Common use of Exclusions from the Settlement Class Clause in Contracts

Exclusions from the Settlement Class. Subject to Court approval, any person or entity seeking exclusion from the Settlement Class must file a written request for exclusion by the Opt-Out Deadline. Any person or entity that files such a request shall be excluded from the Settlement Class and shall have no rights with respect to this settlement. Subject to Court approval, a request for exclusion that does not comply with all of the provisions set forth in the applicable class notice will be invalid, and the person(s) or entity(ies) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Agreement upon final approval. Settlement Class Counsel shall, within ten (10) business days of the Opt Out Deadline, provide the Panasonic Defendants with a list and copies of all opt out requests it receives in the Action and shall file with the Court a list of all Settlement Class Members who timely and validly opted out of the settlement. (a) Subject to Court approval, any member of the Settlement Class who submits a valid and timely request for exclusion from the Settlement Class will not be a Settlement Class Member and shall not be bound by the terms of this Agreement. The Panasonic Defendants reserve all of their legal rights and defenses, including, but not limited to, any defenses relating to whether any excluded member of the Settlement Class is an indirect purchaser of Air Conditioning Systems or has standing to bring any claim against the Panasonic Defendants. (b) Subject to Court approval, the member of the Settlement Class must state his, her, or its full name, street address and telephone number in the written request for exclusion. Further, the member of the Settlement Class must include a statement in the written request for exclusion that he, she or it wishes to be excluded from the Settlement Class. Any member of the Settlement Class that submits a written request for exclusion may also identify the number of Vehicles purchased from May 1, 1999 through the Execution Date of this Agreement as requested in the notice to the Settlement Class. (c) The Panasonic Defendants or Settlement Class Counsel may dispute an exclusion request, and the parties shall, if possible, resolve the disputed exclusion request by agreement and shall inform the Court of their position, and, if necessary, seek a ruling thereon, within thirty (30) days of the Opt-Out Deadline.

Appears in 1 contract

Samples: Settlement Agreement

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Exclusions from the Settlement Class. Subject to Court approval, any person or entity seeking exclusion from the Settlement Class must file a written request for exclusion by the Opt-Out Deadline. Any person or entity that files such a request shall be excluded from the Settlement Class and shall have no rights with respect to this settlement. Subject to Court approval, a request for exclusion that does not comply with all of the provisions set forth in the applicable class notice will be invalid, and the person(s) or entity(ies) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Settlement Agreement upon final approval. Settlement Class Counsel shall, within ten (10) business days of after the Opt Opt-Out Deadline, provide the Panasonic Defendants TRW with a list and copies of all opt opt-out requests it receives in the Action and shall file with the Court a list of all Settlement Class Members who timely and validly opted out of the settlement. (a) Subject to Court approvalApproval, any member of the Settlement Class who submits a valid and timely request for exclusion from the Settlement Class will not be a Settlement Class Member and shall not be bound by the terms of this Agreement. The Panasonic Defendants reserve TRW reserves all of their legal its rights and defenses, including, but not limited to, any defenses relating to whether any excluded member of the Settlement Class is an indirect purchaser of Air Conditioning Hydraulic Braking Systems or has standing to bring any claim against the Panasonic DefendantsTRW. (b) Subject to Court approvalApproval, in the written request for exclusion, the member of the Settlement Class must state his, her, or its full name, street address address, and telephone number in the written request for exclusionnumber. Further, the member of the Settlement Class must include a statement in the written request for exclusion that he, she she, or it wishes to be excluded from the Settlement Class. Any member of the Settlement Class that submits a written request for exclusion may also identify the number of Vehicles with TRW Hydraulic Braking Systems he, she, or it purchased from May 1February 13, 1999 2007 through the Execution Date of this Agreement as requested in the notice to the Settlement ClassDecember 31, 2017. (c) The Panasonic Defendants TRW or Settlement Class Counsel may dispute an exclusion request, and the parties shall, if possible, resolve the disputed exclusion request by agreement and shall inform the Court of their position, and, if necessary, seek obtain a ruling thereon, thereon within thirty (30) days of the Opt-Out Deadline.

Appears in 1 contract

Samples: Settlement Agreement

Exclusions from the Settlement Class. Subject to Court approval, any person or entity seeking exclusion from the Settlement Class must file a written request for exclusion by the Opt-Opt Out Deadline, which shall be the date set by the Court by which any class member must request exclusion from the Settlement Class. Any person or entity that files such a request shall be excluded from the Settlement Class and shall have no rights with respect to this settlement. Subject to Court approval, a request for exclusion that does not comply with all of the provisions set forth in the applicable class notice will be invalid, and the person(s) or entity(ies) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Settlement Agreement upon final approval. Settlement Class Counsel shall, within ten (10) business days of the Opt Out Deadline, provide the Panasonic Defendants Chiyoda with a list and copies of all opt out requests it receives in the Action and shall file with the Court a list of all members of the Settlement Class Members who timely and validly opted out of the settlement. (a) Subject to Court approvalApproval, any member of the Settlement Class who submits a valid and timely request for exclusion from the Settlement Class will not be a Settlement Class Member and shall not be bound by the terms of this Agreement. The Panasonic Defendants reserve Chiyoda reserves all of their its legal rights and defenses, including, including but not limited to, to any defenses relating to whether any excluded member of the Settlement Class is an indirect purchaser of Air Conditioning Automotive Wire Harness Systems or has standing to bring any claim against the Panasonic DefendantsChiyoda. (b) Subject to Court approvalApproval, in the written request for exclusion, the member of the Settlement Class must state his, her, or its full name, street address address, telephone number, and telephone number in the written request for exclusionemail address. Further, the member of the Settlement Class must include a statement in the written request for exclusion that he, she she, or it wishes to be excluded from the Settlement ClassSettlement. Any member of the Settlement Class that submits a written request for exclusion may also identify the number of Vehicles purchased from May January 1, 1999 through the Execution Date of this Agreement as requested in the notice to the Settlement ClassClass as provided in Paragraph 19. (c) The Panasonic Defendants Chiyoda or Settlement Class Counsel may dispute an exclusion request, and the parties shall, if possible, resolve the disputed exclusion request by agreement and shall inform the Court of their position, and, if necessary, seek obtain a ruling thereon, thereon within thirty (30) days of the Opt-Out Deadline.

