Complete Resolution Sample Clauses

Complete Resolution. The Parties intend for this Agreement to be a
Complete Resolution. The Parties intend the Settlement of the Lawsuit to be the full, final and complete resolution of the Released Claims and the Lawsuit. The Parties and their counsel agree that they shall not make any applications for sanctions, pursuant to Rule 11 of the Federal Rules of Civil Procedure or other court rule or statute, with respect to any claim or defense in this Lawsuit.
Complete Resolution. The Parties intend for this Agreement to be a complete and final resolution of all disputes between them with respect to the Litigation. IN WITNESS HEREOF the undersigned, being duly authorized, have caused this Agreement to be executed on the dates shown below and agree that it shall take effect on the first date it has been executed by all of the undersigned. DATED: March , 2018 GUTRIDE XXXXXX LLP Xxxx Xxxxxxx, Esq. Xxxx Xxxxxx, Esq. Attorneys for Plaintiffs DATED: March , 2018 TYCKO AND ZAVAREEI LLP Xxxxxx X. Xxxxxxxx, Esq. Xxxx X. Xxxx, Esq. Attorneys for Plaintiff DATED: March , 2018 NORTON XXXX XXXXXXXXX US LLP DATED: March , 2018 XXXXX XXXXXX DATED: March , 2018 XXXXXXX XXXXXXXXXXX DATED: March , 2018 XXXX XXXXXXX DATED: March , 2018 XXXXX XXXXX DATED: March , 2018 XXXXXXX XXXXXXXX DATED: March , 2018 XXXXXX XXXXXXXXX DATED: March , 2018 XXXXXXX XXXXXXX Xxxxxxx Xxxxxxx DATED: March , 2018 XXXXXX USA, INC. By:_ Name: Its: To make a claim under the Settlement, you must complete this form {and mail it to the address at the bottom of this form. (Alternatively, you can complete and submit a claim form online at www. /claimform.)}. The claim form is due by [30 days after Final Approval] {which means it must be received by the Claim Administrator (not just postmarked) by that date}. The information will not be disclosed to anyone other than the Court, the Claim Administrator, and the Parties in this case, and will be used only for purposes of administering this Settlement (such as to audit and review a claim for completeness, truth, and accuracy). To submit a claim, your purchase cannot have been for purpose of resale. You must have purchased your product in the United States on or after May 23, 2010. Your purchase must have occurred prior to [date of preliminary approval] if you purchased a Bertolli Extra Virgin Olive Oil Product, and prior to December 31, 2015, if you purchased a Bertolli Classico or Extra Light Olive Oil Product. The amount you will receive depends on which products you purchased at what time, as well as on the number of other claims filed in the settlement. You can make claim for up to five Products purchased, unless you submit Proof of Purchase. There is no limit on the number of Products that can be claimed for which you provide Proof of Purchase. Proof of Purchase means an itemized retail sales receipt showing, at a minimum, the purchase of an eligible Product, and the date, place and amount of purchase. All claims from the same hou...
Complete Resolution. This Agreement shall be construed and interpreted to effectuate the intent of the Parties, which is to provide, through this Agreement, a full and final settlement of the Issues, to agree upon certain commercial transactions and to agree upon the conduct of reasonable commercial best efforts to enter into certain commercial transaction.
Complete Resolution. The Parties have agreed that the terms of this Agreement constitute a complete resolution and settlement of the claims asserted against Miracle Blessed Care by the MFCU, as well as the claims that could have been asserted against Miracle Blessed Care by the MFCU arising out of or as a result of the Investigation described in Preamble Paragraph B. Upon Miracle Blessed Care’s continued fulfillment of its obligations under this Agreement , and payment of the lump-sum amount provided in Paragraph 1, the Investigation, as defined in Preamble Paragraph B, shall be concluded.
Complete Resolution. The Parties intend for this Agreement to be a complete and final resolution of all disputes between them with respect to the Litigation. IN WITNESS HEREOF the undersigned, being duly authorized, have caused this Agreement to be executed on the dates shown below and agree that it shall take effect on the first date it has been executed by all of the undersigned. DATED: , 2019 GUTRIDE XXXXXX LLP Xxxx Xxxxxxx, Esq. Xxxx Xxxxxx, Esq. Attorneys for Plaintiffs DATED: , 0000 XXXXXXXXX XXXXXXX XXXX & XXXXX LLP DATED: , 2019 XXXXXX XXXXXXXXX-XXXXXXX Xxxxxx Xxxxxxxxx-Xxxxxxx 5/9/2019 DATED: , 2019 XXXXX XXXXXX Xxxxx Xxxxxx 5/9/2019 DATED: , 2019 XXXXXX XXXXXXX Xxxxxx Xxxxxxx 5/9/2019 DATED: , 2019 XXXXX XXXXXX Xxxxx Xxxxxx 5/8/2019 DATED: , 2019 XXXXXXX XXXXXXX Xxxxxxx Xxxxxxx 5/8/2019 DATED: , 2019 XXXXXX XXXXXX Xxxxxx Xxxxxx 5/9/2019 DATED: , 2019 XXXXXXXX XXXXXXX DATED: , 2019 XXXXX XXXXXX DATED: , 2019 XXXXXX XXXXXXX DATED: , 2019 XXXXX XXXXXX DATED: , 2019 XXXXXXX XXXXXXX DATED: , 2019 XXXXXX XXXXXX DATED: , 2019 XXXXXXXX XXXXXXX Xxxxxxxx Xxxxxxx 5/10/2019
Complete Resolution. It is the intent of this Agreement to resolve, fully and forever, any and all claims of Plaintiff against Subcontractor and the General Contractor related to Subcontractor’s work under the Subcontract, pursuant to the terms herein.
