Notice of Violation. On April 6, 2023, Xxxxxxxxxx served Inventure and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure and such public enforcers with notice that Inventure was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to cadmium. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6August 24, 20232018, Xxxxxxxxxx Ecological served Inventure Xxxxxxx Gifts LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure BigMouth and such public enforcers with notice that Inventure BigMouth was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6December 15, 20232021, Xxxxxxxxxx Ecological served Inventure HDS, Marshall’s of CA, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure HDS and such public enforcers with notice that Inventure HDS was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6July 12, 20232022, Xxxxxxxxxx Initiative served Inventure Evriholder, T.J. Maxx of CA, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Evriholder and such public enforcers with notice that Inventure Evriholder was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6July 25, 20232022, Xxxxxxxxxx Alliance served Inventure Xxxxxxx, XxXxxxxx-Xxxx Industrial Hardware LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Xxxxxxx and such public enforcers with notice that Inventure Xxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6November 14, 20232022, Xxxxxxxxxx CPA served Inventure RC Commerce Inc., Xxxxxxx.xxx, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure RC and such public enforcers with notice that Inventure RC was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumLead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6January 24, 20232024, Xxxxxxxxxx Keep America Safe and Beautiful served Inventure SalesVenue and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure SalesVenue and such public enforcers with notice that Inventure SalesVenue was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to cadmiumlead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 610, 2023, Xxxxxxxxxx Alliance served Inventure New World, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure New World and such public enforcers with notice that Inventure New World was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDBP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 67, 20232022, Xxxxxxxxxx Ecological served Inventure Xxxxxxxx’x of CA, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Momentum and such public enforcers with notice that Inventure Momentum was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumLead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6June 24, 20232020, Xxxxxxxxxx Ecological served Inventure Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Xiamen and such public enforcers with notice that Inventure Xiamen was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6August 22, 20232024, Xxxxxxxxxx Alliance served Inventure Votum, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Votum and such public enforcers with notice that Inventure Votum was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to cadmiumDINP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6June 2, 2023, Xxxxxxxxxx Alliance served Inventure Xxxxxx, Burlington Coat Factory of Texas, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Xxxxxx and such public enforcers with notice that Inventure Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumLead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6January 25, 20232022, Xxxxxxxxxx Alliance served Inventure Xxxxxxxx’x of CA, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Ceramicas and such public enforcers with notice that Inventure Ceramicas was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumLead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 64, 20232019, Xxxxxxxxxx Ecological served Inventure G Xxxxx, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure G Xxxxx and such public enforcers with notice that Inventure G Xxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April July 6, 20232022, Xxxxxxxxxx Ecological served Inventure Worldwise, Wal-Mart Stores East, L.P., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Worldwise and such public enforcers with notice that Inventure Worldwise was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6May 8, 2023, Xxxxxxxxxx Alliance served Inventure InterDesign, Home Depot U.S.A., Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure InterDesign and such public enforcers with notice that Inventure InterDesign was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumPFOA. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6January 13, 20232022, Xxxxxxxxxx served Inventure Xxxx, Mother’s Market & Kitchen, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Inventure Xxxx and such public enforcers with notice that Inventure Xxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to cadmiumlead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On April 6December 16, 20232020, Xxxxxxxxxx Ecological served Inventure Xxxxxxxx, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "“60-Day Notice of Violation" ” ("“Notice"”) that provided Inventure Hilfiger and such public enforcers with notice that Inventure Hilfiger was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to cadmiumDEHP. To the best of the Parties' ’ knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement