Common use of Exclude Yourself from the Settlement Clause in Contracts

Exclude Yourself from the Settlement. If you do not want to participate in the settlement, you must prepare a note or letter simply stating: “I wish to be excluded from the Iron Hill Wage Lawsuit.” The letter or note may be typed or handwritten. Be sure to include your signature, name, address, and phone number. To be valid, your exclusion request must be postmarked no later than , 2016 and be mailed to: Iron Hill Wage Lawsuit, c/o Settlement Services, Inc., 0000-X Xxxxxxxxxxx Xxxx, Xxxxxxxxxxx, XX 00000. You may use the enclosed postage-paid envelope to mail your exclusion request. Importantly, if you exclude yourself from the settlement, you will not receive any settlement payment, you will not be legally bound by the settlement, and you will not waive or release any legal claims against the Iron Hill. 5. Do I have a lawyer? 6. How do the lawyers get paid? 7. How can I object to the settlement? 8. When and where will the Court decide whether to approve the settlement? 9. How do I obtain more information? Iron Hill Wage Lawsuit c/o Settlement Services, Inc. 0000-X Xxxxxxxxxxx Xxxx Xxxxxxxxxxx, XX 00000 Your Name: Print CLEARLY Street/P.O. Box: City/State/Zip: Primary Phone: Email Address: Please read the following carefully. You should contact the law firm of Winebrake & Xxxxxxxx, LLC (215-884- 2491) or any other attorney of your choice if you have any questions. 1. I have read and understand the accompanying Notice of Settlement (“Notice”) addressed to me and summarizing the settlement of this lawsuit. I consent and agree to settle my legal claims against Chesapeake & Delaware Brewing Holdings, LLC, Iron Hill Brewery, LLC, and all of their affiliated or related companies, owners, officers, agents, employees, successors, heirs, spouses, administrators, executors, partners, assigns, and all past, present, or future representatives and predecessors (collectively “Iron Hill”) under the terms described in the Notice. 2. I consent and agree, pursuant to 29 U.S.C. § 216(b), to become a party to this lawsuit and to be bound by all Court orders relating to the lawsuit and the settlement of the lawsuit. 3. I understand that the lawsuit has been settled. I desire to fully participate in the settlement and to receive my settlement payment in the amount as described in the Notice. 4. I understand that, by signing and returning this form, I forever release and waive Iron Hill (as defined in Paragraph 1 above) from all claims arising during the time period ending on June 30, 2016 and beginning on either February 17, 2013 (for Iron Hill’s Pennsylvania restaurants) or July 1, 2013 (for Iron Hill’s Delaware and New Jersey restaurants) , whether known or unknown, and asserted in or reasonably related to the lawsuit, including all such claims for unpaid wages, liquidated damages, or other damages (including

