Designation of Class Representatives and Class Counsel Sample Clauses

Designation of Class Representatives and Class CounselThe Court confirms the prior appointments of the Plaintiffs Xxxx Xxxxxx and Xxxxxxxx Xxxxxx as Class Representatives for the Class and the counsel of record representing the Class Representatives in the Action as Class Counsel.
Designation of Class Representatives and Class CounselThe Court finds and concludes that the Class Representatives Xxxx Xxxxxx and Xxxxxxxx Xxxxxx have claims typical of and are adequate representatives of the Settlement Class they propose to represent. The Court hereby appoints Xxxx Xxxxxx and Xxxxxxxx Xxxxxx as the Class Representatives for the Settlement Class. The Court finds and concludes that the law firm Flitter Xxxx PC, including Xxxx X. Xxxxxxx, Xxxxxx X. Xxxx, and Xxxx Xxxxxx Xxxxx-Xxxxxx has extensive experience and expertise in prosecuting auto repossession consumer class actions. The Court hereby appoints Plaintiffs’ counsel of record in this case as Class Counsel.
Designation of Class Representatives and Class CounselThe Court finds and 11 concludes that Class Representatives Xxxxx Xxxxxxxxxx Xxxxxxxxxx, Xxxxxxxx Xxxxxxx, and Xxxxx 12 Xxxxxxx have claims typical of and are adequate representatives of the members of the Nationwide 13 Class they propose to represent, and Class Representatives Xxxxxxxx Xxxxxxx and Xxxxx Xxxxxxx 14 have claims typical of and are adequate representatives of the members of the California Class they 15 propose to represent. The Court hereby appoints Xxxxx Xxxxxxxxxx Xxxxxxxxxx, Xxxxxxxx Xxxxxxx, 16 and Xxxxx Xxxxxxx to serve as Class Representatives for the Nationwide Class and Xxxxxxxx Xxxxxxx 17 and Xxxxx Xxxxxxx to serve as Class Representatives for the California Class. The Court finds and 18 concludes that Xxxxxx & Golden LLP and the Lawyers for Civil Rights have extensive experience 20 Xxxxxx & Golden LLP and Lawyers for Civil Rights as Class Counsel.
Designation of Class Representatives and Class CounselThe Court finds and 13 concludes that Class Representatives Xxxxxxxx Xxxxx, Xxxxxx Xxxxxxx Xxxxxxxxxxx, Xxxxxx Xxxx 14 Xxxxx, and Xxxxxx Xxxxxx have claims typical of and are adequate representatives of the members 15 of the Nationwide Class they propose to represent, and Class Representatives Xxxxxxxx Xxxxx, 16 Xxxxxx Xxxxxxx Xxxxxxxxxxx, and Xxxxxx Xxxx Xxxxx have claims typical of and are adequate 17 representatives of the members of the California Class they propose to represent. The Court hereby 18 appoints Xxxxxxxx Xxxxx, Xxxxxx Xxxxxxx Xxxxxxxxxxx, Xxxxxx Xxxx Xxxxx, and Xxxxxx Xxxxxx to 19 serve as Class Representatives for the Nationwide Class and Xxxxxxxx Xxxxx, Xxxxxx Xxxxxxx 20 Xxxxxxxxxxx, and Xxxxxx Xxxx Xxxxx to serve as Class Representatives for the California Class. The 21 Court finds and concludes that Xxxxxx & Golden LLP and the Mexican American Legal Defense 22 and Educational Fund (“MALDEF”) have extensive experience expertise in prosecuting 23 discrimination and civil rights class actions. The Court hereby appoints Xxxxxx & Golden LLP 24 and MALDEF as Class Counsel.
Designation of Class Representatives and Class CounselThe Court confirms the 15 prior appointments of the Class Representatives as representatives for the Settlement Class and 16 Class Counsel as counsel for the Settlement Class in this Action.
Designation of Class Representatives and Class CounselThe Court appoints the Plaintiffs Xxxxx Xxxxxxxxx and Xxxxxx Xxxxxxxxxx as Class Representatives, and the law firms of Xxxxxx & Xxxxxxx LLP and Xxxxx X. Xxxxxx Law Firm, Inc., as Class Counsel for the Settlement Class.
Designation of Class Representatives and Class CounselThe Court finds and concludes that the Class Representative Xxxxx Xxxxxxxx has claims typical of and is an adequate representative of the Settlement Class she proposes to represent. The Court hereby appoints Xxxxx Xxxxxxxx as the Class Representative for the Settlement Class. The Court finds and concludes that the law firms Xxxxxxxx Xxxxx, Xxxxxxx Xxxxxxxx Law Group PLLC, and Xxxxxxxxx Law Group LLP, including Xxxxx Xxxxxxxx, Xxxxx Xxxxx, Xxxx Xxxxxxx, Xxxxxx Xxxxxxxx, and Xxxxxx Xxxxxxxxx have extensive experience and expertise in prosecuting consumer class actions. The Court hereby appoints Plaintiffs’ counsel of record in this case as Class Counsel.
Designation of Class Representatives and Class CounselThe Court finds and 23 concludes that Xxxxxx Xxxxx, Xxxxx Xxxxxxx Xxxxxx and Xxxxxxxx Xxxxxxx Xxxxx have claims typical 24 of and are adequate representatives of the members of the Class they propose to represent. The 25 Court hereby appoints each of them to serve as Class Representatives for the Settlement Class. The 27 and Educational Fund have extensive experience in prosecuting discrimination and civil rights class 28 1 actions. The Court hereby appoints Xxxxxx & Golden LLP and the Mexican American Legal 2 Defense and Educational Fund as Class Counsel.

Related to Designation of Class Representatives and Class Counsel

  • PURPOSE/JUSTIFICATION OF RECOMMENDED ACTION The TTC will sell the properties in accordance with the provisions of Division 1, Part 6, Chapter 8 of the Revenue and Taxation Code (R&TC), and the Board of Supervisors’ policy adopted on November 24, 1970. Exhibit A of the Chapter 8 Agreement Sale indicates the legal description and selling price of the properties. The Honorable Board of Supervisors 10/5/2021 The recommended action supports County Strategic Plan Strategy III.3 – Pursue Operational Effectiveness, Fiscal Responsibility, and Accountability.