Common use of HOW DO I OBJECT TO THE SETTLEMENT Clause in Contracts

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

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HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website Website: (url) or the Court’s websitewebsite xxxxx://xxx.xxxxxxxx.xxx/online-services/case-access. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Defendant are asking the Court to approve. At least 16 court [insert] days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff Plaintiffs is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website [need details] or the Court’s websitewebsite [need details]. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxx Xxxxxxxx and Xxxxx Xxxxxx Xxxxxxx x. Anheuser-XxxxxXxxxx Engineering, LLCInc., et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants [Defendant] and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants AHF are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. v. AIDS Healthcare Foundation and include your name, current address, telephone number, and approximate dates of employment for Defendants AHF and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants MASI are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants [MASI] and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Lamsco are asking the Court to approve. At least 16 court days before the January 31, 2024 Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. : xxxxx://xxx.xxxxxxx.xxx//. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxAction, LLCXxxx v. Lamsco West, et alInc., Case No. 21STCV38069 and include your name, current address, telephone number, and approximate dates of employment for Defendants Lamsco and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants KW International, Inc. are asking the Court to approve. At least 16 court business days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants KW International, Inc. and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as Class Representative Service PaymentAwards. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx Xxxxxxx x. Anheuser-XxxxxXxxxx’x, LLC, et al. Incorporated and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Colt Builders are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s websitexxxxx://xxxxxxxxxx.xxxxxx.xxx/search . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants Colt Builders and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Ansible are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxxv. Ansible Government Solutions, LLC, et al. LLC and include your name, current address, telephone number, and approximate dates of employment for Defendants Ansible and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether decidingwhether to object, you may wish to see what Plaintiff and Defendants MV are asking the Court to approve. At least 16 court business days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxKussner v. MV Public Transportation, LLC, et al. 21STCV12259 and include your name, current address, telephone number, and approximate dates of employment for Defendants MV and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Happy FM Group are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final F inal Approval that includes, among other things, the reasons why the proposed Settlement S ettlement is fair, and (22 ) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys' fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s ' s Website or the Court’s website. 's website A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objectionobj ection. Make sure you identify the Action as Xxxxxx Xxxxx Xxxxxx x. Anheuser-XxxxxXxxxxxx v. Happy FM Group, LLC, et al. Inc. and include your name, current address, telephone number, and approximate dates of employment for Defendants Happy FM Group and sign the objection. Section 9 of this Notice has the Administrator’s ' s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Electro Adapter are asking the Court to approve. At least 16 court Court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. Xxxx Xxxxxxx v. Electro Adapter and include your name, current address, telephone number, and approximate dates of employment for Defendants Electro Adapter and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants DEFENDANT are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants DEFENDANT and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants PRC are asking the Court to approve. At least 16 court business days before the Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff Plaintiffs is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants PRC and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court [insert] days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website at [insert] or you may also review all filed documents, which are on file with the Clerk on the Monterey Superior Court’s website, at 0000 Xxxxxxxx Xxxx, Xxxxxxxx, Xxxxxxxxxx 00000. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. AnheuserXxxxxx-XxxxxXxxxxxxxxxxx v. Southern Monterey County Memorial Hospital, LLC, et alCase No. 21CV003609 and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court [insert] days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website [need details] or the Court’s websitewebsite [need details]. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxXxx Xxxxxxx v. BET Information Systems, LLC, Inc. et al. al and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants the Company are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s websitewebsite . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. v. General Wax and include your name, current address, telephone number, and approximate dates of employment for Defendants the Company and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website: xxxxx://xxx.xxxxxxxxxxxxx.xxx/online_services/online_case_access.php. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Action, Chachavac x. Xxxxx Xxxxxx x. AnheuserManagement Corporation, San Mateo County, Case No. 22-XxxxxCV- 03110, LLC, et al. and include your name, current address, telephone numbernumber or email address, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants XXXX are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (xxxxx://xxx.xxxxxxxx.xxx/case-list) or the Court’s websitewebsite (xxxxx://xxx.xxxxxxx.xxx/documentimages/pacommerce/login.aspx?appId=IMG&casetype=CIV). A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx (“Xxxxxxxx x. Anheuser-Xxxxx, LLC, et al. Xxxx Enterprises”) and include your name, current address, telephone number, and approximate dates of employment for Defendants XXXX, and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants EL POLLO INKA are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants EL POLLO INKA EXPRESS, INC. and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants XYZ are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. [case caption] and include your nameyou(rcansaemcea, current pcutiorrne)nt address, telephone number, number and approximate dates of employment for Defendants [XYZ] and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Serendib are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s website. website (xxxxx://xxx.xxxxxxx.xxx/lacc/) A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. Flores v. Serendib and include your name, current address, telephone number, and approximate dates of employment for Defendants Serendib and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants L.A. Southpark are asking the Court to approve. At least 16 court days before the (date) Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.Xxxxxxx v.