Appears in 1 contract

Samples: Class/Collective Action Settlement Agreement

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Exclude Yourself from the Settlement. If you do not want wish to participate take part in the settlementSettlement, you must prepare may exclude yourself by sending to the Settlement Administrator a note written “Request for Exclusion from the Class Action Settlement” letter or letter simply statingcard postmarked no later than <<RESPONSE DEADLINE>>. A valid Opt-Out Request must: “I wish (i) contain the Class Member’s full name, current address, and signature; (ii) contain the Action name and case number; (iii) contain a written request clearly expressing the Class Member’s desire to be excluded from (or opt out of) the Iron Hill Wage LawsuitSettlement; and (iv) be returned so that it is postmarked on or before the expiration of the Response Period. The Request for Exclusion could state: “I WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE XXXXXX X. XXXX ENTERPRISES, INC. LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE CLASS ACTION SETTLEMENT OF THIS LAWSUIT.” The letter or note may Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be typed or handwritten. Be sure to include your signaturea Class Member, name, addressshall be barred from participating in any portion of the Class Settlement, and phone numbershall receive no benefits from the Class Settlement. To If you submit a Request for Exclusion, you will only be valid, your exclusion request must be postmarked no later than , 2016 and be mailed to: Iron Hill Wage Lawsuit, c/o Settlement Services, Inc., 0000-X Xxxxxxxxxxx Xxxx, Xxxxxxxxxxx, XX 00000excluded from the Released Claims. You may use cannot submit a Request for Exclusion from the enclosed postage-paid envelope to mail your exclusion requestPAGA Release. Importantly, if You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the settlementSettlement if you were employed between January 9, 2018, up to and including Preliminary Approval of the Settlement by the Court. If you also wish to appear at the Final Approval Hearing scheduled for <<FINAL APPROVAL HEARING DATE/TIME>> in Department of the Xxxx County Superior Court, located at 0000 Xxxxxxx Xxxxxx, Xxxxxxxxxxx, Xxxxxxxxxx 00000, either remotely, in person or through an attorney, you will not receive any settlement payment, you will not be legally bound by must also file a notice of intention to appear with the settlement, Court and you will not waive serve counsel for all parties on or release any legal claims against the Iron Hill. 5before <<RESPONSE DEADLINE>>. Do I have a lawyer? 6. How do the lawyers get paid? 7. How can I object Any attorney who intends to represent an individual objecting to the settlement? 8. When and where will Settlement must file a notice of appearance with the Court decide whether to approve and serve counsel for all parties on or before <<RESPONSE DEADLINE>>. All objections or other correspondence must state the settlement? 9. How do I obtain more information? Iron Hill Wage Lawsuit c/o Settlement Servicesname and number of the case, which is Xxxx Xxxxxx x. Xxxx Enterprises, Inc. 0000et al., Xxxx County Superior Court Case No. BCV-19-X Xxxxxxxxxxx Xxxx Xxxxxxxxxxx, XX 00000 Your Name: Print CLEARLY Street/P.O. Box: City/State/Zip: Primary Phone: Email Address: Please read 100066. Any Class Member who elects to appear personally at the following carefully. You should contact the law firm of Winebrake & Xxxxxxxx, LLC (215-884- 2491) or Court for any other attorney of your choice if you have any questions. 1. I have read and understand the accompanying Notice of Settlement (“Notice”) addressed to me and summarizing the settlement of this lawsuit. I consent and agree to settle my legal claims against Chesapeake & Delaware Brewing Holdings, LLC, Iron Hill Brewery, LLC, and all of their affiliated or reason related companies, owners, officers, agents, employees, successors, heirs, spouses, administrators, executors, partners, assigns, and all past, present, or future representatives and predecessors (collectively “Iron Hill”) under the terms described in the Notice. 2. I consent and agree, pursuant to 29 U.S.C. § 216(b), to become a party to this lawsuit Lawsuit must comply with the Court’s social distancing and to be bound by all Court mandatory face covering requirements, as well and other orders relating to the lawsuit and the settlement of the lawsuit. 3. I understand that the lawsuit has been settled. I desire to fully participate in the settlement and to receive my settlement payment in the amount as described in the Notice. 4. I understand that, by signing and returning this form, I forever release and waive Iron Hill (as defined in Paragraph 1 above) from all claims arising during the time period ending on June 30, 2016 and beginning on either February 17, 2013 (for Iron Hill’s Pennsylvania restaurants) or July 1, 2013 (for Iron Hill’s Delaware and New Jersey restaurants) , whether known or unknown, and asserted in or reasonably related to COVID-19. All such rules and orders can be located at the lawsuit, including all such claims for unpaid wages, liquidated damages, or other damages (includingCourt’s website xxxx.xxxxxx.xx.xxx.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

