Compensatory Relief Clause Samples

The Compensatory Relief clause defines the remedies available to a party who suffers loss or damage due to the other party's breach of contract. Typically, this clause outlines the right to receive monetary compensation or other forms of relief to restore the injured party to the position they would have been in had the breach not occurred. Its core function is to ensure that parties have a clear and enforceable means of recovering losses, thereby allocating risk and promoting fairness in the event of contractual non-performance.
Compensatory Relief. Settlement Class Members may either (1) do nothing; or (2) submit a valid Claim Form [hyperlink] to receive a cash payment equal to the amount of processing fees paid. Defendant has also agreed to pay all approved claims to the Settlement Class, together with notice and administrative expenses, approved attorneys’ fees and costs to Class Counsel, and service awards to the Class Representatives.
Compensatory Relief. The School District shall pay compensatory damages in the total amount of five thousand dollars ($5,000.00) to Complainant. Payment shall be made within thirty (30) days through a check made out to the Complainant, and sent by Federal Express or certified mail, return receipt requested, to: U.S. Attorney's ▇▇▇▇▇▇ ▇▇▇ ▇. ▇▇▇▇ ▇▇▇▇▇▇, ▇▇▇. ▇▇▇▇ ▇▇▇▇▇▇▇, ▇▇ ▇▇▇▇▇ Attn: Civil Rights Unit, Chief Within twenty (20) days of receiving the check for the Complainant, the United States will deliver to counsel for the School District, a release of all claims arising out of allegations encompassed within DJ # ▇▇▇-▇▇-▇▇▇, signed by Complainant. IMPLEMENTATION AND ENFORCEMENT With reasonable notice, the United States may review the School District's compliance with this Settlement Agreement or title II of the ADA at any time. If the United States believes that this Settlement Agreement or any portion of it has been violated, the United States will raise its concerns with the School District and will attempt to resolve its concerns with the School District in good faith. If the United States is unable to reach a satisfactory resolution of the issue or issues raised within thirty (30) days of the date it provides notice to the School District, the United States may institute a civil action in the appropriate United States District Court to enforce this Agreement. For purposes of the immediately preceding paragraph, it is a violation of this Settlement Agreement for the School District to fail to comply in a timely manner with any of the requirements in this Settlement Agreement without obtaining sufficient advance written agreement with the United States for an extension of the relevant time frame imposed by the Agreement. Failure by the United States to enforce any provisions or deadlines of this Agreement shall not be construed as a waiver of the United States' right to enforce other deadlines or provisions of this Agreement. A signatory to this document in a representative capacity for the School District represents that he or she is authorized to bind the School District to this Agreement. If any term of this Agreement is determined by any court to be unenforceable, the other terms of this Agreement shall nonetheless remain in full force and effect, provided, however, that if the severance of any such provision materially alters the rights or obligations of the parties, the United States and the School District shall engage in good faith negotiations in order to adopt ...
Compensatory Relief. FMC will place Four Million Dollars ($4,000,000) into a Fleet Mortgage Corp. Settlement Agreement Fund (the "Settlement Fund"). The primary purpose of the Settlement Fund is to compensate those African-American and Hispanic borrowers identified by the Department whose FREF loans closed between August 1, 1993 and June 1, 1994, and who paid more for their loan than did the average non-minority borrower. Approximately $200,000 from the Settlement Fund shall be used for community outreach and education efforts related to home mortgage loans. The Settlement Fund shall be distributed as follows:
Compensatory Relief. Settlement Class Members may submit a valid Claim Form by accessing [hyperlink] for either (1) a $5.00 cash payment; or (2) a $10.00 voucher for Fandango at Home, at their election. The $10.00 Fandango at Home voucher is a promotional code that can be used to rent or purchase movies or television shows for viewing on the Fandango at Home website or applications. Defendant has created a Settlement Benefit Cap totaling $9,000,000.00 All payments for approved claims to the Settlement Class, together with notice and administrative expenses, approved attorneys’ fees and costs to Class Counsel, and service awards to the Class Representatives will be subject to the Settlement Benefit Cap.
Compensatory Relief. Within thirty (30) days after receiving the Executed Agreement and the Complainant’s signed release (a Blank Release Form is at Exhibit B), Clark County on behalf of CCSO and the CCJ will pay the Complainant TWENTY-FIVE THOUSAND DOLLARS ($25,000.00). This payment is compensation to Complainant pursuant to 42 U.S.C. § 12188(b)(2)(B), for the effects of the alleged discrimination suffered as described in Paragraph 8. Full payment will be made by issuing a check in that amount to an address to be provided. In addition, CCSO and the CCJ will send a copy of the check and a copy of the mailing envelope to the U.S. Attorney’s Office to the attention of the Assistant United States Attorney handling this matter.
Compensatory Relief. Class Members will be entitled to receive either credit towards a ▇▇▇▇▇▇.▇▇▇ subscription or cash as follows:
Compensatory Relief. Settlement Class Members may either (1) do nothing and receive a link that allows them to register to enroll in a free one-year membership to an elevated tier of AMC’s customer loyalty program called AMC Stubs PremiereTM, which usually costs $15+tax and provides for one year: (i) unlimited waived convenience fees with every online movie ticket purchase;(ii) priority lanes for concessions and box office: (iii) free large popcorn and fountain drink during the Settlement Class Member’s birthday month; (iv) discounted theatre tickets every Tuesday; (v) unlimited free large popcorn refills; (vi) free Wi-Fi; (vii) unlimited free size upgrades on popcorn and fountain drinks; (viii) 100 points per $1 spent with a $5 reward for every 5,000 points accumulated and no expiration for point accumulated to be used towards the purchase of movie tickets and/or eligible food and beverage items ; and (ix) and other benefits, a full list of which can be found at [hyperlink] ; or (2) submit a valid Claim Form [hyperlink] to receive a cash payment of $7.00. Defendant has also agreed to pay all approved claims to the Settlement Class, together with notice and administrative expenses, approved attorneys’ fees and costs to Class Counsel, and service awards to the Class Representatives.
Compensatory Relief