Via Transportation, Inc.

(NYSE: VIA)

Case Details

Via Transportation, Inc.

Lead Plaintiff Deadline:
August 10, 2026
Class Period:
September 9, 2025 - June 9, 2026
Jurisdiction:
New York Southern District Court
Docket Number:
1:26cv04870

Days Left to
Seek Lead Plaintiff:

Zero

Summary of the Action

According to the complaint filed in the United States District Court for the Southern District of New York, the Offering Documents used to effectuate Via's IPO were false and misleading and omitted to state that, at the time of the IPO, Via's growth had already begun to encounter obstacles because of the Company's declining Platform Annual Run-Rate Revenue and inability to grow in Germany. As these facts emerged after the IPO, the Company's shares fell sharply. By the commencement of this action, Via's shares traded as low as $14.52, a decline of nearly 70% from the IPO.

Certification and Authorization Pursuant to Federal Securities Laws

  • The individual or entity listed below requests Wolf Haldenstein Adler Freeman & Herz LLP to file an action or motion for appointment as lead plaintiff and lead counsel under the federal securities laws to recover damages and to seek other relief against Via Transportation, Inc.. Wolf Haldenstein Adler Freeman & Herz LLP will not do so until you complete a retainer agreement authorizing us to prosecute the action on a contingent fee basis.

  • I, individually or on behalf of the entity I represent ("I"), hereby certify as follows:

    1. I have reviewed the complaint and authorize the filing of a lead plaintiff motion or action on my behalf.
    2. I did not acquire the security that is the subject of this action at the direction of the Firm or in order to participate in this private action or any other litigation under the federal securities laws.
    3. I am willing to serve as a representative party on behalf of a class, including providing testimony at deposition and trial, if necessary.
    4. I represent and warrant that I am fully authorized to enter into and execute this certification.
    5. I will not accept any payment for serving as a representative party on behalf of the class beyond my pro rata share of any recovery, except such reasonable costs and expenses (including lost wages) directly relating to the representation of the class as ordered or approved by the court.
    6. I have made no transaction(s) during the Class Period in the debt or equity securities that are the subject of this action except those set forth below:
  • Type of SecurityBuy Date (mm/dd/yy)# of SharesPrice per Share 
  • Type of SecuritySell Date (mm/dd/yy)# of SharesPrice per Share 

Date of signing: 08/17/2026