Common use of Class Workweeks and Aggrieved Employee Pay Periods Clause in Contracts

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay Periods.

Appears in 2 contracts

Samples: Class Action and Paga Settlement Agreement and Settlement Notice, Class Action and Paga Settlement Agreement and Settlement Notice

AutoNDA by SimpleDocs

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 351 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period8,595 Workweeks, and there are 255 351 of Aggrieved Employees, and they Employees who worked a total 4,297 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 622 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period55,408 Workweeks, and there are 255 367 Aggrieved Employees, and they Employees who worked a total 9,185 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 126 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period15,500 Workweeks, and there are 255 67 Aggrieved Employees, and they Employees who worked a total of 833 5,287 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 1,127 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period90,558 Workweeks, and there are 255 Aggrieved Employees, and they 668 of Xxxxxxxxx Employees who worked a total 21,383 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates Defendants estimate there are 368 193 Class Members who collectively worked a total of 1,190 Workweeks during 38,116 Workweeks. Of these class members, 148 are Previously Settling Class Members who will receive a flat fee of $30.00 from the Maximum Settlement Amount, as their Individual Class PeriodPayment, and there are 255 Aggrieved Employeesthe balance of the class, and they consisting of 45 Class Members, worked a total of 833 1,189 Workweeks; 120 Aggrieved Employees who worked a total of 2227 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 135 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period13,750 Workweeks, and there are 255 55 Aggrieved Employees, and they Employees who worked a total 5,500 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates there are 368 has represented that the Class consists of 434 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period40,000 Workweeks, and there are 255 Aggrieved Employees, and they Employees who worked a total of 833 7,217 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant Public Security estimates there are 368 127 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodapproximately 10,234 Workweeks, and there are 255 Aggrieved Employees, and they worked a total of 833 2,352 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its payroll and time records to datefrom October 13, 2013 through December 31, 2020, and estimation of workweeks and pay periods from January 1, 2021 through April 24, 2023, Defendant estimates there are 368 approximately 2,256 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period106,597 Workweeks, and there are 255 1,738 Aggrieved Employees, and they Employees who worked a total of 833 40,571 PAGA Pay Periods.

Appears in 1 contract

Samples: irp.cdn-website.com

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant XxXxx Electric estimates there are 368 460 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period37,500 Workweeks, and there are 255 297 Aggrieved Employees, and they Employees who worked a total of 833 14,670 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant Defendants estimates there are 368 73 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period4,674 Workweeks, and there are 255 67 of Aggrieved Employees, and they Employees who worked a total of 833 2,109 PAGA Pay Periods.

Appears in 1 contract

Samples: Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its their records to date, Defendant estimates Defendants estimate there are 368 154 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodapproximately 10,500 Workweeks, and there are 255 82 Aggrieved Employees, and they Employees who worked a total of 833 approximately 1,550 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates has represented that there are 368 1335 Class Members who collectively worked a total of 1,190 82,097 Workweeks during the Class Period[37,885 pay periods], and there are 255 1,335 Aggrieved Employees, and they Employees who worked a total of 833 37,885 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant XYZ estimates there are 368 117 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period10,767 Workweeks, and there are 255 72 of Aggrieved Employees, and they Employees who worked a total 5,231 weeks of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to dateas of April 16, 2023, Defendant estimates there are 368 1,108 Class Members who collectively worked a total of 1,190 Workweeks during the 98,820 Class PeriodPeriod Workweeks, and there are 255 653 Aggrieved Employees, and they Employees who worked a total of 833 25,287 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 235 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period21,116 Workweeks, and there are 255 164 of Aggrieved Employees, and they Employees who worked a total of 833 4,195 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates there are 368 has represented that the Class consists of 198 Class Members who collectively worked a an estimated total of 1,190 Workweeks during the Class Period35,000 Workweeks, and there are 255 Aggrieved Employees, and they and187Aggrieved Employees who worked a total of 833 of18,361 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant ONP estimates there are 368 102 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period1,334 Workweeks, and there are 255 96 of Aggrieved Employees, and they Employees who worked a total 638 of 833 PAGA Pay PeriodsPeriods as of April 26, 2022.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 approximately 852 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period46,523 Workweeks, and there are 255 approximately 222 of Aggrieved Employees, and they Employees who worked a total of 833 approximately 3,348 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant DEFENDANT estimates there are 368 140 Class Members Members, and 86 Aggrieved Employees who collectively worked a total of 1,190 Workweeks during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 approximately 3,000 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 1,708 Class Members who collectively that worked a total of 1,190 Workweeks approximately 49,721 pay periods during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to datethrough November 22, Defendant 2022, Ambitions estimates there are 368 1,068 Class Members who collectively worked a total of 1,190 104,612 Workweeks during the Class Periodbetween March 2, 2016 and November 22, 2022, and there are 255 560 Aggrieved Employees, and they Employees who worked a total of 833 18,939 Pay PeriodsPeriods in the PAGA Period.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 114 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodapproximately 12,285 Workweeks, and there are 255 79 Aggrieved Employees, and they Employees who worked a total of 833 approximately 4,247 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to dateas of June 21, 2022, Defendant estimates estimated there are 368 two hundred fifty-six (256) Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodfifty thousand (50,000) Workweeks, and there are 255 two hundred twenty-six (226) Aggrieved Employees, and they Employees who worked a total of 833 twelve thousand one hundred twenty-six (12,126) PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 642 Class Members who collectively worked a total of 1,190 11,036 Workweeks during the Class Period, and there are 255 549 Aggrieved Employees, and they Employees who worked a total of 833 4,740 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant SYR estimates that as of March 14, 2023, there are 368 approximately 556 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodapproximately 29,262 Workweeks, and there are 255 approximately 304 Aggrieved Employees, and they Employees who worked a total of 833 approximately 6,091 PAGA Pay Periods.

