Exclusions and Objections. The Long Form Notice and the Print Publication Notice shall advise prospective Settlement Class Members of their rights to forego the benefits of this settlement and pursue an individual claim; to object to this settlement individually or through counsel; and to appear at the final approval hearing.
Exclusions and Objections. The Notice shall advise prospective Settlement Class Members of their rights to forego the benefits of this Settlement and pursue an individual claim; to object to this Settlement individually or through counsel; and, if they object, to appear at the final approval hearing.
Exclusions and Objections. The Class Notice will advise all Settlement Class Members of their rights to be excluded from the Settlement or to object to the Settlement.
Exclusions and Objections. The Class Notice shall advise all Settlement Class Members of their right: (a) to be excluded from the Settlement; and (b) to object to the Settlement. If any Settlement Class Member wishes to be excluded from the Settlement, he or she must mail a valid Request for Exclusion, as described in the Class Notice, by the Opt-Out Date, that is, within forty-five (45) calendar days after the Notice Date. Any Settlement Class Member who timely elects to opt out of the Settlement shall not be permitted to object to the Settlement. Persons falling within the definition of the Settlement Class who validly and timely request exclusion from the Settlement effected by this Settlement Agreement, pursuant to the procedures set forth in this paragraph 5.3, shall not be Settlement Class Members, shall not be bound by this Settlement Agreement, and shall not be eligible to make a claim for any benefit under the terms of this Settlement Agreement. At least seven (7) calendar days prior to the Fairness Hearing, the Settlement Administrator shall prepare a report identifying the persons who have excluded themselves in a valid and timely manner from the Settlement Class (the “Opt-Outs”), and provide such report to Plaintiff’s Counsel, Defendant’s Counsel, and the Court. If any Settlement Class Member wishes to object to the Settlement and/or to be heard, he or she will have forty-five (45) calendar days from the Notice Date to file with the Court a written Objection. Such written notice shall include: (i) the name, address, and telephone number of the Settlement Class Member; (ii) information sufficient to identify the case and demonstrate membership in the Settlement Class; (iii) the specific grounds for each objection asserted, with any legal support, papers, briefs, or evidence the person wishes to bring to the Court’s attention; and (iv) a statement indicating whether the Settlement Class Member intends to appear at the hearing to consider final approval of the Settlement, either in person or through counsel. The written Objection must be personally signed by the Settlement Class Member and must be mailed to Plaintiff’s Counsel and Defendant’s Counsel at the same time it is filed with the Court. If a Settlement Class Member objecting to the Settlement retains an attorney to represent him or her for the purposes of making an objection, the attorney must formally enter his or her appearance in the case within fifty-two (52) calendar days after the Notice Date. Any Settlement C...
Exclusions and Objections. Settlement Class Members will have the right to appear and present objections as to any reasons why the terms of this Agreement should not be given Final Approval. Any Objection must be in writing and filed with the Court, with a copy delivered to Class Counsel and Defense Counsel at the addresses set forth in the Class Settlement Notice, no later than the Objection/Exclusion Deadline.
Exclusions and Objections. The Preliminary Approval Order and Class Notice shall advise prospective Class Members of their rights to exclude themselves from the Settlement, forgo the benefits of this Settlement, and reserve the right to pursue an individual action; to object to this settlement individually or through counsel; and to appear at the Final Approval Hearing.
Exclusions and Objections. 14. Settlement Class Members who seek to be excluded from the Settlement Class must sign and timely submit written notice of such intent to the designated Post Office box established by the Claims Administrator, set forth in the Notices. The written notice must clearly manifest a Person’s intent to be excluded from the Settlement Class. The notice must be exercised individually by a Settlement Class Member, not as or on behalf of a group, class, or subclass, except that the individual exclusion request may be submitted by a Settlement Class Member’s legal representative. The written notice must be postmarked no later than sixty (60) days from the Notice Deadline.
Exclusions and Objections. 15 objections were received. exclusions were received and
Exclusions and Objections. 25. Settlement Class Members who seek to be excluded from the Settlement Class must notify the Settlement Administrator in writing, postmarked no later than seventy-five (75) days after the Notice Date. Any Settlement Class Member may submit a Request for Exclusion from the Settlement at any time during the Opt-Out Period. To be valid, the Request for Exclusion must be (i) submitted electronically on the Settlement Website, or (ii) postmarked or received by the Settlement Administrator on or before the end of the Opt-Out Period. In the event a Settlement Class Member submits a Request for Exclusion to the Settlement Administrator via U.S. Mail, such Request for Exclusion must be in writing and must identify the case name In re Forefront Data Breach Litigation, No. 1:21-cv-00887-LA (E.D. Wis.); state the name, address, and telephone number of the Settlement Class Member seeking exclusion; be physically signed by the person(s) seeking exclusion; and must also contain a statement to the effect that “I hereby request to be excluded from the proposed Settlement Class in In re Forefront Data Breach Litigation, No. 1:21-cv-00887-LA (E.D. Wis.).” Any person who elects to request exclusion from the Settlement Class shall not: (i) be bound by any orders or Judgment entered in the Action, (ii) be entitled to relief under the Settlement Agreement, (iii) gain any rights by virtue of the Settlement Agreement, or (iv) be entitled to object to any aspect of the Settlement Agreement. Requests for Exclusion may only be done on an individual basis, and no person may request to be excluded from the Settlement Class through “mass” or “class” opt-outs.
Exclusions and Objections. 35. Class Members will have sixty (60) days from the Notice Date to object to or to submit a request for exclusion from the Settlement. Any Settlement Class Member may submit a Request for Exclusion from the Settlement at any time during the Opt-Out Period. To be valid, the Request for Exclusion must be postmarked or received by the Settlement Administrator on or before the end of the Opt-Out Period. In the event a Class Member submits a Request for Exclusion to the Settlement Administrator via US Mail, such Request for Exclusion must be in writing and must identify the case name Xxxx, et al. v. Empress Ambulance Service, LLC, NO. 61058/2023; state the name, address and telephone number of the Class Member seeking exclusion; be physically signed by the person(s) seeking exclusion; and must also contain a statement to the effect that “I hereby request to be excluded from the proposed Settlement Class in Xxxx, et al. v. Empress Ambulance Service, LLC, NO. 61058/2023.”