EXECUTION BY PARTIES AND COUNSEL Sample Clauses

EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Mar 29, 2023 Xxxx Xxxxxx (Mar 29, 2023 11:18 PDT) Plaintiff Xxxx Xxxxxx Dated: 4/20/2023 | 7:22 AM PDT Xxxx Xxxxxx [name] For Defendant Xxxxxx XX, LLC Dated: 3/29/23 __________________________________ Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiff Dated: 4/20/2023 Xxxxxx X. Xxxx Xxxxxxxxx X. Xxxxxx Xxxxxx Xxxxxx, ALC Attorney for Defendant EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL] EXHIBIT “A” NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL Xxxxxx v. Xxxxxx XX, LLC, Superior Court of the State of California, County of San Francisco, Case No. CGC-21-595913 The Superior Court for the State of California authorized this Notice. Read it carefully! It’s not junk mail, spam, an advertisement, or solicitation by a lawyer. You are not being sued. YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR DO NOT ACT. PLEASE READ THIS NOTICE CAREFULLY. You may be eligible to receive money from an employee class action lawsuit (“Action”) against Defendant Xxxxxx XX, LLC (“Defendant”) for alleged wage and hour violations. The Action was filed by Plaintiff Xxxx Xxxxxx (“Plaintiff”) and seeks payment of (1) wages and other relief for the Class of all individuals who were employed by Defendant in California and classified as hourly, non-exempt employees at any time during the Class Period which is December 1, 2018 through December 31, 2022 (“Class Members”), and (2) civil penalties under the California Private Attorney General Act (“PAGA”) for all individuals who were employed by Defendant in California and classified as hourly, non-exempt employees at any time during the PAGA Period which is July 9, 2020 through December 31, 2022 (“Aggrieved Employees”). Defendant disputes Plaintiff’s claims in their entirety and maintains that Defendant complied with the California Labor Code and California Wage Orders as to the payment of wages, provision of meal and rest breaks, and provision of all required payroll records. The Court did not and will not rule on the merits of the Action and or make any determinations as to Plaintiff’s allegations. The proposed Settlement has two main parts: (1) a Class Settlement requiring Defendant to fund Individual Class Payment payments to Class Members, and (2) a PAGA Settlement requiring Defendant to fund the PAGA Penalties to pay penalties to the Calif...
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EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: March , 2018. XXXXX XXXX Dated: March , 2018. NATTY XXXXXXX Dated: March , 2018. THE PERMANENTE MEDICAL GROUP, INC. By: Xxxx X. Xxxxxxx Assistant General Counsel Dated: March , 2018. XXXXX X. XXXXXX XXXXX X. XXXXXXXX XXXXXXX X. XXX, XX XXXXXXX XXXXXXXX, P.C. XXXXX C. XXXXXX XXXXXX & GOLDEN LLP By: Xxxxx X. Xxxxxx Attorneys for Xxxxx Xxxx and Natty Xxxxxxx Dated: March , 2018. XXXXXXX X. XXXX XXXXXXX X. XXXX XXXX XXXXXXXX LLP By: Xxxxxxx X. Xxxx Attorneys for Defendant TPMG Case 3:17-cv-05345-VC Document 36-1 Filed 03/29/18 Page 38 of 89 Case 3:17-cv-05345-VC Document 36-1 Filed 03/29/18 Page 39 of 89
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. JEWEL XXXXXX KEY XXXXX XXXXXXX 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: Xxxxx X. Xxxxxx Attorney for Plaintiffs Dated: May , 2018. XXXXX X. XXXXXXXXXXX By: Xxxxx X. Xxxxxxxxxxx Attorneys for Defendant Falcon Subsidiary LLC d/b/a AxisPoint Health