Appears in 1 contract

Samples: Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 127 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period8,270 Workweeks, and there are 255 95 of Aggrieved Employees, and they Employees who worked a total 1,836 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 91 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period18,447 Workweeks, and there are 255 70 Aggrieved Employees, and they Employees who worked a total 1238 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 334 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period20,732 Workweeks, and there are 255 164 Aggrieved Employees, and they Employees who worked a total of 833 69 PAGA Pay PeriodsPeriods to date.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 565 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period15,663 Workweeks, and there are 255 315 Aggrieved Employees, and they Employees who worked a total 5,305 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 4,564 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period200,000 Workweeks, and there are 255 2,909 of Aggrieved Employees, and they Employees who worked a total 38,048 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 231 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period4,845 Workweeks, and there are 255 46 Aggrieved Employees, and they Employees who worked a total of 833 674 PAGA Pay Periods.

Appears in 1 contract

Samples: Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates Defendants estimate there are 368 234 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period32,419 Workweeks, and there are 255 234 of Aggrieved Employees, and they Employees who worked a total 14,962 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 55 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period2,500 Workweeks, and there are 255 50 Aggrieved Employees, and they Employees who worked a total of 833 2,000 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to dateas of April 25, 2023, Defendant estimates there are 368 42 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period11,772 Workweeks, and there are 255 915 of Aggrieved Employees, and they Employees who worked a total 28,221 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant EVCHC estimates there are 368 801 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period87,197 Workweeks, and there are 255 655 Aggrieved Employees, and they Employees who worked a total 31,417 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 89 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period6,291 Workweeks, and there are 255 55 Aggrieved Employees, and they Employees who worked a total of 833 625 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant the Company estimates there are 368 275 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period33,482 Workweeks, and there are 255 199 Aggrieved Employees, and they Employees who worked a total of 833 12,959 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 134 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period5,300 Workweeks, and there are 255 29 of Aggrieved Employees, and they Employees who worked a total of 833 470 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant ABR estimates there are 368 98 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period7,264 Workweeks, and there are 255 77 Aggrieved Employees, and they Employees who worked a an estimated total of 833 Pay Periods3,539 workweeks.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 1,959 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period53,138 Workweeks, and there are 255 Aggrieved Employees, and they 1,475Aggrieved Employees who worked a total 19,972 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates as of the date of mediation, Xxxxxxx estimated that there are 368 89 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period1,150 Workweeks, and there are 255 60 Aggrieved Employees, and they Employees who worked a total of 833 732 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

AutoNDA by SimpleDocs

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to datethrough March 28, Defendant estimates 2022, Defendants estimate there are 368 were 192 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period7,896 Workweeks, and there are 255 149 Aggrieved Employees, and they Employees who worked a total of 833 2,559 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant Ansible estimates there are 368 217 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay Periods26,377 workweeks.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant XXXXXX estimates that as of February 28, 2023, there are 368 approximately 115 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodapproximately 6,911 Workweeks, and there are 255 approximately 68 Aggrieved Employees, and they Employees who worked a total of 833 approximately 1,776 PAGA Pay Periods.