Exclude Yourself from the Settlement. If you do not want wish to participate take part in the settlementSettlement, you must prepare may exclude yourself by sending to the Settlement Administrator a note written “Request for Exclusion from the Class Action Settlement” letter or letter simply statingcard postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, and your signature. The Request for Exclusion should state: “I wish WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE XXXXXX X. XXXXXX FARM LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE CLASS ACTION SETTLEMENT OF THIS LAWSUIT.” Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be a Settlement Class Member, shall be barred from participating in any portion of the Settlement, and shall receive no benefits from the Settlement. If you submit a Request for Exclusion, you will only be excluded from the Iron Hill Wage Lawsuit.” The letter or note may be typed or handwritten. Be sure to include your signature, name, address, and phone number. To be valid, your exclusion request must be postmarked no later than , 2016 and be mailed to: Iron Hill Wage Lawsuit, c/o Settlement Services, Inc., 0000-X Xxxxxxxxxxx Xxxx, Xxxxxxxxxxx, XX 00000Released Claims. You may use cannot submit a Request for Exclusion from the enclosed postage-paid envelope to mail your exclusion requestPAGA Release. Importantly, if You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the settlementSettlement if you were employed between August 29, 2018 and [ CLOSE DATE OF THE CLASS PERIOD]. your objection, and any legal or factual support for each objection together with any evidence in support of your objection. If you also wish to appear at the Final Approval Hearing scheduled for <<FINAL APPROVAL HEARING DATE/TIME>> in Department of the Xxxx County Superior Court, located at 0000 Xxxxxxx Xxxxxx, Xxxxxxxxxxx, Xxxxxxxxxx 00000, either remotely, in person or through an attorney, you must also file a notice of intention to appear with the Court and serve counsel for all parties on or before <<RESPONSE DEADLINE>>. Any attorney who intends to represent an individual objecting to the Settlement must file a notice of appearance with the Court and serve counsel for all parties on or before <<RESPONSE DEADLINE>>. All objections or other correspondence must state the name and number of the case, which is Xxxxxxxx Xxxxxx x. Xxxxxx Farm Labor Contractor, Inc., Xxxx County Superior Court Case No. BCV-19- 102470. Any Class Member who elects to appear personally at the Court for any reason related to this Lawsuit must comply with the Court’s social distancing and mandatory face covering requirements, as well and other orders related to COVID-19. All such rules and orders can be located at the Court’s website xxxx.xxxxxx.xx.xxx. For more information on how to appear remotely, please visit the Court’s website at xxxxx://xxx.xxxx.xxxxxx.ca.gov/online_services/remote_court_hearings. If you object to the Settlement, you will not receive any settlement paymentremain a member of the Settlement Class, and if the Court approves the Settlement, you will not be legally bound by the settlementterms of the Settlement in the same way as Settlement Class Members who do not object. The Court will hold a Final Approval Hearing on the adequacy, reasonableness, and you fairness of the Settlement on <<FINAL APPROVAL HEARING DATE/TIME>>, in Department of the Xxxx County Superior Court, located at 0000 Xxxxxxx Xxxxxx, Xxxxxxxxxxx, Xxxxxxxxxx 00000. The Court also will not waive or release any legal claims against be asked to rule on Class Counsel’s request for attorneys’ fees and reimbursement of documented costs and expenses and the Iron Hill. 5. Do I have a lawyer? 6. How do the lawyers get paid? 7. How can I object Service Award to the settlement? 8Class Representative. When and where will the Court decide whether The Final Approval Hearing may be postponed without further notice to approve the settlement? 9. How do I obtain more information? Iron Hill Wage Lawsuit c/o Settlement Services, Inc. 0000-X Xxxxxxxxxxx Xxxx Xxxxxxxxxxx, XX 00000 Your Name: Print CLEARLY Street/P.O. Box: City/State/Zip: Primary Phone: Email Address: Please read the following carefullyClass Members. You should contact are not required to attend the law firm Final Approval Hearing, although any Settlement Class Member is welcome to attend the hearing. Any changes to date, time, or location of Winebrake & Xxxxxxxx, LLC the Final Approval Hearing will be posted on the Settlement Administrator’s website (215-884- 2491) or any other attorney of your choice if you have any questions. 1http://.com). I have read and understand the accompanying Notice of the Court’s final judgment will be posted on the Settlement Administrator’s website (“Notice”) addressed to me and summarizing the settlement of this lawsuit. I consent and agree to settle my legal claims against Chesapeake & Delaware Brewing Holdings, LLC, Iron Hill Brewery, LLC, and all of their affiliated or related companies, owners, officers, agents, employees, successors, heirs, spouses, administrators, executors, partners, assigns, and all past, present, or future representatives and predecessors (collectively “Iron Hill”) under the terms described in the Noticehttp://.com). 2. I consent and agree, pursuant to 29 U.S.C. § 216(b), to become a party to this lawsuit and to be bound by all Court orders relating to the lawsuit and the settlement of the lawsuit. 3. I understand that the lawsuit has been settled. I desire to fully participate in the settlement and to receive my settlement payment in the amount as described in the Notice. 4. I understand that, by signing and returning this form, I forever release and waive Iron Hill (as defined in Paragraph 1 above) from all claims arising during the time period ending on June 30, 2016 and beginning on either February 17, 2013 (for Iron Hill’s Pennsylvania restaurants) or July 1, 2013 (for Iron Hill’s Delaware and New Jersey restaurants) , whether known or unknown, and asserted in or reasonably related to the lawsuit, including all such claims for unpaid wages, liquidated damages, or other damages (including