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: February s_, 2022 Plaintifl� Xxxxx Xxxxxxxx Dated: February_, 2022 Dated: February i 2022 Dated: February_ 2022 Dated: February_, 2022 Defendant AA Meat Products, Inc. By: Its: XXXX By:_--1�.::..:....;:i.__, ........,_;. XXXX ON, Attorney for Plaintiff e t Class XXXX XXXXXXXXXX LAW A Professional Corporation By: XXXXXX X. XXXXXX, Attorney for Plaintiff and the Settlement Class SDA LEGAL INC. By: XXXXXX X. XXXXXXXX, Attorney for Plaintiff and the Settlement Class Dated: February_, 2022 XXXXXXXX XXXXXX XXXXXXX & XXXXXXX. By: Xxxxxx X. Xxxxxx, Attorneys for Defendant Xxx Xxx Manager 9 EXHIBIT "A" SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF LOS ANGELES XXXXX XXXXXXXX, an individual on behalf of herself and others similarly situated, Plaintiff, vs. AA MEAT PRODUCTS, INC., Defendant. Case No. B650944 NOTICE OF PROPOSED SETTLEMENT, PRELIMINARY APPROVAL OF SETTLEMENT, AND HEARING DATE FOR FINAL COURT APPROVAL PLEASE READ THIS NOTICE CAREFULLY YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR NOT Why should you read this Notice? The Los Angeles Superior Court (“Court”) has granted preliminary approval of a proposed Settlement Class and representative action settlement (the “Settlement”). The Settlement resolves the lawsuit entitled Xxxxx Xxxxxxxx v. AA Meat Products, Inc., Case Number BC650944 (the “Lawsuit”). Because your rights may be affected by the Settlement, it is important that you read this Notice carefully. You may be entitled to money from the Settlement. Defendant AA Meat Products, Inc.’s (“AA Meat Products” or the “Company”) records show that you are part of the following class of AA Meat Products employees covered by the Settlement: “All current and former production, shipping, and receiving employees employed by AA Meat Products, Inc. from February 16, 2013, to <<PRELIM APPROVAL DATE>>” (the “Class Period”). The purpose of this Notice is to provide you with a brief description of the Lawsuit, to inform you of the terms of the proposed Settlement, to describe your rights in connection with the Settlement, and to explain what steps you may take to participate in, object to, or exclude yourself from the Settlement. If you do not exclude yourself from the Settlement and the Court finally approves the Settlement, you will be bound by the terms of the Settlement and any final judgment. What is this case about? The Lawsuit claims that AA Meat Products, Inc. committed several viola...
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. _______________________ 06 / 07 / 2021 Dated: , 2021 Xxxx Xxxxxxxxxx Dated: , 2021 Franciscan Health System d/b/a CHI Franciscan Health Dated: , 2021 By: Franciscan Medical Group By: Dated: , 2021 Franciscan Health Ventures Dated: , 2021 By: Xxxxxxxx Medical Center Dated: , 2021 By: Xxxxxxxx Medical Center Foundation By: Dated: June 9 , 2021 XXXXXXX XXXXXXXX LAW GROUP PLLC By: P _________________________________________ Xxxx X. Xxxxxxx Attorneys for Plaintiff Dated: June 9 , 2021 XXXXXXXXX XXXXXXX XXXXXXXX XXXXXXX LL By: Xx xxx X. Cottrell Atto eys for Plaintiff Dated: , 2021 P SINELLI LLP Xxxxxxx X. Xxxxxxxx Attorneys for Plaintiff OLSINELLI LLP By:
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 40891876.1 EXHIBIT A NOTICE OF PENDENCY OF CLASS ACTION SETTLEMENT AND FINAL HEARING DATE (Xxxxxxxx, et al., v. G6 Hospitality, LLC, Case No. 37-2018-00056207-CU-OE-CTL) YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR DO NOT ACT. PLEASE READ THIS NOTICE CAREFULLY.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: XXXXXXXX XXXXX Dated: XXXX INDUSTRIES, INC. and XXXX INDUSTRIES GROUP, INC. Name: Xxxx Xxxxx Title: General Counsel DocuSign Envelope ID: 2C764882-0C5E-4E9C-A708-B26C3670FA71 Dated: May 12, 2021 MARA LAW FIRM, PC Xxxxx Xxxx, Esq. Xxxx Xxxxxx, Esq. Attorneys for Plaintiff, on behalf of himself, and all others similarly situated Dated: XXXXXXXX, XXXXXX, XXXXXXX & XXXXXXX LLP Xxxxxx X. Xxxxxxx, Esq. Xxxxx X. Xxxxxxx, Esq. Xxxxxxxx X. Xxxxxxxxx, Esq. Attorneys for Xxxx Industries, Inc. and Xxxx Industries Group, Inc. Dated: MARA LAW FIRM, PC 5/17/2021 Dated: Xxxxx Xxxx, Esq. Xxxx Xxxxxx, Esq. Attorneys for Plaintiff, on behalf of himself, and all others similarly situated XXXXXXXX, XXXXXX, XXXXXXX & XXXXXXX LLP Xxxxxx X. Xxxxxxx, Esq. Xxxxx X. Xxxxxxx, Esq. Xxxxxxxx X. Xxxxxxxxx, Esq. Attorneys for Xxxx Industries, Inc. and Xxxx Industries Group, Inc. Exhibit A SAN BERNARDINO COUNTY SUPERIOR COURT If you worked for Xxxx Industries, Inc. or Xxxx Industries Group, Inc. (“Xxxx”) in California as a non-exempt employee at any time between