Identification of Attorneys’ Representatives Sample Clauses

Identification of Attorneys’ Representatives. 7. Lead Plaintiff and the Settlement Class are represented by Lead Counsel, Xxxxxxxx Xxxxxxx, Xxxxxxx Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (888) 219- 6877, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx.
AutoNDA by SimpleDocs
Identification of Attorneys’ Representatives. Plaintiffs and the Settlement Class are represented by Xxxx X. Xxxxx, Esq. of Xxxxxx Xxxxxxx & Xxxxxx LLP, 0000 Xxxxxxx Xxxx Xxxx, Xxxxx 0000, Xxx Xxxxxxx, XX 00000, (000) 000-0000, xxxxxxxxxxx@xxxxxxxxx.xxx.
Identification of Attorneys’ Representatives. Lead Plaintiffs and the Settlement Class are represented by Xxxxxxxxx X. Xxxxxxxxx, Esq. of Xxxxxxxxx Litowitz Xxxxxx & Xxxxxxxxx LLP, 1251 Avenue of the Xxxxxxxx, 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxxx@xxxxxxx.xxx, and Xxxxxxx X. Xxxxxxxx, Esq. of Xxxxxxxxx & Xxxxxxxx LLP, 000 Xxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxxxxxxxx@xxxxxxxxx-xxx.xxx.
Identification of Attorneys’ Representatives. 8. Lead Plaintiffs and the Settlement Class are represented by Co-Lead Counsel, Xxxxx X. Xxxxxxx, Esq., Labaton Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx, and Xxxxxxxx X. Xxxxxxx, Esq., Levi & Korsinsky, LLP, 0000 00xx Xxxxxx X.X., Xxxxx 000, Xxxxxxxxxx, XX 00000, (202) 524- 4290, xxx.xxx.xxx.
Identification of Attorneys’ Representatives. 8. Class Representative and the Class are represented by Class Counsel: Xxxxx X. Xxxxxx, Esq., Motley Rice LLC, 00 Xxxxxxxxxx Xxxx., Xx. Pleasant, SC 29464, (000) 000-0000, xxx.xxxxxxxxxx.xxx, and Xxxxxxx Xxxxx-Xxxxxxxxx, Esq., Xxxxx+Xxxxx Attorneys at Law LLP, 000 Xxxx Xxx., 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxx-xxxxx.com.
Identification of Attorneys’ Representatives. 8. Lead Plaintiffs and the Settlement Class are represented by Lead Counsel, Xxxxx
Identification of Attorneys’ Representatives. Lead Plaintiffs and the Settlement Class are represented by Lead Counsel Xxxxx X. Xxxxxxxx, Esq. of Xxxxxxxxx Litowitz Xxxxxx & Xxxxxxxxx LLP, 00000 Xxxx Xxxxx Xxxxx, Xxxxx 000, Xxx Xxxxx, XX 00000, (000) 000-0000, xxxx@xxxxxxx.xxx, and Xxxxxx X. Xxxxx, Esq. of Bleichmar Xxxxx & Xxxx LLP, 0 Xxxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxxxxx@xxxxxx.xxx, and Local Counsel Xxxxx X. Xxxxxxxx, Esq. of Law Offices of Xxxxx X. Xxxxxxxx, 0000 Xxxxxxxx Xxxx, Xxxxx 000, Xxxxxxxxxx, XX 00000.
AutoNDA by SimpleDocs
Identification of Attorneys’ Representatives. Class Representatives and the Class are being represented by Labaton Sucharow LLP and Xxxxxxx Xxxxxxx & Xxxxxxx, P.C., Court-appointed Class Counsel. Any questions regarding the Settlement should be directed to Xxxxxxxx Xxxxxxx, Labaton Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx or Xxxxxx X. Xxxxxxxxxx, Xxxxxxx Xxxxxxx & Xxxxxxx, P.C., 0000 Xxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxxxxx, XX 00000, (000) 000-0000, xxx.xxxxxxxxxxxx.xxx. BASIC INFORMATION
Identification of Attorneys’ Representatives. Lead Plaintiff and the Settlement Class are being represented by Xxxxxxx X. Xxxxxxx of Xxxx & Korsinsky, LLP (“Levi & Korsinsky”), the Court-appointed Lead Counsel. Any questions regarding the Settlement may be addressed to Xx. Xxxxxxx at Xxxx & Korsinsky, LLP, 00 Xxxxxxxx, Xxx Xxxx, XX 00000, Tel. (000) 000-0000. Class Members may also obtain additional information on the Settlement Website (xxx.xxxxxxxxxxxxxxxxxxxxxxx.xxx), or by contacting the Settlement Administrator at: Analytics Consulting, LLC Attn: UMC Securities Litigation XX Xxx 0000 Xxxxxxxxxx, XX 00000-0000 Your Legal Rights and Options in this Settlement, and Important Deadlines REMAIN A MEMBER OF THE SETTLEMENT CLASS AND SUBMIT A CLAIM FORM This is the only way to get a payment. If you wish to be eligible to obtain a payment as a Class member, you will need to file a Claim Form (which is included with this Notice) postmarked no later than , 2020) EXCLUDE YOURSELF FROM THE SETTLEMENT CLASS BY SUBMITTING A WRITTEN REQUEST FOR EXCLUSION SO THAT IT IS RECEIVED NO LATER THAN , 2020 Get no payment. This is the only option that allows you to ever participate in another lawsuit against any of the Defendants or other Released Parties relating to the legal claims that were, or could have been, asserted in this case. This is the only option for Class members to remove themselves from the Settlement Class. OBJECT TO THE SETTLEMENT BY SUBMITTING A WRITTEN OBJECTION SO THAT IT IS RECEIVED NO LATER THAN , 2020 You may write to the Court and object if you do not like the Settlement, the Plan of Allocation or the request for attorneys’ fees and reimbursement of expenses. You cannot object unless you are a Class member and do not exclude yourself GO TO THE HEARING ON , 2020 at : .M., AND FILE A NOTICE OF INTENTION TO APPEAR SO THAT IT IS RECEIVED NO LATER THAN You may ask to speak in Court about the fairness of the settlement, the proposed Plan of Allocation, or the request for attorneys’ fees and reimbursement of expenses. , 2020 DO NOTHING You will not be eligible to receive a payment from the Settlement, you will give up your rights, your pro rata share of the Net Settlement Fund will be allocated among Authorized Claimants, and you will still be bound by the Settlement.
Identification of Attorneys’ Representatives. Lead Plaintiffs and the Class are represented by the following Court-appointed Lead Counsel: Xxxx X. Xxxxxx, Esq. at Grant & Xxxxxxxxxx P.A., 000 Xxxxxxxxx Xxxxxx, Xxx Xxxx, XX 00000, Tel: (000) 000-0000, xxx.xxxxx.xxx;
Time is Money Join Law Insider Premium to draft better contracts faster.