Skip to main content
Harvard Law School Forum on Corporate Governance

Delaware Court of Chancery Dismisses Stockholder Claims as Derivative, Unripe, and Untimely

Sidley counsel Robin Wechkin and managing associate Madison Ferraro analyze a recent Delaware Court of Chancery decision dismissing all stockholder claims in The Gregory M. Raiff 2000 Trust v. Jenzabar, Inc., holding that the claims were derivative, unripe, time-barred, or otherwise legally deficient. The article highlights the court's reaffirmation that dilution claims are generally derivative, clarifies the distinction between indemnification and advancement, and underscores the importance of timely and properly structured stockholder litigation under Delaware law.