Appears in 1 contract

Samples: Settlement Agreement

Exclude Yourself from the Settlement. If you do not want wish to participate take part in the settlementSettlement, you must prepare may exclude yourself by sending to the Settlement Administrator a note written “Request for Exclusion from the Class Action Settlement” letter or letter simply stating: “I wish card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, your signature, and a statement indicating that you would like to be excluded from the Iron Hill Wage LawsuitClass Action Settlement. The Request for Exclusion should state: “I WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE XXXXXXX V. PACIFIC DRAYAGE SERVICES LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE SETTLEMENT OF THIS LAWSUIT.” The letter or note may Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be typed or handwritten. Be sure to include your signaturea Settlement Class member, name, addressshall be barred from participating in any portion of the Settlement, and phone numbershall receive no benefits from the Settlement. To If you submit a Request for Exclusion, you will only be valid, your exclusion request must be postmarked no later than , 2016 and be mailed to: Iron Hill Wage Lawsuit, c/o Settlement Services, Inc., 0000-X Xxxxxxxxxxx Xxxx, Xxxxxxxxxxx, XX 00000excluded from the Released Claims. You may use cannot submit a Request for Exclusion from the enclosed postage-paid envelope to mail your exclusion requestPAGA Release. Importantly, if You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the settlementSettlement if you were employed between August 27, 2020 and January 28, 2022. include your name, address, as well as contact information for any attorney representing you will not receive any settlement paymentregarding your objection, you will not be legally bound by the settlementcase name and number, each specific reason in support of your objection, and you will not waive or release any legal claims against the Iron Hill. 5or factual support for each objection together with any evidence in support of your objection. Do I have a lawyer? 6Written objections must be postmarked on or before <<RESPONSE DEADLINE>>. How do the lawyers get paid? 7. How can I If you choose to object to the settlement? 8Settlement, you may also appear at the Final Approval Hearing scheduled for <<FINAL APPROVAL HEARING DATE/TIME>> in Department S-26 of the San Bernardino County Superior Court, located at 000 Xxxx Xxxxx Xxxxxx, Xxx Xxxxxxxxxx, Xxxxxxxxxx 00000. When and where will You have the right to appear either remotely, in person or through your own attorney at this hearing. Any attorney who intends to represent an individual objecting to the Settlement must file a notice of appearance with the Court decide whether to approve and serve counsel for all parties on or before <<RESPONSE DEADLINE>>. All objections or other correspondence must state the settlement? 9. How do I obtain more information? Iron Hill Wage Lawsuit c/o Settlement Services, Inc. 0000-X Xxxxxxxxxxx Xxxx Xxxxxxxxxxx, XX 00000 Your Name: Print CLEARLY Street/P.O. Box: City/State/Zip: Primary Phone: Email Address: Please read the following carefully. You should contact the law firm of Winebrake & Xxxxxxxx, LLC (215-884- 2491) or any other attorney of your choice if you have any questions. 1. I have read name and understand the accompanying Notice of Settlement (“Notice”) addressed to me and summarizing the settlement of this lawsuit. I consent and agree to settle my legal claims against Chesapeake & Delaware Brewing Holdings, LLC, Iron Hill Brewery, LLC, and all of their affiliated or related companies, owners, officers, agents, employees, successors, heirs, spouses, administrators, executors, partners, assigns, and all past, present, or future representatives and predecessors (collectively “Iron Hill”) under the terms described in the Notice. 2. I consent and agree, pursuant to 29 U.S.C. § 216(b), to become a party to this lawsuit and to be bound by all Court orders relating to the lawsuit and the settlement number of the lawsuit. 3. I understand that the lawsuit has been settled. I desire to fully participate in the settlement and to receive my settlement payment in the amount as described in the Notice. 4. I understand that, by signing and returning this form, I forever release and waive Iron Hill case (as defined in Paragraph 1 above) from all claims arising during the time period ending on June 30, 2016 and beginning on either February 17, 2013 (for Iron Hill’s Pennsylvania restaurants) or July 1, 2013 (for Iron Hill’s Delaware and New Jersey restaurants) , whether known or unknown, and asserted in or reasonably related to the lawsuit, including all such claims for unpaid wages, liquidated damages, or other damages (includingXxxxx Xxxxxxx

