A divided panel of the 1st District recently set forth two divergent views of the “adequacy” requirement that a putative class representative must satisfy if his or her claim is to proceed as a class action.According to the dissent in Byer Clinic and Chiropractic Ltd. v. Kapraun, 2016 IL App (1st) 143733, the majority’s decision decertifying the class erected “a higher barrier for attaining class certification than has previously been recognized in Illinois.” Id. at ¶ 35.According to the …