Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceeding, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceeding or as otherwise required by law, except to the extent that the documents or information are or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information. Notwithstanding the foregoing, Class Counsel may disclose such information and documents to Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP, to the extent that Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP is assisting Class Counsel in the prosecution of the Proceeding and they agree to keep such information confidential and only use it for the purpose of providing such assistance.
(2) If the Plaintiffs intend to produce or file in the Proceeding any documents or other information provided by the Settling Defendants and/or Counsel for the Settling Defendants as cooperation under the Settlement Agreement (and such disclosure is not otherwise prohibited by the Settlement Agreement) which, at the time of being provided, were marked or designated by the Settling Defendants as “Confidential — Subject to Procedure Under Section 4.2(2) of the Settlement Agreement,” and there is not already a confidentiality order issued in the Proceeding that applies to the documents and information provided as cooperation by the Settling Defendants, Class Counsel shall provide the Settling Defendants with an advance description of the documents or other information sought to be produced or filed at least thirty (30) days in advance of the proposed production or filing, in order that the Settling Defendants may move to obtain a sealing or confidentiality order or similar relief. If, within that thirty (30) day period, a Settling Defendant ...
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information were, are, or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceedings or as otherwise required by law, except to the extent that the documents or information were, are, or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information. Notwithstanding the foregoing, in the Steering Angle Sensors and Switches Proceedings, Ontario Counsel may disclose such information and documents to Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Siskinds Desmeules s.e.n.c.r.l, to the extent that Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Siskinds Desmeules s.e.n.c.r.l are assisting Ontario Counsel in the prosecution of those Proceedings, and Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Siskinds Desmeules s.e.n.c.r.l agree to keep such information and documents confidential and only use such information and documents for the purpose of providing such assistance.
(2) If the Plaintiffs intend to produce or file in the Proceedings, any documents or other information provided by the Settling Defendants and/or Counsel for the Settling Defendants as cooperation under the Settlement Agreement (and such disclosure is not otherwise prohibited by the Settlement Agreement) which, at the time of being provided, were marked or designated by the Settling Defendants as “Confidential – Subject to Procedure Under Section 4.2 of the Settlement Agreement,” and there is not already a confidentiality order issued in the relevant Proceeding that applies to the documents and information provided as cooperation by the Settling Defendants, Class Counsel shall provide the Settling Defendants with an advance description of the documents or other information sought to b...
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceedings or as otherwise required by law, except to the extent that the documents or information are or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information.
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceedings or as otherwise required by law, except to the extent that the documents or information are or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information. Notwithstanding the foregoing, Class Counsel may disclose such information and documents to Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP, to the extent that Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP is assisting Class Counsel in the prosecution of the Proceedings and they agree to keep such information confidential and only use it for the purpose of providing such assistance.
Limits on Use of Documents and Information. (1) The Plaintiffs and Class Counsel agree they will not disclose or use the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants except as permitted by this Settlement Agreement. It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings as against Persons who are not Releasees, and shall not be disclosed or used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available other than through breach of this Settlement Agreement or any applicable confidentiality or protective order. Even where disclosure is permitted by this Settlement Agreement, the Plaintiffs and Class Counsel shall not disclose such documents or information beyond what is reasonably necessary for the prosecution of the Proceedings or as otherwise required by law, except to the extent that the documents or information, are or become publicly available other than through breach of this Settlement Agreement or any applicable confidentiality or protective order. Except to the extent disclosure is expressly permitted by this Settlement Agreement, the Plaintiffs and Class Counsel shall make best efforts to ensure and maintain the confidentiality of the documents provided by the Settling Defendants and/or Counsel for the Settling Defendants, and of any work product of Class Counsel that discloses such documents and information.
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings and the Second Ontario Action, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceedings and the Second Ontario Action or as otherwise required by law, except to the extent that the documents or information are or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information. Notwithstanding the foregoing, Class Counsel may disclose such information and documents to Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP, to the extent that Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP is assisting Class Counsel in the prosecution of the Proceedings and the Second Ontario Action and they agree to keep such information confidential and only use it for the purpose of providing such assistance.
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings and Related Action, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information were, are, or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants beyond what is reasonably necessary for the prosecution of the Proceedings and Related Action or as otherwise required by law, except to the extent that the documents or information were, are, or become publicly available. Subject to the foregoing, Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information, and of any work product of Class Counsel that discloses such documents and information. Notwithstanding the foregoing, Class Counsel may disclose such information and documents to Siskinds Desmeules s.e.n.c.r.l. to the extent that Siskinds Desmeules s.e.n.c.r.l. is assisting Class Counsel in the prosecution of the Proceedings or the Related Action they agree to keep such information confidential and only use it for the purpose of providing such assistance.
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information are or become publicly available. The Plaintiffs and Class Counsel agree they will not disclose the documents and information provided by the Settling Defendants and/or Counsel for the Settling Defendants
Limits on Use of Documents and Information. (1) It is understood and agreed that all documents and information made available or provided by the Settling Defendants and/or Counsel for the Settling Defendants to the Plaintiffs and Class Counsel under this Settlement Agreement shall be used only in connection with the prosecution of the claims in the Proceedings, and shall not be used directly or indirectly for any other purpose, except to the extent that the documents or information were, are, or become publicly available. Notwithstanding the foregoing, in the Electric Powered Steering Assemblies Proceeding, Ontario Counsel may disclose such information and documents to Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Xxxxxxxx Desmeules s.e.n.c.r.l, to the extent that Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Siskinds Desmeules s.e.n.c.r.l are assisting Ontario Counsel in the prosecution of that Proceeding, and Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP and Siskinds Desmeules s.e.n.c.r.l agree to keep such information and documents confidential and only use such information and documents for the purpose of providing such assistance.
Limits on Use of Documents and Information. (1) Notwithstanding the other provisions of this Section 4.2, the Plaintiffs and Class Counsel may not use or disclose to anyone for any purpose any information or documents provided by the Settling Defendants and/or Counsel for the Settling Defendants relating to Industrial Bearings and/or Industrial Products, except to the extent such information or documents were, are or become otherwise publicly available or unless ordered to do so by a court. Class Counsel shall take reasonable precautions to ensure and maintain the confidentiality of such documents and information.