Appointment of Class Representative and Class Counsel. Plaintiffs are each 7 conditionally certified as Class Representatives to implement the Parties’ proposed Settlement in 8 accordance with the Settlement Agreement. The law firms of Xxxxxxxxx Law Group, APC 9 (through attorney Xxxxx X. Xxxxxxxxx), Baron & Xxxx, P.C. (through attorney Xxxxx X. Xxxxxxxx), 10 Xxxxxx Xxxxxxxx LLP (through attorney Xxxxxx Xxx Xxxxxxxx), and Xxxxxxx Xxxxxx & Singer 11 (through attorney Xxxxxxx X. Xxxxxx) are appointed as Class Counsel. Plaintiffs and Class 12 Counsel must fairly and adequately protect the Class’s interests.
Appointment of Class Representative and Class Counsel. Plaintiff Xxxxxxx 13 Xxxxx Xxxxx (“Plaintiff”) is conditionally certified as the class representative to implement the 14 Settlement Agreement in accordance with its terms. Xxxxxx X. Xxxxxxx, Xxxxxx X. Xxxxxxx, and 15 Xxxxxxxx X. Xxxxxxxxxxx of Xxxxxxx Xxxxxxxxxxx, LLP and Xxxxxxx X. Xxxxxx, The Law Offices of 16 Xxxxxxx X. Xxxxxx, are conditionally appointed as Class Counsel. Plaintiff and Class Counsel 17 shall fairly and adequately protect the Class’s interests.
Appointment of Class Representative and Class Counsel. Plaintiff is conditionally certified as the class representative to implement the Parties’ settlement in accordance with the Settlement Agreement. The law firms of Xxxxxxxx Law, P.C. and CW Law Group, P.C. are conditionally appointed as Settlement Class Counsel. Plaintiff and Settlement Class Counsel must fairly and adequately protect the Settlement Class’ interests.
Appointment of Class Representative and Class Counsel. 5 1. The Court finds that certification of the following class, for settlement purposes 6 only, is appropriate: 7 All individuals who worked as an independent contractor, lessee, employee or other 8 outside entertainer providing bikini, semi-nude, and/or nude entertainment for 2523
Appointment of Class Representative and Class Counsel. Plaintiff Xxxxxxxxx 2 Xxxxx-Xxxxxx is conditionally certified as the class representative. Xxxx X. Xxxxxx, Esq. of Benink
Appointment of Class Representative and Class Counsel. Plaintiffs Versil Xxxxxx and Xxxxxx Xxxxx are conditionally certified as the class representatives to implement the Parties’ Settlement in accordance with the Agreement. Xxxxx-Xxxxx & Xxxxx and Stonebarger Law A.P.C. are conditionally appointed as Class Counsel. Plaintiff and Class Counsel must fairly 25 and adequately protect the Class’s interests.
Appointment of Class Representative and Class Counsel. Plaintiffs Anastasha Xxxxx, Xxxxx Xxxxxxx, Xxxx Xxxxxxxx and Xxxxxx Xxxxxxxxxx are conditionally certified as the class representatives to implement the Parties’ Settlement in accordance with the Agreement. XxXxxxxx Osefchen Prince, P.C. are conditionally appointed as Class Counsel. Plaintiff and Class Counsel must fairly and adequately protect the Class’s interests.
Appointment of Class Representative and Class Counsel. Plaintiff Xxxxxxx Xxxxxx is hereby appointed Class Representative. Xxxxx X. Xxxxxxxxxx and Eve-Xxxx Xxxx of the law firm Xxxxxxx PC are hereby appointed Class Counsel.
Appointment of Class Representative and Class Counsel. Plaintiff Xxxxxxx Xxxxxx was previously certified as Class Representative and shall implement the Settlement in accordance with the Settlement Agreement. As previously appointed, Xxxxx X. Xxxxxxxxxx and Eve-Xxxx Xxxx of the law firm Xxxxxxx PC are Class Counsel. Class Counsel are experienced in class litigation, including litigation of similar claims, and have fairly and adequately represented the interests of the Settlement Class. Class Counsel and the Class Representative have fairly and adequately protected the Settlement Class’s interests and must continue to do so.
Appointment of Class Representative and Class Counsel. 22 Plaintiff is conditionally certified as the class representative to implement the Parties’ 23 settlement in accordance with the Settlement Agreement. The law firms of Xxxxxxxx Law 24 and Xxxxxxxxxx Law Firm, PLLC are conditionally appointed as Settlement Class Counsel. 25 Plaintiff and Settlement Class Counsel must fairly and adequately protect the Settlement 26 Class’s interests.