December 3, 2014 through [INSERT] a class action settlement will affect your rights. You may be entitled to a payment under this settlement. A court authorized this notice. This is not a solicitation from a lawyer. • A former employee, Xxxxxxxx Xxxxx, filed a proposed class action lawsuit against Xxxx. The lawsuit alleges that Xxxx failed to provide employees with lawful meal and rest periods, failed to pay employees all wages owed, failed to reimburse for business expenses, failed to provide lawful paychecks to employees, and failed to pay all wages due at termination of employment. The lawsuit also seeks to recover penalties pursuant to the California Private Attorneys General Act (“PAGA”). Xxxx denies all alleged violations and denies liability. The Court has not made a ruling on the merits of the case. The Parties have agreed to settle the claims set forth in the lawsuit. • Your legal rights are affected whether you act or do not act. Read this notice carefully. YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT: DO NOTHING Get a settlement payment and give up any rights to sue for the Released Claims (defined below). If you are still employed by Xxxx and choose to receive a settlement payment, this will not affect your employment. EXCLUDE YOURSELF Get no payment. This is the only option that allows you to ever be part of any other lawsuit against Xxxx about the legal ...
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EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Dated: 04/19/2022 04/19/2022 By: By: _________ Xxxxxx XxXxxxxxx _______________ Xxxx Xxxxxxxx XXXXX RENTALS, INC. Dated: By: [INSERT NAME] [INSERT TITLE] 5-10-2022 5/11/22 EXHIBIT A CLASS NOTICE FOR MAILING
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Date:_______ Date _______ _ By Plaintiff Xxxxxx Xxxxxxxx Defendant Xxxxxxxx Industries, Inc. Name: Title: APPROVED AS TO FORM: _______ _ _______ _ Xxxxxxx X. Xxxxxxxx Xxxxx X. Xxxxxxxxx Xxxxxx X. Xxxx Xxxxx X. Xxxxx Aegis Law Firm, PC Xxxxxx Xxxx Xxxxxx Xxxxxxxxxx, LLP Counsel for Plaintiff Counsel for Defendant EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL] NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL Xxxxxxxx x. Xxxxxxxx, Superior Court of the State of California, County of Orange, Case No. 30-2020-01145111-CU-OE-CXC) PLEASE READ THIS NOTICE CAREFULLY. You have received this Notice because Defendant’s records indicate that you may be eligible to take part in the class action settlement reached in the above-referenced matter. You do not need to take any action to receive a settlement payment and, unless you request to be excluded from the settlement, your legal rights may be affected. This Notice is designed to advise you of your rights and options with respect to the settlement.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Mar 17, 2023 xxxxx xxxxxx (Mar 17, 2023 18:28 CDT) Plaintiff Xxxxx Xxxxxx Dated: Mar 21, 2023 Xxxx Xxxxx (Mar 21, 2023 15:19 PDT) Plaintiff Xxxx Xxxxx Dated: Plaintiff Xxxxxxx Xxxxxxxx Dated: 30-Mar-23 _ _______________ Xxxx Xxxxxxxx [name] For Defendant Schlumberger Technology Corporation Dated: 3/21/23 __________________________________ Xxxx Xxxxxxxxxx Xxx N dreh Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiffs, as to form only Dated: Xxxxx Xxxxx The Xxxxxxx Firm, PLC Attorney for Defendant Schlumberger Technology Corporation, as to form only Dated: Plaintiff Xxxx Xxxxx Dated: Mar 17, 2023 Xxxxxxx Xxxxxxxx (Mar 17, 2023 10:39 PDT) Plaintiff Xxxxxxx Xxxxxxxx Dated: 30-Mar-23 _ Xxxx Xxxxxxxx ______________ [name] For Defendant Schlumberger Technology Corporation Dated: Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiffs, as to form only Dated: Xxxxx Xxxxx The Xxxxxxx Firm, PLC Attorney for Defendant Schlumberger Technology Corporation, as to form only EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL; REQUEST FOR EXCLUSION FORM; DISPUTE FORM] SLB−Private COURT APPROVED NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL
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