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

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement Class, you can object to the Settlement. If you wish to object to the Settlement, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice of appearance by the objection deadline of [objection deadline]. If you do hire your own attorney, you will be solely responsible for payment of any fees and expenses the attorney incurs on your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlement. You must also mail or deliver a copy of your objection to Class Counsel and Defendant’s Counsel listed below postmarked no later than [objection deadline]. Court Class Counsel Defendant’s Counsel Circuit Court of Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx Xxxxxx, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval Hearing

Appears in 1 contract

Samples: Class Action Settlement Agreement

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HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement Class, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Xxxx v. Termax Company, Case No. 21CH00000356 and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member, the name and contact information of appearance by any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and DefendantTermax’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief and file the objection with the Court and mail a copy to these two different places postmarked no later than [objection deadline]. Court Class Counsel DefendantTermax’s Counsel Circuit Court of Lake Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage X. Xxxxxxx County Beaumont Xxxxxxxx LLC Ogletree, Deakins, Xxxx, Xxxxx Xxxxxx18 N County St, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx& Xxxxxxx, P.C. Waukegan, IL 60085 Suite 209 000 Xxxxx 0000 RoadXxxxxx Xxxxx, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval Hearing4300 Xxxxxxx, Xxxxxxxx 00000 xxxxx.xxxxxxx@xxxxxxxx.xxx

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement Class, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Heigl v. Waste Management of appearance by New York, LLC, Case No. 1:19- cv-05487-WFK-ST and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member, the name and contact information of any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and DefendantWaste Management’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief and file the objection with the Court and mail a copy to these two different places postmarked no later than [objection deadline]. IF YOU DO NOT TIMELY MAKE YOUR OBJECTION, YOU WILL BE DEEMED TO HAVE WAIVED ALL OBJECTIONS AND WILL NOT BE ENTITLED TO SPEAK AT THE FAIRNESS HEARING. Court Class Counsel DefendantWaste Management’s Counsel Circuit The Xxxxxxxxx Xxxxxx X. Tiscione Xxxxxx X. Xxxxxxxx Xxxxxx X. Xxxxxxxx United States District Court Bursor & Xxxxxx P.A. Xxxxxx Beach PLLC for the Eastern District of 000 Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx XxxxxxXxxxxx 00 Xxxxxxx Xxxx New York New York, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 NY 10019 Xxxxxxxxx, Xxxx XX 00000 60187 Chicago000 Xxxxxx Xxxxx East, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval HearingRoom N505 Brooklyn, NY 11201

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement ClassMember, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Kokoszki v. Playboy Enterprises, Inc., Case No. 2:19-cv-10302-BAF-RSW and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member (including the name of appearance by the Playboy publication(s) which you purchased or to which you subscribed), the name and contact information of any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and Defendant’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief. File the objection with the Court (or mail the objection to the Court) and mail a copy of the objection to Class Counsel and Defendant’s Counsel, at the addresses below, postmarked no later than [objection deadline]. Court Class Counsel Defendant’s Counsel Circuit The Xxxxxxxxx Xxxxxxx X. Friedman Xxxxxx X. Xxxxxxxx Xxxxxxx X. Xxxx United States District Court for the Bursor & Xxxxxx P.A. Xxxxxxxx LLP Eastern District of Michigan 000 Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx Xxxxxx, LLC 505 North County Farm Xxxxxx 2290 First National Xxxx 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 XxxxxxxxxXxxxxxxxx Xxxx., Xxxx 000 Xxx Xxxx, XX 00000 60187 Chicago000 Xxxxxxxx Xxxxxx Detroit, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval HearingMI 48226 Xxxxxxx, XX 00000