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Arjo are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s websitewebsite . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Action, Xxxxxx Xxxxx Xxxxxx x. Anheuser-XxxxxXxxx Inc., LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants Arjo and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants CTI are asking the Court to approve. At least 16 court 60 days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s websitewebsite (xxxxx://xxx.xxxxxxx.xxx/CivilCalendar/ui/mainpanel.aspx?CaseType=general). A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is [DATE], 2023. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxxx v. Xxxxx Xxxxxx x. Anheuser-XxxxxXxxxxxxx, LLC, et al. Inc. and include your name, current address, telephone number, and approximate dates of employment for Defendants CTI and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. Xxxxxxx National Life Insurance Company and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Bear Valley are asking the Court to approve. At least 16 court twenty-eight (28) days before the [Date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website at (url) or the Court’s website. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion Court for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff are too high or too lowa fee at xxx.xxxx.xxxxxxxx.xxx/xxxxxxx. The deadline for sending written objections to the Administrator is DATE[Response Deadline]. You may submit your objection in the comments section of the Response Form or submit a separate written objection to the Administrator. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make If you are submitting a separate objection, make sure you identify the Action as Xxxxx Xxxxxx x. AnheuserAction, Xxxxxxx v. Bear Valley Community Healthcare District, Case No. 5:21-Xxxxx, LLC, et al. cv-01270-SPG-SHKx and include your name, current address, telephone number, and approximate dates of employment for Defendants Bear Valley and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object to the Class Settlement (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class/Collective Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants are asking the Court to approve. At least 16 sixteen (16) court days before the Final Approval Hearing, Plaintiffs and/or Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for FeesClass Counsel Fees Payment, Class Counsel Litigation Expenses Payment, and Class Representative Service Payment Payments stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as the Class Representative Service PaymentPayments. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website website xxxx://xxx.xxxxxxx.xxx/casesummary/ui/index.aspx. or the Court’s website. website A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for FeesClass Counsel Fees Payment, Class Counsel Litigation Expenses Payment, and Class Representative Service Payment Payments may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.is

Appears in 1 contract

Samples: Class, Collective and Paga Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Fox are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents the Agreement, the Motion for Preliminary Approval, and the Court’s order granting preliminary approval of the Settlement at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Agreement may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxXxx Broadcasting Company, LLC, et al. LLC and include your name, current address, telephone number, and approximate dates of employment for Defendants Fox and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Hillsides are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants Hillsides and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s website. website xxxxx://xxx.xxxxxxxx.xxx/case-management-search/. A Participating Class Member who disagrees with any aspect of the Agreement, Agreement or the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxxxx Xxxxxxx Xxxxxx x. Anheuser-XxxxxTiger Lines, LLC, et al. LLC and include your name, current address, telephone number, and approximate dates of employment for Defendants with Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

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HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants TKC are asking the Court to approve. At least 16 court days before the [INSERT FINAL APPROVAL HEARING DATE] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite xxxxx://xxx.xx-xxxxx.xxx/search. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[INSERT RESPONSE DEADLINE]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLCXxxxxxxxx v. The Xxxxxxxxx Company, et al. (San Bernardino Superior Court, Case No. CIVSB2208148) and include your name, current address, telephone number, and approximate dates of employment for Defendants TKC and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants XYZ are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants [XYZ] and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Compex are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s website. : xxxxx://xxx.xxxxxxx.xxx/casesummary2/ui/index.aspx? A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants Compex and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Global Mail are asking the Court to approve. At least 16 court days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 I of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website [need details] or the Court’s website. website xxxxx://xxx.xxxxxxx.xxx/. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxXxxxxxx v. Global Mail, LLC, Inc. et al., Superior Court of California for the County of Los Angeles, Case No. 21STCV12053 and include your name, current address, telephone number, and approximate dates of employment for Defendants Global Mail and sign the objection. Section 9 I of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 H of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court [insert] days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website [need details] or the Court’s websitewebsite [need details]. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE[date]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx Xxxxxx x. Anheuser-XxxxxXxxxxx Electric Co., LLC, et al. Inc. and include your name, current address, telephone number, and approximate dates of employment for Defendants Skyler and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court business days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url)_ or the Court’s website. website xxxxx://xxx.xxxxxxx.xxx/casesummary/ui/index.aspx?casetype=civil A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx Xxxxxxxx x. Anheuser-Xxxxx, LLC, et al. Amanecer and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Defendant are asking the Court to approve. At least 16 court days before the Settlement Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s websitewebsite . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Angeles v. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 sixteen (16) court days before the Final Approval Hearing, scheduled for , Class Counsel and/or and Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Attorneys’ Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Noticebelow) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Settlement Website at or on the Court’s websitewebsite (xxxxx://xxx.xx-xxxxx.xxx/login) and entering the Case No. CIVSB2125260. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline Response Deadline for sending written objections to the Administrator is DATE[forty-five (45) days after the date of the Notice or an additional 14 days after the Notice in the case of re-mailing]. You may also fax the dispute to or email the dispute to by no later than this Response Deadline. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxAction, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.Xxxxxxxxx