Appears in 1 contract

Samples: Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 85 Class Members who collectively worked a total 5,763 of 1,190 Workweeks during the Class PeriodWorkweeks, and there are 255 46 Aggrieved Employees, and they Employees who worked a total of 833 1,232 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 258 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period26,751 Workweeks, and there are 255 158 Aggrieved Employees, and they Employees who worked a total of 833 3,371 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review its records, Defendants has represented that the Class consists of its records to date, Defendant estimates there are 368 1,576 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period218,473 Workweeks, and there are 255 1,312 Aggrieved Employees, and they Employees who worked a total of 833 50,796 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 660 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period51,372 Workweeks, and there are 255 the Aggrieved Employees, and they Employees worked a total of 833 17,344 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 51 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period7,110 Workweeks, and there are 255 36 Aggrieved Employees, and they Employees who collectively worked a total of 833 2,992 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review its records, Defendants have represented that the Class consists of its records to date, Defendant estimates there are 368 218 Class Members who collectively worked a total of 1,190 6,233 Workweeks during the Class Periodfrom April 11, 2018 through February 23, 2023, and there are 255 173 Aggrieved Employees, and they Employees who worked a total 2,556 of 833 PAGA Pay PeriodsPeriods from April 12, 2021 through February 23, 2023.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 221 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period39,032 Workweeks, and there are 255 179 Aggrieved Employees, and they Employees who worked a total of 833 15,122 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates that as of August 31, 2022 there are 368 were three hundred three (303) Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodtwenty-four thousand eight hundred thirty-nine (24,839) Workweeks, and there are 255 one hundred seventy-four (174) Aggrieved Employees, and they Employees who worked a total of 833 four thousand five hundred sixty-eight (4,568) PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates Defendants estimate there are 368 1,229 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay Periods27,230 Workweeks.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 309 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period21,346 workweeks from February 24, 2020 to December 31, 2022, and there are 255 309 Aggrieved Employees, and they Employees who worked a total of 833 11,076 PAGA Pay PeriodsPeriods from February 24, 2020 to December 31, 2022.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant DEFENDANT estimates there are 368 925 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period29,048 Workweeks, and there are 255 866 of Aggrieved Employees, and they Employees who worked a total 8,035 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates has represented that there are 368 approximately 530 Class Members who collectively worked a total of 1,190 approximately 21,763 Workweeks between December 1, 2018 and December 31, 2022., and approximately 270 Aggrieved Employees who worked approximately no more than 5,364 PAGA Pay Periods. Defendant will provide a declaration under the penalty of perjury confirming the number of Class Members and Workweeks they worked during the Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates Defendants estimate there are 368 1,279 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period64,852 Workweeks, and there are 255 697 Aggrieved Employees, and they Employees who worked a total 13,447 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 approximately 495 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period39,685 Workweeks, and there are 255 448 Aggrieved Employees, and they Employees who worked a total of 833 31,575 PAGA Pay Periods.

Appears in 1 contract

Samples: Francisco Schiller

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 6,577 Class Members who collectively worked a total of 1,190 53,273 Workweeks during the Class Periodthrough July 28, 2022, and there are 255 3,019 Aggrieved Employees, and they Employees who worked a total 22,244 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant Defendants estimates there are 368 219 Class Members who collectively worked a total of 1,190 Workweeks during the Class Periodforty-four thousand (44,000) Workweeks, and there are 255 131 of Aggrieved Employees, and they Employees who worked a total of 833 thirty-eight thousand one hundred fifty (38,150) PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, Defendant estimates that from April 12, 2017 to December 30, 2022, there are 368 were 791 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period107,144 workweeks and 55,471 pay periods. Additionally, and there are 255 Aggrieved Employeesbased on a review of its records, and they from March 29, 2020 to January 1, 2023, Defendant estimates that were 653 employees who worked a total of 833 Pay Periodsapproximately 27,599 pay periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 706 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period113,156 Workweeks, and there are 255 521 of Aggrieved Employees, and they Employees who worked a total 69,468 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant XXXX estimates there are 368 255 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period43,097 Workweeks, and there are 255 200 Aggrieved Employees, and they Employees who worked a total of 833 14,691 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there are 368 approximately 2,386 Class Members who collectively worked a total of 1,190 approximately 177,848 Workweeks during the Class Periodthrough July 31, 2022, and there are 255 Aggrieved Employees, and they approximately 1,985 Xxxxxxxxx Employees who worked a total of 833 approximately 131,011 PAGA Pay PeriodsPeriods through July 31, 2022.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to daterecords, as of January 12, 2024 (the end of the Class Period), Defendant estimates there are 368 552 Class Members who collectively worked a total of 1,190 16,160 Workweeks, with the average number of Workweeks during the being 29 Workweeks per Class Period, and there are 255 Aggrieved Employees, and they worked a total of 833 Pay PeriodsMember.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates Defendants estimate there are 368 431 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period16,040 Workweeks, and there are 255 125 Aggrieved Employees, and they Employees who worked a total 2,011 of 833 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant estimates there There are 368 198 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period30,308 Workweeks, and there are 255 137 Aggrieved Employees, and they Employees who worked a total of 833 18,603 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to date, Defendant Arjo estimates there are 368 135 Class Members who collectively worked a total of 1,190 Workweeks during the Class Period14,743 Workweeks, and there are 255 97 Aggrieved Employees, and they Employees who worked a total of 833 3,463 PAGA Pay Periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Class Workweeks and Aggrieved Employee Pay Periods. Based on a review of its records to datethrough the mediation, Defendant estimates there are 368 approximately 1,881 Class Members who collectively worked a total of 1,190 73,132 Workweeks during the Class Period, and there are 255 1,343 Aggrieved Employees, and they Employees who worked a total of 833 Pay Periods25,087 pay periods.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement and Class Notice

Time is Money Join Law Insider Premium to draft better contracts faster.