On June 21, 2011, Judge Kaplan in the Southern District of New York denied several potential plaintiffs’ motions to intervene in this action against Indymac on the basis that the intervenors’ claims were time-barred. In this putative class action alleging misrepresentations and omissions in RMBS offering documents, the court had previously dismissed claims based on certain offerings, holding that the lead plaintiff lacked standing to assert claims based on certificates it had never purchased. In an effort to cure these standing issues, several new potential plaintiffs moved to intervene. The intervenors had argued that the ’33 Act statute of repose was tolled by the present lawsuit under the U.S. Supreme Court’s holding in American Pipe Construction Co. v. Utah. Judge Kaplan noted that although some cases had reached a different result, he agreed with Judge Castel’s recent ruling in Footbridge v. Countrywide that neither American Pipe tolling nor any other theory would suffice to toll the three-year statute of repose set forth in Section 13 of the ’33 Act. Decision.