![Defendant Summary Sheet](https://data.docslib.org/img/3a60ab92a6e30910dab9bd827208bcff-1.webp)
DEFENDANTS THAT CONSPIRED TO DEPRESS NURSE WAGES Albany 1. Defendant Albany Medical Center, located at 43 New Scotland Avenue, Albany, New York 12208. 2. Defendant Seton Health System, located at 1300 Massachusetts Avenue, Troy, New York 12180, owns and operates St. Mary’s Hospital, located at 427 Guy Park Avenue, Amsterdam, New York 12010. 3. Defendant St. Peters is a New York corporation with its principal place of business located at 315 South Manning Boulevard, Albany, New York 12208. 4. Defendant Ellis Hospital (“Ellis”) is a New York corporation with its principal place of business located at 1101 Nott Street, Schenectady, New York 12308. 5. Defendant Northeast Health, Inc. (“Northeast”) is a New York corporation with its principal place of business located at 2212 Burdett Avenue, Troy, New York 12180. Northeast is a health care network that owns and operates Samaritan Hospital (“Samaritan”), located at 2215 Burdett Avenue, Troy, New York 12180 and Albany Memorial Hospital (“Albany Memorial”), located at 600 Northern Medical Boulevard, Albany, New York. Chicago 1. Defendant Advocate Health Care (“Advocate”) has its headquarters at 2025 Windsor Drive in Oak Brook, Illinois 60523. Among the hospitals Advocate operates in the Chicago area are: (a) Advocate Illinois Masonic Medical Center; (b) Advocate Trinity Hospital; (c) Advocate Lutheran General Hospital, Park Ridge, Illinois; (d) Advocate Good Shepard Hospital, in Barrington, Illinois; (e) Advocate Christ Medical Center, Oak Lawn, Illinois; (f) Advocate South Suburban Hospital, Hazel Crest, Illinois; (g) Advocate Good Samaritan Hospital, Barrington, Illinois; and (h) Advocate Bethany Hospital, located in Chicago. 2. Defendant Children’s Memorial Hospital (“CMH”) located at 2300 Children’s Place, Chicago, Illinois 60614-3394. 3. Defendant Evanston Northwestern Healthcare (“ENH”) has its headquarters at 2650 Ridge Avenue, Evanston, Illinois 60201. ENH operates three hospitals in the Chicago area: (a) Evanston Hospital, its flagship operation; (b) Glenbrook Hospital; and (c) Highland Park Hospital. 4. Defendant Resurrection Health Care is the parent corporation of entities that operate nine hospitals in the Chicago area, including Our Lady of the Resurrection Medical Center, Resurrection Medical Center (near O’Hare Airport), St. Joseph Hospital (serving Chicago’s north side), Saint Elizabeth Hospital (in Chicago), and Saint Mary of Nazareth Hospital Center. 5. Defendant University of Chicago Hospitals (“UCH”) is located at 5841 S. Maryland Avenue, Chicago, Illinois 60637. UCH operates Bernard A. Mitchell Hospital (a primary adult patient care facility), the University of Chicago Comer Children’s Hospital, and the Chicago Lying-in Hospital (a maternity facility) Detroit 1. Defendant St. John Health (“St. John”), with its principal place of business at 28000 Dequindre, Warren, Michigan 48092, is comprised of numerous hospitals and medical facilities throughout southeastern Michigan. Among the hospitals St. John operates in the Detroit area are: (a) St. John Detroit Riverview Hospital, Detroit, 2 Michigan; (b) St. John Hospital and Medical Center, Detroit, Michigan; (c) St. John River District Hospital, East China, Michigan; (d) St. John North Shores Hospital, Harrison Township, Michigan; and (e) St. John Macomb Hospital, Warren, Michigan. 2. Defendant Henry Ford Health System (“Henry Ford Health”) is a Michigan corporation with its principal place of business located at 1 Ford Place, Detroit, Michigan 48202. Among the hospitals owned and operated by Henry Ford Health in the Detroit area are: (a) Henry Ford Hospital, Detroit, Michigan; (b) Henry Ford Wyandotte Hospital, Wyandotte, Michigan; (c) Henry Ford Bi-County Hospital, Warren, Michigan; and (d) Kingswood Hospital, Ferndale, Michigan. 3. Defendant Bon Secours Cottage Health Services, headquartered at 468 Cadieux Road, Grosse Pointe, Michigan 48230, operates Cottage Hospital, Grosse Pointe Farms, Michigan, and Bon Secours Hospital, Grosse Pointe, Michigan. 4. Defendant Detroit Medical Center (“Detroit Medical”) is a Michigan corporation with its principal place of business located at 3663 Woodward Avenue, Suite 200, Detroit, Michigan 48201. Detroit Medical owns and operates several hospitals and health care facilities in the Detroit area, including, but not limited to (a) Harper University Hospital, Detroit, Michigan; (b) Sinai-Grace Hospital, Detroit, Michigan; (c) Children’s Hospital of Michigan, Detroit, Michigan; and (d) Detroit Receiving Hospital/University Health Center, Detroit, Michigan. 5. Defendant Oakwood Healthcare, Incorporated (“Oakwood”) is a Michigan corporation with its principal place of business located at 23400 Michigan Avenue, Dearborn, Michigan 48124. Among Oakwood’s Detroit-area hospitals are (a) Oakwood Annapolis Hospital, Wayne, Michigan; (b) Oakwood Heritage Hospital, Taylor, 3 Michigan; (c) Oakwood Hospital & Medical Center, Dearborn, Michigan; and (d) Oakwood Southshore Medical Center, Trenton, Michigan. 