EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Apr 12, 2023 Xxxx Xxxx (Apr 12, 2023 13:13 CDT) Plaintiff Juno Chua Dated: For Defendants Beecan Health LLC, California Post Acute LLC, Xxxxxxx Post Acute, LLC, Corona Post Acute, LLC, La Fuente Care Post Acute LLC, Monrovia Post Acute LLC, and Royal Gardens Healthcare, LLC Dated: 4/19/23 Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiff Dated: Xxxxxx X. Xxxxxxx Xxxxx & Xxxxxxx LLP Attorney for Defendants 4864-8473-5802.3 The proposed Settlement has two main parts: (1) a Class Settlement requiring Defendant to fund Individual Class Payments to Class Members, and (2) a PAGA Settlement requiring Defendant to fund the PAGA Penalties to pay penalties to the California Labor and Workforce Development Agency (“LWDA”) and to Aggrieved Employees. Based on Defendants’ records, and the Parties’ current assumptions, your Individual Class Payment is estimated to be <<$ >> (less withholding), and your share of the PAGA Penalties is estimated to <<be $ >>. The actual amount you may receive likely will be different and will depend on a number of factors. (If $0.00 is stated, then according to Defendants’ records you are not eligible for that payment.) The above estimates are based on Defendants’ records showing that you worked << >> workweeks during the Class Period and you worked << >> pay periods during the PAGA Period. If you believe that you worked more workweeks and/or pay periods during either period, you can submit a challenge by the deadline date. See Section 5 of this Notice below. The Court has already preliminarily approved the proposed Settlement and approved this Notice. The Court has not yet decided whether to grant final approval. Your legal rights are affected whether you act or do not act. Read this Notice carefully. You will be deemed to have carefully read and understood it. At the Final Approval Hearing, the Court will decide whether to finally approve the Settlement and how much of the Settlement will be paid to Plaintiff and Plaintiff’s attorneys (“Class Counsel”). The Court will also decide whether to enter a judgment that requires Defendants to make payments under the Settlement and requires Class Members and Aggrieved Employees to give up their rights to assert certain claims against Defendants. If you worked for Defendants during the Class Period and/or the PAGA Period, you have two basic options under the Settlement:
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. 05/25/2018 Dated: May , 2018. Dated: May , 2018. Dated: May , 2018. XXXXX XXXXXX-XXXXXX Dated: May , 2018. FALCOLN SUBSIDIARY LLC d/b/a AXISPOINT HEALTH By: Name: Its: Dated: May , 2018. XXXXX X. XXXXXX By: Dated: May , 2018. XXXXX X. XXXXXXXXXXX
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2019 Xxxxxxxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxx Dated: , 0000 Xxxxxx Xxxxxxxxx Dated: , 2019 G6 Hospitality, LLC Name: Authorized to sign on behalf of G6 Hospitality, LLC Dated: , 2019 Motel 6 Operating LP Name: Authorized to sign on behalf of Motel 6 Operating LP Dated: , 2019 Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx, LLP By:_ Xxxxxx X. Xxxxxxxxxx Attorneys for Plaintiffs Dated: , 2019 Zakay Law Group, APLC By:_ Xxxxx X. Xxxxx Attorneys for Plaintiffs Dated: Dec. 6 , 2019 The Law Offices of Xxxxxxx X. Xxxxxxxx By:_ Xxxxxxx X. Xxxxxxxx Attorneys for Plaintiffs Dated: Dec. 6 , 2019 Xxxxxx Law Group, APC By:_ Xxxxx Xxxxxx Attorneys for Plaintiffs Dated: , 2019 Xxxxxxxx Xxxxxxx Xxxx Xxxxx & Xxxxxxx, P.C. By:_ Xxxxxxx Xxxxx Xxx Xxxxxxx Xxxxx Xxxxxxxxxxx Attorneys for Defendants
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: March , 2018. XXXXX XXXX
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. 12/23/2021 Dated: , 2021 XXXXXX XXXXX By: Dated: , 2021 XXXXXXXX XXXXXXXX By: Dated: , 2021 WESTWAYS STAFFING SERVICES, INC. By: Name: Title: DocuSign Envelope ID: 98610D22-235F-4A4B-8C53-F7545EAC810B