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website xxxxx://xxx.xxxxxxx.xxxxxx.xx.xxx/. or the Court’s website. website A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxAction, LLCXxxxxxx Xxx Xxxxxxxxxx, et al. v. Autoglassnow, LLC, Case No. 21CV001084, and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel/PAGA Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel/PAGA Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel/PAGA Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s website. website xxxxx://xxx.xxxxxxxx.xxx/case- management-search/. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel/PAGA Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Defendant are asking the Court to approve. At least 16 sixteen (16) court days before the Final Approval Hearing, scheduled for , Class Counsel and/or Plaintiff and Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Awards stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as Class Representative Service PaymentPayments. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Noticebelow) will send you copies of these documents at no cost to you. You can also view them on the AdministratorClass Counsel’s Website website at xxx.xxxxxxxx.xxx under “Class Notices” for Xxxxxxxxx x. Xxxxxxxx Health Association or on the Court’s websitewebsite (xxxx://xxx.xxxxxxx.xxx/casesummary/ui/index.aspx?casetype=civil) and entering the Case No. 20STCV18424 A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Awards may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline Response Deadline for sending written objections to the Administrator is DATE[sixty (60) days after the date of the Notice or an additional 14 days after the Notice in the case of re-mailing]. You may also fax the dispute to or email the dispute to by no later than this Response Deadline. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxAction, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.Xxxxxxxxx

Appears in 1 contract

Samples: Class Action, Collective Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 sixteen (16) court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court a: (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, ; and (2) a Motion for FeesClass Counsel Fees Payment, Class Counsel Litigation Expenses Payment, and Class Representative Service Payment stating (ia) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (iib) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website xxxxx://xxx.xxxxxxx.xxx/casesummary/ui/. or the Court’s website. website A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for FeesClass Counsel Fees Payment, Class Counsel Litigation Expenses Payment, and Class Representative Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Action, Xxxxxx Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.v. Trio

