For litigators who want to tip the scales.

Our work

Real reports, from real matters.

From personal injury to mass tort, class action to securities fraud. If it lives in the matter, we can report on it, or you can define a report of your own.

Personal Injury

Medical Chronology

Every treatment, provider, and cost, ordered into one timeline from thousands of pages of records.

Smith v. Continental Logistics

29 events · 9 providers · 1,500 pages reviewed

2024-03-14

ER admission, blunt trauma C5–C7

Mercy General Hospital

MR-0421 · p.3
2024-03-22

MRI confirms herniated disc, C6–C7

Mercy Imaging Center

MR-0518 · p.1
2024-04-09

Neurology consult; surgery recommended

Patel, MD

MR-0671 · p.2
2024-07-11

Anterior cervical discectomy and fusion

St. Anne's Surgical, $84,219 billed

MR-1142 · p.4–7
Class Action

Common Course of Conduct

The shared conduct that supports class certification, traced across every named plaintiff.

Garcia v. Meridian Insurance Co.

Named plaintiffs: 4 · Class: 38,400 policyholders

  • Initial claim denied within 14 days, citing §4.2(b)

    All 4 named plaintiffs Garcia ¶34 · Howe ¶29 · Lin ¶31 · Reyes ¶26
  • Reconsideration form mailed to incorrect address on file

    3 of 4 named plaintiffs Garcia ¶41 · Howe ¶38 · Reyes ¶35
  • Identical denial script (verbatim, 327 chars) issued by 3 adjusters

    All 4 named plaintiffs Garcia Ex. 7 · Howe Ex. 4 · Lin Ex. 9 · Reyes Ex. 5
Securities Fraud

Materiality & Scienter Analysis

What the company told the market, set against what it knew internally at the time.

In re Hyperion Technologies Sec. Litig.

Public statement vs. contemporaneous internal record

Q3 2024 Earnings Call

2024-10-28 · CEO, prepared remarks

“We are seeing no measurable softness in enterprise demand, and the Q4 pipeline is the strongest in company history.”

Tr. 10/28/24 · p.4

Board Audit Committee Deck

2024-10-21 · CFO to Audit Committee

“Enterprise pipeline coverage at 0.71x, lowest since Q1 2022. Two top-10 accounts have signaled deferral.”

HYP-BOD-0042 · p.11

Any matter

Define your own

These are examples, not a menu. Describe the report you need, and we build it from your matter.

  • “Show me every place the 30(b)(6) witness contradicts the company's own documents.”

  • “When did the defendant first know about the defect? Trace it across email, board minutes, and chat.”

  • “Audit the privilege log and flag anything withheld without a stated basis.”

Send us yours.

Discovery session is on us. We reply within one business day.