reports and by entering into<br />

fraudulent transactions with <strong>Enron</strong> that were designed to artificially manipulate <strong>Enron</strong>'s publicly<br />

reported financial results, such as the Nigerian Barges transaction. Further, Merrill Lynch, Pierce,<br />

Fenner & Smith, Inc. (as well as its parent, Merrill Lynch & Co., Inc.) acted as the placement agent<br />

for LJM2 Co. Investment LLP, which was known to be engaged in transactions designed to<br />

artificially manipulate <strong>Enron</strong>'s reported financial results as is detailed elsewhere in this Complaint.<br />

Merrill Lynch also acted to further defendants' fraudulent scheme by underwriting <strong>Enron</strong>'s 2/11/99<br />

common stock <strong>of</strong>fering.<br />

106. (a) Defendant Barclays PLC is a large integrated financial services institution that<br />

through known and unknown subsidiaries, divisions and/or affiliates acting as the agent <strong>of</strong> and under<br />

the control <strong>of</strong> Barclays PLC, such as Barclays Bank PLC and Barclays Capital, Inc. (collectively,<br />

"Barclays"), provides commercial and investment banking services, commercial loans to corporate<br />

entities, and advisory services regarding the structuring <strong>of</strong> financial transactions, including engaging<br />

in or helping to structure derivatives and hedging financial transactions, acting as underwriter in the<br />

sale <strong>of</strong> corporate securities to the public and providing investment analysis and opinions to its<br />

clients. Barclays engaged and participated in the scheme to defraud purchasers <strong>of</strong> <strong>Enron</strong> securities<br />

and <strong>Enron</strong>'s course <strong>of</strong> business which operated as a fraud and deceit on purchasers <strong>of</strong> <strong>Enron</strong>'s<br />

securities by rendering all <strong>of</strong> the above services to <strong>Enron</strong> as described in greater detail in the section<br />

<strong>of</strong> this Complaint entitled "Involvement <strong>of</strong> Barclays." In addition to Barclays PLC, the following<br />

subsidiaries, divisions, and/or affiliates, acting at the direction <strong>of</strong> and under the control <strong>of</strong> Barclays<br />

PLC, are specifically named as defendants:<br />

(b) Barclays Bank PLC – under the control <strong>of</strong> Barclays PLC – acted (as is detailed<br />

further in the section <strong>of</strong> this Complaint entitled "Involvement <strong>of</strong> Barclays") to further the defendants'<br />

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