Appears in 1 contract

Samples: Settlement Agreement

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Exclude Yourself from the Settlement. If you do not want wish to participate take part in the settlementSettlement, you must prepare may exclude yourself by sending to the Settlement Administrator a note written “Request for Exclusion from the Class Action Settlement” letter or letter simply stating: “I wish card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, your signature, and a statement indicating that you would like to be excluded from the Iron Hill Wage LawsuitClass Action Settlement. The Request for Exclusion should state: “I WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE MARTINEZ V. READY ROAST NUT COMPANY LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE SETTLEMENT OF THIS LAWSUIT.” The letter or note may Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be typed or handwritten. Be sure to include your signaturea Settlement Class member, name, addressshall be barred from participating in any portion of the Settlement, and phone numbershall receive no benefits from the Settlement. To If you submit a Request for Exclusion, you will only be valid, your exclusion request must be postmarked no later than , 2016 and be mailed to: Iron Hill Wage Lawsuit, c/o Settlement Services, Inc., 0000-X Xxxxxxxxxxx Xxxx, Xxxxxxxxxxx, XX 00000excluded from the Released Claims. You may use cannot submit a Request for Exclusion from the enclosed postage-paid envelope to mail your exclusion requestPAGA Release. Importantly, if You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the settlement, you will not receive any settlement payment, you will not be legally bound by the settlement, and you will not waive or release any legal claims against the Iron Hill. 5. Do I have a lawyer? 6. How do the lawyers get paid? 7. How can I object to the settlement? 8. When and where will the Court decide whether to approve the settlement? 9. How do I obtain more information? Iron Hill Wage Lawsuit c/o Settlement Services, Inc. 0000-X Xxxxxxxxxxx Xxxx Xxxxxxxxxxx, XX 00000 Your Name: Print CLEARLY Street/P.O. Box: City/State/Zip: Primary Phone: Email Address: Please read the following carefully. You should contact the law firm of Winebrake & Xxxxxxxx, LLC (215-884- 2491) or any other attorney of your choice if you have any questions. 1. I have read and understand the accompanying Notice of Settlement (“Notice”) addressed to me and summarizing the settlement of this lawsuit. I consent and agree to settle my legal claims against Chesapeake & Delaware Brewing Holdings, LLC, Iron Hill Brewery, LLC, and all of their affiliated or related companies, owners, officers, agents, employees, successors, heirs, spouses, administrators, executors, partners, assigns, and all past, present, or future representatives and predecessors (collectively “Iron Hill”) under the terms described in the Notice. 2. I consent and agree, pursuant to 29 U.S.C. § 216(b), to become a party to this lawsuit and to be bound by all Court orders relating to the lawsuit and the settlement of the lawsuit. 3. I understand that the lawsuit has been settled. I desire to fully participate in the settlement and to receive my settlement payment in the amount as described in the Notice. 4. I understand that, by signing and returning this form, I forever release and waive Iron Hill (as defined in Paragraph 1 above) from all claims arising during the time period ending on June 30, 2016 and beginning on either were employed between February 17, 2013 (for Iron Hill’s Pennsylvania restaurants) or July 12020 and September 27, 2013 (for Iron Hill’s Delaware and New Jersey restaurants) , whether known or unknown, and asserted in or reasonably related to the lawsuit, including all such claims for unpaid wages, liquidated damages, or other damages (including2020.

Appears in 1 contract

Samples: Settlement Agreement

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