CLASS COUNSEL SIGNATORIES. It is agreed that because the Settlement Class appears to be so numerous, it is impossible or impractical to have each member of the class execute this Agreement. The notice plan set forth herein will advise Settlement Class Members of all material terms of this Agreement, including the binding nature of the releases and such shall have the same force and effect as if this Agreement were executed by each Settlement Class Member.
CLASS COUNSEL SIGNATORIES. Because the members of the Settlement Class could potentially be numerous, it is impossible or impractical to have each member of the Settlement Class execute this Agreement. The Full Notice to the Settlement Class described above will advise all members of the Settlement Class of the binding nature of the releases in this Agreement. Such Full Notice, when approved by the Court and completed by the Parties, will have the same force and effect as if this Agreement were executed by each Settlement Class Member who does not timely opt out of the Settlement.
CLASS COUNSEL SIGNATORIES. It is agreed that it is impossible or impractical to have each member of the Plaintiff Class execute this Settlement Agreement. The Notice will advise all Class Members of the binding nature of the release and such shall have the same force and effect as if each member of the Plaintiff Class executed this Settlement Agreement.
CLASS COUNSEL SIGNATORIES. It is agreed that because the Settlement Class appears to be so numerous, it is impossible or impractical to have each member of the class execute this Agreement. The notice plan set forth herein will advise Settlement Class Members of all material terms of this Agreement, including the binding nature of the releases and such shall have the same force and effect as if this Agreement were executed by each Settlement Class Member. DocuSign Envelope ID: 6E3CCFD2-B3F3-4E95-AE7C-F5E417312631
CLASS COUNSEL SIGNATORIES. Because the Class Members are so numerous, the Parties agree that it is impossible or impractical to have each Class Member sign this Stipulation. It is agreed that, for purposes of seeking approval of the Final Settlement Agreement and Settlement, this Final Settlement Agreement may be executed on behalf of the Class Members by Class Counsel and the Plaintiffs as Class Representatives.
CLASS COUNSEL SIGNATORIES. It is agreed that because the Settlement Class Members are so numerous, it is impossible or impractical to have each Settlement Class Member execute this Settlement. The Notice, E-mail Notice, Text Message Notice (by way of a hyperlink to the Settlement Website), and Postcard Notice shall provide all Settlement Class Members with a summary of the Settlement, and will advise all Settlement Class Members of the binding nature of the release. Excepting only those Settlement Class Members who timely submit an Opt-Out Request, the Notice, E-mail Notice, Text Message Notice, and Postcard Notice shall have the same force and effect as if this Settlement was executed by each Settlement Class Member.
CLASS COUNSEL SIGNATORIES. 75. It is agreed that it is impossible or impractical to have each Class Member execute this Settlement. The Notice will advise all Class Members of the binding nature of the release. Excepting only the Class Members who submit a timely and valid Opt Out, the Notice shall have the same force and effect as if this Settlement were executed by Plaintiff and each Class Member with regard to the Release of Claims recited in Section VI, Paragraphs 53 (Plaintiff) and 54 (Class Members).
CLASS COUNSEL SIGNATORIES. 96. It is agreed that it is impossible or impractical to have each Class Member execute this Settlement. The Notice will advise all Class Members of the binding nature of the release. Excepting only the Class Members who timely submit a Request for Exclusion, the Notice shall have the same force and effect as if this Settlement were executed by Plaintiff and each Class Member with regard to the Release of Claims recited in Section VI. By signing below, the Class Representative shall be deemed to have submitted a timely and valid Claim Form without the need for a further Claim Form to be submitted, and the Class Representative shall waive her right to opt-out of, or object to, the Settlement.
CLASS COUNSEL SIGNATORIES. It is agreed that because the Settlement Class Members FILED DATE: 6/1/2022 7:16 PM 2019CH12804 are so numerous, it is impossible or impractical to have each Settlement Class Member execute this Settlement. The Notice provided in accordance with this Agreement will provide all Settlement Class Members with a summary of the Settlement and will advise all Settlement Class Members of the binding nature of the release. Excepting only those Settlement Class Members who timely submit a valid request for exclusion, such Notice shall have the same force and effect as if this Settlement were executed by each Settlement Class Member.
CLASS COUNSEL SIGNATORIES. It is agreed that because the Class Members are so numerous, it is impossible or impractical to have each Class Member execute this Agreement. The notice provided for in paragraph 1 of Section V above will advise all Class Members of the binding nature of the release and shall have the same force and effect as if this Agreement were executed by each Class Member.