Authentication of Documents Sample Clauses

Authentication of Documents. Pursuant to Article 5(2) of the EU-U.S. Extradition Agreement, the following shall be applied in place of Article 10(5) of the 1998 Extradition Treaty:
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Authentication of Documents. Where any document is necessary to any legal procedure or proceedings on behalf of the Council, it will be signed by the Borough Solicitor & Secretary or other person authorised by him/her, unless any enactment otherwise authorises or requires, or the Council has given requisite authority to some other person. Any contract with a value exceeding £144,000 entered into on behalf of the local authority in the course of the discharge of an executive function shall be made in writing and must be either:
Authentication of Documents. In addition to the provisions of Section II(A)(2)(f) above, Settling Defendants agree to provide written declarations pursuant to Federal Rules of Evidence 902(11) and (12) with respect to documents produced by Settling Defendants. Settlement Class Counsel agree to use reasonable efforts to minimize the burden to Settling Defendants of any such authentication testimony. In the event that such declarations are not sufficient to secure the admission of the documents, the Settling Defendants agree to, if reasonably necessary, produce at trial and/or deposition, one or more representatives of their choice, as reasonably necessary to Plaintiffs’ prosecution of the Claims alleged in the Actions, qualified to testify as to the facts related to authentication of any of Settling Defendants’ Documents produced at any time pursuant to this Settlement Agreement or in the course of the litigation of the Actions.
Authentication of Documents. In addition to the provisions of Section II(A)(2)(a) above, Settling Defendants agree to use reasonable efforts to provide written declarations pursuant to Federal Rules of Evidence 902(11) and (12) with respect to Documents produced by Settling Defendants. Settlement Class Counsel agree to use reasonable efforts to minimize the burden to Settling Defendants of any such authentication testimony. In the event that such declarations are not sufficient to secure the admission of the Documents, the Settling Defendants agree to produce at trial and/or deposition, to the extent reasonably necessary, one or more representatives of their choice qualified to testify as to the facts related to authentication of any of Settling Defendants’ Documents produced at any time pursuant to this Settlement Agreement or in the course of the litigation of the Actions.
Authentication of Documents. Settling Defendants agree to provide written declarations pursuant to Federal Rules of Evidence 902(11) and (12) with respect to documents produced by Settling Defendants. Settlement Class Counsel agree to use reasonable efforts to minimize the burden to Settling Defendants of any such authentication testimony. In the event that Settlement Class Counsel reasonably believe that such declarations are not sufficient to secure the admission of the documents, the Settling Defendants agree to produce at trial and/or deposition, one or more representatives of their choice qualified to testify as to the facts related to authentication of any of Settling Defendants’ Documents produced at any time pursuant to this Settlement Agreement or in the course of the litigation of the Actions.
Authentication of Documents. JBS agrees to use reasonable efforts to authenticate, and lay an evidentiary foundation for admissibility to, documents or things produced by JBS in the Action, where the facts indicate that the documents or things are authentic, whether by declarations, affidavits, depositions, hearings and/or trials, as may be necessary for the admission of such information in the Action.
Authentication of Documents. Certifications as to Business Records: Prior to trial in this Action, Midwest Poultry shall, at the request of Class Counsel and through reasonable means (including, but not limited to, affidavits and declarations by persons qualified to testify as to authenticity and/or as to business records (pursuant to Federal Rules of Evidence 902(11) and (12)) establish the authenticity of documents and/or admissibility as business records produced by Midwest Poultry, and, to the extent possible, any documents produced by Non- Settling Defendants or the alleged co-conspirators in this Action authored or created by Midwest Poultry or sent to or received by Midwest Poultry. Class Counsel agree to use reasonable efforts to minimize the burden to Midwest Poultry of any such authentication or business records testimony.
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Authentication of Documents. 132.1 Any Director or the Secretary or any person appointed by the Board for the purpose shall have power to authenticate any documents or other information affecting these Articles and any resolutions passed by the Company or the Board or any committee and any books, records, accounts, documents and other communications relating to the business of the Company and to certify copies or extracts as true copies or extracts. Anything purporting to be a copy of a resolution, or an extract from the minutes of a meeting, of the Company, the Board or any committee which is certified as such in accordance with this Article shall be conclusive evidence in favour of all persons dealing with the Company upon the faith of such copy that such resolution has been duly passed or, as the case may be, that such minute or extract is a true and accurate record of proceedings at a duly constituted meeting.
Authentication of Documents. Settling Defendant agrees to use reasonable efforts to authenticate, to the extent possible, documents and/or things produced in the Action, whether by declarations, affidavits, depositions, hearings and/or trials as may be necessary for the Actions.
Authentication of Documents. Further, upon request by Plaintiffs, USG will make one or more deposition or trial witnesses available either to provide a written declaration under Federal Rule of Evidence 902(11) or (provided Plaintiffs have been unsuccessful despite reasonable efforts to have the authenticity stipulated or otherwise established) to testify regarding the authenticity and “business recordsqualifications of USG documents, and, to the extent possible, any documents produced by any of USG’s alleged co-conspirators. In addition, USG will make one or more deposition or trial witnesses available to Interim Co-Lead Counsel as necessary to explain USG’s sales data.
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