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and you do not exclude yourself from the Settlement ClassSettlement, you can object to approval of the proposed Settlement. You may not file an objection if you are not a Settlement Class Member or if you exclude yourself from the Settlement. If You can give reasons why you wish to object to think the Court should not approve the Settlement. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage CountyCourt, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection mail a copy to the proposed Settlement must includeAdministrator and parties listed below, and include the following information in your objection: • a caption or title identifying it as an “Objection to Class Settlement in Xxxxx v. Popular Community Bank, Index No. 653936/2012 (i) the Settlement Class Member’s N.Y. Sup.)”; • your full name, address, and current telephone number; (ii) the case name and number • an explanation of the state court action; (iii) the date range during basis upon which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient you claim to allow the Parties to confirm that the objector is be a Settlement Class Member; (v) all grounds for the objection, with specific factual and accompanied by any legal support for the stated objection known to you or to your counsel; • the number of times you have objected to a class action settlement within the five years preceding the date that you file the objection, the caption of each case in which you have made such objection, and a copy of any orders or opinions related to or ruling upon your prior such objections that were issued by the trial and appellate courts in each listed case; • the identity of all counsel who represent you, including any supporting materialsformer or current counsel who may be entitled to compensation for any reason related to the objection to the Settlement or fee application; (vi) if applicable• the number of times in which your counsel and/or counsel’s law firm have objected to a class action settlement within the five years preceding the date that you object or file the objection, the identification caption of each case in which counsel or the firm has made such objection, and a copy of any other orders related to or ruling upon counsel’s or the firm’s prior such objections that were issued by the Settlement Class Member has filed, trial and appellate courts in each listed case; • any and all agreements that relate to the objection or has had filed on their behalf, in the process of objecting – whether written or verbal – between you and your counsel and any other class action cases in person or entity; • the last four yearsidentity of all counsel representing you who will appear at the Final Approval Hearing; (viii) a list of all exhibits and witnesses persons who will be called to testify at the objector may introduce into evidence or call Final Approval Hearing in support of the objection; • a statement confirming whether you intend to personally appear and/or testify at the Final Approval Hearing; • your personal signature (an attorney’s signature is not sufficient); and (ix• if you are represented by an attorney(s) the objector’s signature. If you hire an attorney in connection with making an the objection, the signature of each such attorney below a statement that “No other attorney has a financial interest, either directly or indirectly, in the representation of this objecting party.” You must also file with the Court a notice of appearance by the objection deadline of [objection deadline]. If you do hire your own attorney, you will be solely responsible for payment of any fees and expenses the attorney incurs on your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlement. You must also mail or deliver a copy of serve your objection to Class Counsel and Defendant’s Counsel listed below the parties at the following addresses, postmarked no later than [objection deadline], 2018: Clerk of the Court New York County Courthouse 00 Xxxxxx Xxxxxx Xxx Xxxx, XX 00000 Banco Popular Overdraft Settlement c/o A.B. Data, Ltd. X.X. Xxx 000000 Xxxxxxxxx, XX 00000 Xxxxxxx X. Xxxxxxx BARACK XXXXXXXXXX XXXXXXXXXX & XXXXXXXXX LLP Xxxxxxxx X. Xxxxxx XXXXXX & ASSOCIATES, PLLC 00 Xxxxxxxx, 00xx Xx. Court Class Counsel Defendant’s Counsel Circuit Court of 000 X. Xxxxxxx Street, Suite 3900 Chicago, IL 60606 Xxx Xxxx, XX 00000 Xxxxxx X. Xxxxxxxxx Xxxxxx X. Xxxx XXXXX+XXXXX, XXXX P.C. ATTORNEYS AT LAW, LLP 150 Motor Parkway, Ste. 000 Xxx Xxxxxxxx Xxxxxxxx Xxxxxxxxx, XX 00000 000 Xxxx Xxxxxx, 00xx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx XxxxxxXxxx, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx XX 00000 60187 Chicago, Illinois 60605 Any Only persons who remain members of the Settlement Class Member objector and who has have filed and served a valid and timely written notices of objection in accordance with this Section must also appear shall be entitled to be heard at the Final Approval Hearing either in person or through counsel hired by the objectorHearing. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval HearingSee Questions 20 and 22 below.

Appears in 1 contract

Samples: Settlement Agreement and Release

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member Member, and do you have not elected to exclude yourself from the Settlement Classby opting out, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Xxxxxxxxxx v. Monmouth University, Case No. 3:20- cv-05526-RLS and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member, the name and contact information of appearance by any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and Defendant’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief. File the objection with the Court (or mail the objection to the Court) and mail a copy of the objection to Class Counsel and Defendant’s Counsel, at the addresses below, postmarked no later than [objection deadline]. Court Class Counsel Defendant’s Counsel Circuit Court of Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx Xxxxxx, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

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HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement Class, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Xxxxxx v. Hospital Housekeeping Systems, LLC, Case No. 2021L28 and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member, the name and contact information of appearance by any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and DefendantHHS’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief and file the objection with the Court and mail a copy to these two different places postmarked no later than [objection deadline]. IF YOU DO NOT TIMELY MAKE YOUR OBJECTION, YOU WILL BE DEEMED TO HAVE WAIVED ALL OBJECTIONS AND WILL NOT BE ENTITLED TO SPEAK AT THE FAIRNESS HEARING. Court Class Counsel DefendantHHS’s Counsel Circuit Court of Xxxxxxxxxx County, First Judicial Circuit, Xxxxxx X. Xxxxxxxx Xxxx X. Xxxxxxxxxx 000 Xxxx Xxxxxxxxx Xxxxxx Xxxxxx & Xxxxxx P.A. Xxxxx Xxxxxxxx Xxxxxxxx & Xxxxx XXX Marion, IL 62959 000 Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxxx 000 Xxxx Xxxxx Xxxxxx, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx XxxxxxSuite 300 New York, Xxxxx 0000 RoadNY 10019 Xxxxxxx, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval HearingXX 00000