6. Defendant Mount Clemens Hospital, Inc. is a Michigan corporation, located at 1000 Harrington Street, Mount Clemens, Michigan 48043. 7. Defendant William Beaumont Hospital, d/b/a Beaumont Hospitals, is a Michigan corporation, located at 3601 W. 13 Mile Road, Royal Oak, Michigan 48073. Among the hospitals and health care facilities that William Beaumont Hospital operates in the Detroit area are William Beaumont Hospital, Royal Oak, Michigan and William Beaumont Hospital, Troy, Michigan. 8. Trinity Health Corporation (“Trinity Health”) is an Indiana corporation with registered headquarters at 27870 Cabot Drive, Novi, Michigan 88377. Trinity Health owns and operates several health care facilities in the Detroit area, including, but not limited to, St. Joseph Mercy, Oakland, Pontiac, Michigan and St. Mary Mercy Hospital, Rochester, Michigan. Memphis 1. Defendant Baptist Memorial Healthcare Corporation (“Baptist Memorial”) is a healthcare system that operates hospitals and health care facilities within the Memphis MSA, including the following hospitals: Baptist Memorial Hospital – Memphis (“Baptist Hospital”), located at 6019 Walnut Grove Road, Memphis, Tennessee 38120; Baptist Memorial Hospital for Women (“Baptist for Women”), located at 6255 Humphreys Boulevard, Memphis, Tennessee 38120; Baptist Memorial Hospital – DeSoto (“Baptist DeSoto”), located at 7601 Southcrest Parkway, Southaven, Mississippi 38671; Baptist Rehabilitation – Germantown (“Baptist Germantown”), located at 2100 Exeter 4 Road, Germantown, Tennessee 38131; Baptist Memorial Hospital – Tipton, (“Baptist Tipton”) located at 1995 Highway 51 South, Covington, Tennessee 38019. 2. Defendant Methodist Healthcare is a Tennessee corporation with its principal place of business located at 1265 Union Avenue, Suite 700, Memphis, Tennessee 38104. Methodist Healthcare is a healthcare system, which operates hospitals within the MSA, including Methodist University Hospital (“Methodist Hospital”), which is located at 1265 Union Avenue, Suite 700, Memphis, Tennessee 38014. Methodist Hospital is a private hospital located within the Memphis MSA. It has a 1281 bed capacity and employs approximately 2676 RNs. Methodist Healthcare also operates other hospitals within the Memphis MSA, including the following hospitals: Methodist North Hospital (“Methodist North”), located at 3960 New Convington Pike, Memphis, Tennessee 38128; Methodist South Hospital (“Methodist South”), located at 1300 Wesley Drive, Memphis, Tennessee 38116; and Methodist LeBonheur Germantown Hospital (“Methodist Germantown”), located at 7691 Poplar Avenue, Germantown, Tennessee 38138; and Methodist Fayette Hospital (“Methodist Fayette”), located at 214 Lakeview Drive, Somerville, Tennessee 38068. San Antonio 1. Defendant Hospital Corporation of America, Inc. (“HCA”) is a Delaware corporation with its principal place of business at One Park Plaza, Nashville, Tennessee. HCA, through its affiliated entities, operates four hospitals in the San Antonio MSA through Methodist Healthcare System of San Antonio, Ltd. L.L.P.: (a) Methodist Hospital, located at 7700 Floyd Curl Drive, San Antonio, Texas, 78229; (b) the San Antonio Metropolitan Methodist Hospital, located at 1310 McCullough Avenue San 5 Antonio, Texas 78212; (c) the Methodist Children’s Hospital of South Texas, located at 7700 Floyd Curl Drive, 520 Madison Oak Drive, San Antonio, Texas 78258; (d) the Methodist Ambulatory Surgery Hospital Northwest, located at 9150 Huebner Road, Ste 100, San Antonio, Texas 78240; and other facilities within the San Antonio MSA. 2. Defendant Vanguard Health Systems, Inc. (a/k/a Baptist Health Systems) (“Vanguard”) is a Delaware corporation with its principal place of business at 20 Burton Hills Boulevard, Suite 100, Nashville, Tennessee 37215. Vanguard, through VHS Acquisition Subsidiary Number 5, Inc., a Delaware company, operates five hospitals, jointly referred to as the Baptist Health System: (a) Northeast Baptist Hospital, 8811 Village Drive, San Antonio, Texas 78217; (b) Baptist Medical Center, 111 Dallas Street, San Antonio, Texas, 78205; (c) St. Luke’s Baptist Hospital, 7930 Floyd Curl Drive, San Antonio, Texas 78229; (d) North Central Baptist Hospital, 520 Madison Oak Drive, San Antonio, Texas 78258; and (e) Southeast Baptist Hospital. 4214 East Southcross Boulevard, San Antonio, Texas 87222. 3. Defendant Christus Santa Rosa Health Care Corp. (“Christus”) is a Texas non-profit corporation with its principal place of business at 5121 Steadmont, Houston, Texas 77040. Christus operates the Christus Santa Rosa Hospital and the Christus Santa Rosa Children’s Hospital, both located at 333 North Santa Rosa Street, San Antonio, Texas 78207 and an additional facility at 2827 Babcock Road, San Antonio, Texas 78229. 6.
Details
-
File Typepdf
-
Upload Time-
-
Content LanguagesEnglish
-
Upload UserAnonymous/Not logged-in
-
File Pages6 Page
-
File Size-