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants are asking the Court to approve. At least 16 court sixteen (16) days before the [Date of Final Approval Hearing] Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a request for fees, litigation expenses, and service awards (which may be filed as part of the Motion for Final Approval or as part of a separate Motion for Fees, Litigation Expenses Expenses, and Service Payment Awards) stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website([ (URL) ]). A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE[Response Deadline]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx (Xxxxxx x. Anheuser-XxxxxX. Xxxxxxx, et al. v. Tastes & Tales, LLC, et al., Case No. 56-2022-00563241- CU-OE-VTA) and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, Rojas v. JAR Transportation Inc. et al. ., and include your name, current address, telephone number, Social Security number, and approximate dates of employment for Defendants JAR and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 court days before the [date] Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website website (xxxxx://xxx.xxxxxxxx.xxx) or the Court’s websitewebsite (xxxxx://xxx.xxxxxxx.xxx). A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written Written objections to the Administrator is DATEmust be postmarked. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Action, “Xxxxxx Xxxxxxxx v. El Xxxxx Xxxxxx x. Anheuser-XxxxxCleaning Service, LLCInc., et al., Case No. 21STCV12234” and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Class Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service PaymentAward. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website website xxx.xxxxxxx.xxxxxx.xx.xxx, for a fee. for free, or on the Court’s website. , A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-XxxxxAction, LLCXxXxxx v. Rockridge Market Hall, LLC dba Market Hall Foods et al., Case No. 22CV005647, and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your his/her own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff Plaintiffs and Defendants Xxxxxxx are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for FeesClass Counsel Fee Payment, Class Counsel Litigation Expenses Payment and Class Representative Service Payment Payments stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff Plaintiffs is requesting as a Class Representative Service PaymentPayments. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website (url) or the Court’s websitewebsite (url) . A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for FeesClass Counsel Fee Payment, Class Counsel Litigation Expenses Payment and Class Representative Service Payment Payments may wish to object, for . For example, a Participating Class Member may object that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLCXxxxxxx Xxxxxx, et al., x. Xxxxxxx Cabinets, Inc., Case No. STK-CV-UOE-2021-2842. and include your name, current address, telephone number, and approximate dates of employment for Defendants Xxxxxxx and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Fusion Learning, Inc. are asking the Court to approve. At Any objection or challenge to the number of Class Hours Worked or PAGA Hours Worked must be received at least 16 60 days after the Administrator mails the Class Notice (plus an additional 15 days for Class Members whose Class Notice is re-mailed). Sixteen court days before the [TBD] Final Approval Hearing, Class Counsel and/or Plaintiff Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment Award stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is Plaintiffs are requesting as a Class Representative Service PaymentAwards. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. website A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or Plaintiff or Plaintiffs are too high or too low. The deadline for sending written objections to the Administrator is DATE[not later than 60 days after the Administrator’s mailing of the Class Notice (plus an additional 15 days for Class Members whose Class Notice was re-mailed).]. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxxx Xxxxxx x. Anheuser-Xxxxxvs. Fusion Learning, LLCInc., et al., Federal District Court Case No. 2:21-cv-06732-JAK-AS, and include your name, current address, telephone number, and approximate dates of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants are asking the Court to approve. At least 16 sixteen (16) court days before the Final Approval Hearing, scheduled for , Class Counsel and/or Plaintiff and Plaintiffs will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Attorneys’ Fees, Litigation Expenses and Service Payment Award stating (ia) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (iib) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Noticebelow) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website [ADMINISTRATOR WEBSITE] or the Court’s websiteCase Information page for the California Superior Court for the County of Xxxx (xxxxx://xxx.xxxx.xxxxxx.ca.gov/online- services/case-information-search) and entering the Case No. BCV-20-102375. A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Attorneys’ Fees, Litigation Expenses and Service Payment Award may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline Response Deadline for sending written objections to the Administrator is DATE[sixty (60) days after the date of the Notice or an additional 14 days after the Notice in the case of re-mailing]. You may also fax the dispute to or email the dispute to by no later than this Response Deadline. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Action, Xxxxx Xxxxxx x. Anheuser-Xxxxx, LLC, et al. and include your name, current address, telephone number, and approximate dates Name of employment for Defendants and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Company: ILYM Group Email Address: Mailing Address: Telephone Number: Fax Number: Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. You also have the option to appear at the hearing remotely through the Court’s procedure at xxxxx://xxx.xxxx.xxxxxx.ca.gov/online-services/remote-court-hearings. Check the Court’s website for the most current information. See Section 8 9 of this Notice (immediately below) for specifics regarding the Final Approval Hearing. The addresses for Parties’ counsel are as follows: Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx XxXxxxx LLP 0000 Xxxxx Xxxxx La Jolla, CA 92037 Tel.: (000) 000-0000 Fax: (000) 000-0000 E-Mail: xxxx@xxxxxxxx.xxx

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. Only Participating Class Members have the right to object to the Settlement. Before deciding whether to object, you may wish to see what Plaintiff and Defendants Defendant are asking the Court to approve. At least 16 court days before the Final Approval Hearing, Class Counsel and/or Plaintiff will file in Court (1) a Motion for Final Approval that includes, among other things, the reasons why the proposed Settlement is fair, and (2) a Motion for Fees, Litigation Expenses and Service Payment stating (i) the amount Class Counsel is requesting for attorneys’ fees and litigation expenses; and (ii) the amount Plaintiff is requesting as a Class Representative Service Payment. Upon reasonable request, Class Counsel (whose contact information is in Section 9 of this Notice) will send you copies of these documents at no cost to you. You can also view them on the Administrator’s Website or the Court’s website. Website: xxxxx://xxxxxx.xxxxxx.xx.xxx/online-services/case-portal A Participating Class Member who disagrees with any aspect of the Agreement, the Motion for Final Approval and/or Motion for Fees, Litigation Expenses and Service Payment may wish to object, for example, that the proposed Settlement is unfair, or that the amounts requested by Class Counsel and/or or Plaintiff are too high or too low. The deadline for sending written objections to the Administrator is DATE. Be sure to tell the Administrator what you object to, why you object, and any facts that support your objection. Make sure you identify the Action as Xxxx Xxxxx Xxxxxx x. Anheuser-Xxxxxv. AHS Staffing, LLC, et al. LLC and include your name, current address, telephone number, and approximate dates of employment for Defendants Defendant and sign the objection. Section 9 of this Notice has the Administrator’s contact information. Alternatively, a Participating Class Member can object (or personally retain a lawyer to object at your own cost) by attending the Final Approval Hearing. You (or your attorney) should be ready to tell the Court what you object to, why you object, and any facts that support your objection. See Section 8 of this Notice (immediately below) for specifics regarding the Final Approval Hearing.

Appears in 1 contract

Samples: Class Action and Paga Settlement Agreement

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