The Seventh Circuit affirmed. It noted that the District Court identified certain deficiencies in plaintiff's second-amended complaint, and plaintiff failed to indicate either in her post-trial motion or on appeal how any proposed third-amended complaint would cure those deficiencies. The Court rejected plaintiff's contention that she was entitled to file third-amended complaint because counsel - who had assisted her in drafting original complaint - was in process of "getting up to speed" on her case.