Common use of Exclusion from the Settlement Class Clause in Contracts

Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims Solutions, Inc., P.O. Box 5430, Portland, OR 97228-5430, and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Securities Litigation, No. 1:20-cv-04494-GHW-SN (S.D.N.Y.)”; (iii) state the number of shares of Xxxxx Fargo common stock that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or sold from February 2, 2018 through March 12, 2020, inclusive, as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or sold; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 2 contracts

Samples: Stipulation and Agreement of Settlement, Stipulation and Agreement of Settlement

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Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: : (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo In re Genworth Financial, Inc. Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims SolutionsX.X. Xxx 0000, Inc.Xxxxxxxx, P.O. Box 5430, Portland, OR 97228XX 00000-54300000, and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Genworth Financial, Inc. Securities Litigation, Case No. 1:203:14-cv-04494-GHW-SN (S.D.N.Y.)CV-00682”; (iii) identify and state the number of each Genworth Security (in terms of shares of Xxxxx Fargo Genworth common stock and face value of Genworth Bonds) that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or sold from February 2during the Settlement Class Period (i.e., 2018 through March 12between October 30, 20202013, and November 5, 2014, inclusive), as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or soldand sale; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 2 contracts

Samples: Settlement Agreement, Settlement Agreement

Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims Solutions, Inc., P.O. Box 5430, Portland, OR 97228-5430sent to the address indicated on the Notice, and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Securities LitigationXxxxxxxxxxx x. Xxxxxxx, Inc., et al., Case No. 1:202:18-cv-04494cv-04378-GHW-SN (S.D.N.Y.)CMR”; (iii) state the number of shares of Xxxxx Fargo Xxxxxxx common stock that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or sold from February 2, 2018 through March 12, 2020, inclusiveduring the Settlement Class Period, as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or soldand sale; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 1 contract

Samples: Settlement Agreement

Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo In re Rayonier Inc. Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims SolutionsX.X. Xxx 0000, Inc.Xxxxxxxx, P.O. Box 5430, Portland, OR 97228XX 00000-54300000, and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Rayonier Inc. Securities Litigation, Case No. 1:203:14-cv-04494-GHW-SN (S.D.N.Y.)cv-01395”; (iii) state the number of shares of Xxxxx Fargo Rayonier common stock shares that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or and sold from February 2, 2018 through March 12, 2020, inclusiveduring the Settlement Class Period, as well as the dates and prices of each such purchase/acquisition and/or sale andand sale, for each, and the numbers number of shares purchased/acquired and/or soldheld at the beginning of the Settlement Class Period; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 1 contract

Samples: Stipulation and Agreement of Settlement

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Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo In re Lumber Liquidators Holdings, Inc. Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims SolutionsA.B. Data, Inc.Ltd., P.O. Box 5430P.X. Xxx 000000, PortlandXxxxxxxxx, OR 97228-5430XX 00000, and (b) each request for exclusion must (i) state the name, address, address and telephone number of the person or entity requesting exclusion, and in the case of entities, entities the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Lumber Liquidators Holdings, Inc. Securities Litigation, No. 1:204:13-cv-04494cv-00157-GHWAWA-SN (S.D.N.Y.)DEM”; (iii) state the number of shares of Xxxxx Fargo common stock Lumber Liquidators Securities that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired purchased and/or sold from February 2, 2018 through March 12, 2020, inclusiveduring the Settlement Class Period, as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or soldpurchase and sale; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 1 contract

Samples: Settlement Agreement (Lumber Liquidators Holdings, Inc.)

Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: : (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo Securities LitigationXxxxxxx v. Endurance International Group Holdings, Inc., et al., EXCLUSIONS, c/o Epiq Class Action and Claims SolutionsJND Legal Administration, Inc.X.X. Xxx 00000, P.O. Box 5430Xxxxxxx, Portland, OR 97228-5430, XX 00000; and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Securities LitigationXxxxxxx v. Endurance International Group Holdings, Inc., et al., Case No. 1:201:15-cv-04494-GHW-SN (S.D.N.Y.)cv-11775- GAO”; (iii) state the number of shares of Xxxxx Fargo Endurance common stock that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or sold from February 2, 2018 through March 12, 2020, inclusiveduring the Settlement Class Period, as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or soldand sale; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.

Appears in 1 contract

Samples: Settlement Agreement

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