THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS
COUNTY DEPARTMENT, CHANCERY DIVISION
RACHELLE EVANS, ALEXIS SILSBE,
IAN JOHNSON, AERIC BAUMAN,
OLIVER COOPER, IV, GEOFFREY
J.HAAS, JR., LAURA HAAS, and
LEAH SELINGER,
on behalf of themselves
and all others similarly situated,
Case No. 12 CH 03522
FIRST AMENDED
CLASS ACTION COMPLAINT
Plaintiffs,
ILLINOIS INSTITUTE OF TECHNOLOGY,
a not-for-profit corporation, a/k/a CHICAGO-
KENT COLLEGE OF LAW, and DOES 1-20,
Defendants.
To: William T. Eveland, Hal R. Morris, Arnstein & Lehr, LLP, 120 8. Riverside
Plaza, Suite 1200, Chicago, IL 60606
NOTICE OF FILING
PLEASE TAKE NOTICE that on June 8, 2012, I caused to be filed Plaintiff's
First Amended Class Action Complaint, with the Clerk Of The Circuit Court of
Cook County, Chancery Division, a copy of which is attached and hereby served
upon you. od Zo SE- 0
Edward X. Clinton, Jr.
Edward X. Clinton
The Law Offices of Edward X. Clinton, P.C,
111 W. Washington Street, Suite 1437
Chicago, Ilinois 60602
312/357-1515
Attorney No. 35893CERTIFICATE OFR SERVICE
‘The undersigned, a non-attorney, hereby certifies that she caused one copy of the
foregoing Notice Of Filing and Plaintiff's First Amended Class Action Complaint At Law to
be served upon the party listed below by U.S. mail, postage prepaid on this 8% day of June,
2012.
William T. Eveland
Hal R. Morris
Arnstein & Lehr, LLP
120 S. Riverside Plaza
Suite 1200
Chicago, IL 60606
Plary lane
Mary WinchIN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS
COUNTY DEPARTMENT, CHANCERY DIVISION
RACHELLE EVANS, ALEXIS SILSBE,
IAN JOHNSON, AERIC BAUMAN,
OLIVER COOPER, IV, GEOFFREY
J. HAAS, JR., LAURA HAAS, and
LEAH SELINGER,
on behalf of themselves
and all others similarly situated,
Case No. 12 CH 03522
FIRST AMENDED
Plaintiffs, CLASS ACTION COMPLAINT
ILLINOIS INSTITUTE OF TECHNOLOGY,
a not-for-profit corporation, a/k/a CHICAGO-
KENT COLLEGE OF LAW, and DOES 1-20,
Defendants.
FIRST AMENDED
CLASS ACTION COMPLAINT
Plaintiffs, Rachelle Evans, Alexis Silsbe, Ian Johnson, Aeric Bauman, Oliver Cooper, IV,
Geoffrey J. Haas, Laura Haas, and Leah Selinger (collectively and hereinafter “Plaintifis"), by
and through their attorneys allege and complain against Defendant Illinois Institute of
Technology a/k/a Chicago-Kent College of Law (“Kent”) and individual Doe Defendants
(collectively “Defendants”) as follows:
1. INTRODUCTION
1. Plaintiffs bring this action to seek redress for actions, fraudulently or negligently,
committed by Defendants against them.
2. Plaintiffs assert claims:
(For violations of the Illinois Consumer Fraud and Deceptive Business
Practices Act, 815 ILCS 505 et seq.;