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: 7/6/2022 , 2022 PLAINTIFF XXXXX XXXXX Dated: , 2022 XXXXX XXXXXXX XXXXXX LLC Name Representative for XXXXX XXXXXXX XXXXXX LLC Dated: , 2022 XXXXX XXXXXXX CENTRAL PLASTICS Name Representative for XXXXX XXXXXXX CENTRAL PLASTICS
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: , 2022 PLAINTIFF XXXXX XXXXX Dated: , 2022 XXXXX XXXXXXX XXXXXX LLC Name Representative for XXXXX XXXXXXX XXXXXX LLC Dated: , 2022 XXXXX XXXXXXX CENTRAL PLASTICS LLC Name Representative for XXXXX XXXXXXX CENTRAL PLASTICS LLC DocuSign Envelope ID: C193073A-5242-4846-BC47-0B8DB5183318 [SIGNATURES CONTINUE ON FOLLOWING PAGE] Dated: 00-Xxx-00 , 0000 XXXXX XXXXXXX LLC ame ames ackson �P,:��;--��;;:;;;"' J� Dated: 14-Jul-22 , 2022 Dated: 13-Jul-22 , 2022 Representative for XXXXX XXXXXXX LLC "'' Name Xxxxx Xxxxxxx Representative for XXXXX XXXXXXX CORPORATION ..,,,, QN�am_e :.,X,h;Eo5�m�as Hary Dated: , 2022 Representative for XXXXX XXXXXXX SIGNET LLC Dated: -J-uly-15-, --, 2022 Xxxx Xxxxx, Esq. XXXXXX & XXXXXXXX LLP Xxxxxxx Xxxxxxxx, Esq. Xxxxxx X. Xxxxx, Esq. DocuSign Envelope ID: 96158175-2956-4C57-97CD-FCB1720BFB9B Dated: , 2022 XXXXX XXXXXXX LLC Name Representative for XXXXX XXXXXXX XXXXXX Dated: , 2022 LLC XXXXX XXXXXXX CORPORATION Name Representative for XXXXX XXXXXXX Dated: , 2022 CORPORATION XXXXX XXXXXXX SIGNET LLC July 7 Name Representative for XXXXX XXXXXXX SIGNET LLC Xxxx Xxxxx, Esq.Attorneys for Plaintiff Xxxxx Xxxxx, on behalf of himself and all others similarly situated Dated: , 2022 XXXXXX & XXXXXXXX LLP , 2022 CAPSTONE LAW APC Xxxxxxx Xxxxxxxx, Esq. Xxxxx v. Xxxxx Xxxxxxx Xxxxxx LLC, No. BCV-21-100840 SUPERIOR COURT OF THE STATE OF CALIFORNIA, FOR THE COUNTY OF XXXX Notice of Class Action Settlement To: All current and former non-exempt employees employed by Defendants Xxxxx Xxxxxxx Xxxxxx LLC, Xxxxx Xxxxxxx Corporation (erroneously sued as Xxxxx Xxxxxxx Inc.), Xxxxx Xxxxxxx, LLC, Xxxxx Xxxxxxx Central Plastics LLC, and Xxxxx Xxxxxxx Signet LLC (“Defendants”) who worked in California from April 14, 2017 through May 15, 2022 (“Class Members”). All current and former non-exempt employees employed by Defendants who worked in California from April 16, 2020 through May 15, 2022 (“PAGA Members”). On , the Honorable X. Xxxx Xxxxxxxx of the Xxxx County Superior Court granted preliminary approval of this class action settlement and ordered the litigants to notify all Class Members of the settlement. You have received this notice because Defendants’ records indicate that you are a Class Member, and therefore entitled to a payment from the settlement. Unless you choose to opt out of the settlement by following the procedures described below, you will be deemed a Class Member and, if the Court gran...
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Mar 23, 2023 Xxxx Xxxxxxxxx (Mar 23, 2023 16:52 PDT) Plaintiff Xxxx Xxxxxxxxx Dated: Mar 24, 2023 Xxxxxxx Xxxxxxx (Mar 24, 2023 14:51 PDT) Plaintiff Xxxxxxx Xxxxxxx Dated: For Defendant Torrance Health Association, Inc. Dated: 3/27/23 Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiff Dated: Xxxxxxx X. Xxxxxxx Xxxxx X. Xxxxx Attorney for Defendant Actions and have arrived at this Agreement through arms-length negotiations, taking into account all relevant factors, both current and potential.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Plaintiff Xxxxx Xxxxx Plaintiff Xxxxxxx Xxxxxxx Electronically Signed 2023-03-23 22:19:25 UTC - 174.68.177.252 Nintex AssureSign® 5520f580-e8a7-4426-b837-afce015dff1d Plaintiff Xxxxxxxxx Xxxxxxxx Dated: 03/23/2023 Plaintiff Xxxxx Xxxxx Dated: Plaintiff Xxxxxx Xxxxxxxx Dated: Xxx Xxxxxxxxxx For Defendant Blackstone Consulting, Inc. Dated: Xxxx X. Xxxxxx Xxxxxxx X. Xxxxxx Xxxxxxxx Xxxxxx Xxxxxxx Xxxxxx & Singer Attorney for Plaintiff Xxxxx Xxxxx Dated: Xxxxx X. Xxx Xxx X. Xxxxxx Diversity Law Group, P.C. Attorney for Plaintiffs Xxxxxxx Xxxxxxx & Xxxxxxxxx DM_US 195081459-1.113482.0012