Appears in 1 contract

Samples: Settlement Agreement

Exclusions from the Settlement Class. Subject to Court approval, any person or entity seeking exclusion from the Settlement Class must file a written request for exclusion by the Opt-Out Deadline, which shall be the date set by the Court by which any class member must request exclusion from the Settlement Class. Any person or entity that files such a request shall be excluded from the Settlement Class and shall have no rights with respect to this settlement. Subject to Court approval, a request for exclusion that does not comply with all of the provisions set forth in the applicable class notice will be invalid, and the person(s) or entity(ies) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Settlement Agreement upon final approval. Settlement Class Counsel shall, within ten (10) business days of the Opt Opt-Out Deadline, provide the Panasonic Defendants Kiekert with a list and copies of all opt opt-out requests it receives in the Action and shall file with the Court a list of all Settlement Class Members who timely and validly opted out of the settlement. (a) Subject to Court approvalApproval, any member of the Settlement Class who submits a valid and timely request for exclusion from the Settlement Class will not be a Settlement Class Member and shall not be bound by the terms of this Agreement. The Panasonic Defendants reserve Kiekert reserves all of their its legal rights and defenses, including, but not limited to, any defenses relating to whether any excluded member of the Settlement Class is an indirect purchaser of Air Conditioning Systems Side-Door Latches and Latch Minimodules or has standing to bring any claim against the Panasonic DefendantsKiekert. (b) Subject to Court approvalApproval, in the written request for exclusion, the member of the Settlement Class must state his, her, or its full name, street address address, and telephone number in the written request for exclusionnumber. Further, the member of the Settlement Class must include a statement in the written request for exclusion that he, she she, or it wishes to be excluded from the Settlement Classsettlement. Any member of the Settlement Class that submits a written request for exclusion may also identify the number of Vehicles purchased from May January 1, 1999 2004, through the Execution Date of this Agreement as requested in the notice to the Settlement ClassClass as provided in Paragraph 20. (c) The Panasonic Defendants Kiekert or Settlement Class Counsel may dispute an exclusion request, and the parties shall, if possible, resolve the disputed exclusion request by agreement and shall inform the Court of their position, and, if necessary, seek obtain a ruling thereon, thereon within thirty (30) days of the Opt-Out Deadline.

Appears in 1 contract

Samples: Settlement Agreement

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Exclusions from the Settlement Class. Subject to Court approval, any person or entity seeking exclusion from the Settlement Class must file a written request for exclusion by the Opt-Opt Out Deadline, which shall be the date set by the Court by which any class member must request exclusion from the Settlement Class. Any person or entity that files such a request shall be excluded from the Settlement Class and shall have no rights with respect to this settlement. Subject to Court approval, a request for exclusion that does not comply with all of the provisions set forth in the applicable class notice will be invalid, and the person(s) or entity(ies) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Settlement Agreement upon final approvalFinal Court Approval. Settlement Class Counsel shall, within ten (10) business days of the Opt Opt-Out Deadline, provide the Panasonic Aisan Defendants with a list and copies of all opt out requests it receives in the Action and shall file with the Court a list of all members of the Settlement Class Members who timely and validly opted out of the settlement. (a) Subject to Court approvalApproval, any member of the Settlement Class who submits a valid and timely request for exclusion from the Settlement Class will not be a Settlement Class Member and shall not be bound by the terms of this Agreement. The Panasonic Aisan Defendants reserve all of their legal rights and defenses, including, including but not limited to, to any defenses relating to whether any excluded member of the Settlement Class is an indirect purchaser of Air Conditioning Fuel Injection Systems or has standing to bring any claim against the Panasonic Aisan Defendants. (b) Subject to Court approvalApproval, in the written request for exclusion, the member of the Settlement Class must state his, her, or its full name, street address address, telephone number, and telephone number in the written request for exclusionemail address. Further, the member of the Settlement Class must include a statement in the written request for exclusion that he, she she, or it wishes to be excluded from the Settlement Classsettlement. Any member of the Settlement Class that submits a written request for exclusion may also identify the number of Vehicles purchased from May January 1, 1999 2000 through the Execution Date of this Agreement as requested in the notice to the Settlement ClassClass as provided in Paragraph 20. (c) The Panasonic Aisan Defendants or Settlement Class Counsel may dispute an exclusion request, and the parties shall, if possible, resolve the disputed exclusion request by agreement and shall inform the Court of their position, and, if necessary, seek obtain a ruling thereon, thereon within thirty (30) days of the Opt-Out Deadline.

Appears in 1 contract

Samples: Settlement Agreement

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