Complete Resolution. The Parties intend for this Agreement to be a complete and final resolution of all disputes between them with respect to the Litigation. Case 4:17-cv-02960 Document 337-2 Filed on 01/29/24 in TXSD Page 29 of 77 Case 4:17-cv-02960 Document 337-2 Filed on 01/29/24 in TXSD Page 30 of 77 BY PLAINTIFFS: Xxxxx Xxxxxxxx Xxxxx Xxxxxxxx Xxxxxx Flannel Xxxxxx Xxxxxxx Xxxxx Xxxxxxx Xxxxx Xxxxxxx Xxxx Xxxxxxx Xxxxxxx Xxxxxxx BY XXXXXX INC. Xxxxxxx X. Xxxxx Senior Vice President & General Counsel Arkema Inc. Case 4:17-cv-02960 Document 337-2 Filed on 01/29/24 in TXSD Page 31 of 77 Exhibit 1 XXXXXXX XXXXXXX, et al.,
Complete Resolution. The Signing Parties intend for this Agreement to be a complete and final resolution of all disputes between them with respect to the Litigation. Case 8:16-cv-01440-JLS-DFM Document 619-1 Filed 03/22/22 Page 67 of 93 Page ID #:14415 DATED: XXXXXXX XXXXX, individually and on behalf of Oneida’s Beauty and Xxxxxr Salon Xxxxxxx Xxxxx Plaintiff DATED: March , 2022 XXXXXX XXXXXX, individually and on behalf of Mo's One More Lounge Xxxxxx Xxxxxn Plaintiff DATED: March , 2022 XXXXX XXXXXX, individually and on behalf of Mo's One More Lounge Xxxxx Xxxxxx Plaintiff DATED: XXXXXX XXXXXX, individually and on behalf of Stuft Surfer Café, Inc. Xxxxxx Xxxxxx Plaintiff DATED: XXXXXXX X. XXXXXXXX, individually and on behalf of G and G Smog Test Center d/b/a G and G Smog Xxxxxxx X. Xxxxxxxx Plaintiff DATED: XXXX XXXX, individually and on behalf of 4 Dice Restaurant Case 8:16-cv-01440-JLS-DFM Document 619-1 Filed 03/22/22 Page 68 of 93 Page ID #:14416 Xxxxxx Xxxxxn Plaintiff DATED: March , 2022 XXXXX XXXXXX, individually and on behalf of Mo's One More Lounge DATED: 3/21/2022 Xxxxx Xxxxxx Plaintiff XXXXXX XXXXXX, individually and on behalf of Stuft Surfer Café, Inc. Xxxxxx Xxxxxx Plaintiff DATED: XXXXXXX X. XXXXXXXX, individually and on behalf of G and G Smog Test Center d/b/a G and G Smog Xxxxxxx X. Xxxxxxxx Plaintiff DATED: XXXX XXXX, individually and on behalf of 4 Dice Restaurant Xxxxxx Xxxxxn Plaintiff DATED: March , 2022 XXXXX XXXXXX, individually and on behalf of Mo's One More Lounge Xxxxx Xxxxxx Plaintiff DATED: XXXXXX XXXXXX, individually and on behalf of Stuft Surfer Café, Inc. DATED: 3/18/2022 Xxxxxx Xxxxxx Plaintiff XXXXXXX X. XXXXXXXX, individually and on behalf of G and G Smog Test Center d/b/a G and G Smog Xxxxxxx X. Xxxxxxxx Plaintiff DATED: XXXX XXXX, individually and on behalf of 4 Dice Restaurant DocuSign EnCvealopseelD8: :F18B68-Dc7v8-80-7174924-400-BJ3L-BS4E-AD-3F9MDA11D62o37c2u4ment 619-1 Filed 03/22/22 Page 71 of 93 Page ID DATED: XXXXXXX XXXXX, individually and on behalf of Xxxxxx’s Beauty and Xxxxxr Salon Xxxxxxx Xxxxx Plaintiff DATED: March , 2022 XXXXXX XXXXXX, individually and on behalf of Mo's One More Lounge Xxxxxx Xxxxxn Plaintiff DATED: March , 2022 XXXXX XXXXXX, individually and on behalf of Mo's One More Lounge Xxxxx Xxxxxx Plaintiff DATED: XXXXXX XXXXXX, individually and on behalf of Stuft Surfer Café, Inc. Xxxxxx Xxxxxx Plaintiff DATED: XXXXXXX X. XXXXXXXX, individually and on behalf of G and G Smog Test Center d/b/a G and G Smog DATED: 3/19/2...
Complete Resolution. The Parties intend this Agreement to be a final and complete resolution of all disputes between them with respect to the Released Claims by the Class Representatives and the Settlement Class, and each or any of them, on the one hand, against the Released Parties, on the other hand. Accordingly, the Parties agree not to assert in any forum that the Litigations were brought by the Class Representatives or defended by Defendants, or each or any of them, in bad faith or without a reasonable basis.