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. If you are you’re a Settlement Class Member and do not exclude yourself from the Settlement ClassMember, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in , and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, an explanation of appearance by the basis upon which you claim to be a Settlement Class Member, the name and contact information of any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and Defendant’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 21), you must say so in your letter or brief. File the objection with the Court and mail a copy to these two different places postmarked no later than [objection deadline]. Court Class Counsel Defendant’s Counsel Circuit Court of Xxxx Xxxxxxxxxxxx Xxxxx Xxxxx Xxxxxxxxx Law, P.A. Xxxxx Xxxx 00000 XX 00xx Xxx Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx Xxxxxx, LLC 505 North County Farm 000 X. P.A. Aventura, FL 33180 700 N.W. 0xx Xxx Xxxxx 0000 Xxxx 0xx XxxxxxXxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval HearingXX 00000

Appears in 1 contract

Samples: Class Action Settlement Agreement

HOW DO I OBJECT TO THE SETTLEMENT. If you are a Settlement Class Member and do not exclude yourself from the Settlement ClassMember, you can object to the SettlementSettlement if you don’t like any part of it. If You can give reasons why you wish to object to think the SettlementCourt should not approve it. The Court will consider your views. To object, you must file your objection in writing with the Clerk of the Court of the Circuit Court of DuPage County, 000 Xxxxx Xxxxxx Xxxx Xxxx, Xxxxxxx, Xxxxxxxx 00000. Any objection to the proposed Settlement must include: (i) the Settlement Class Member’s full name, address, and current telephone number; (ii) the case name and number of the state court action; (iii) the date range during which the Settlement Class Member was employed by Defendant; (iv) information or documents sufficient to allow the Parties to confirm that the objector is a Settlement Class Member; (v) all grounds for the objection, with specific factual and legal support for the stated objection, including any supporting materials; (vi) if applicable, the identification of any other objections the Settlement Class Member has filed, or has had filed on their behalf, in any other class action cases in the last four years; (viii) a list of all exhibits and witnesses the objector may introduce into evidence or call to testify at the Final Approval Hearing; and (ix) the objector’s signature. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice letter or brief stating that you object to the Settlement in Xxxxxx v. Outside Integrated Media, LLC, Case No. 2:21-cv-11809-MAG-DRG and identify all your reasons for your objections (including citations and supporting evidence) and attach any materials you rely on for your objections. Your letter or brief must also include your name, your address, the basis upon which you claim to be a Class Member (including the name of appearance by the Outside publication(s) which you purchased or to which you subscribed), the name and contact information of any and all attorneys representing, advising, or in any way assisting you in connection with your objection, and your signature. If you, or an attorney assisting you with your objection, have ever objected to any class action settlement where you or the objecting attorney has asked for or received payment in exchange for dismissal of the objection deadline of [objection deadline]. If you do hire your own attorney(or any related appeal) without modification to the settlement, you will be solely responsible for payment of any fees and expenses the attorney incurs on must include a statement in your behalf. If you exclude yourself from the Settlement, you cannot file an objection. Settlement Class Members who do not timely make their objections in this manner will be deemed to have waived all objections and shall not be heard or have the right to appeal approval of the Settlementobjection identifying each such case by full case caption. You must also mail or deliver a copy of your objection letter or brief to Class Counsel and Defendant’s Counsel listed below. Class Counsel will file with the Court and post on this website its request for attorneys’ fees by [two weeks prior to objection deadline]. If you want to appear and speak at the Final Approval Hearing to object to the Settlement, with or without a lawyer (explained below in answer to Question Number 20), you must say so in your letter or brief. File the objection with the Court (or mail the objection to the Court) and mail a copy of the objection to Class Counsel and Defendant’s Counsel, at the addresses below, postmarked no later than [objection deadline]. Court Class Counsel Defendant’s Counsel Circuit Court of Xxxxxxx Xxxxxxxx Xxxxx Xxx Xxxxxxxx DuPage County Beaumont Xxxxxxxx LLC Xxxxx Xxxxxx, LLC 505 North County Farm 000 X. Xxx Xxxxx 0000 Xxxx 0xx Xxxxxx, Xxxxx 0000 Road, Wheaton, Illinois Suite 000 Xxxxxxxxx, Xxxx 00000 60187 Chicago, Illinois 60605 Any Settlement Class Member objector who has filed and served a timely written objection in accordance with this Section must also appear at the Final Approval Hearing either in person or through counsel hired by the objector. No objector may appear at the Final Approval Hearing unless he/she/they has filed a timely objection that complies with the procedures provided in this Section. The Court’s Final Approval Hearing.

Appears in 1 contract

Samples: Class Action Settlement Agreement

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