Notice of Violation. On February 9, 2021, Ecological served Xxxxxxx’x, Bass Pro Outdoor World, L.L.C., 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 Xxxxxxx’x and such public enforcers with notice that Xxxxxxx’x was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINP. To 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 February 9April 18, 20212018, Ecological served Xxxxxxx’xXxxxxx Xxxxxx, Bass Pro Outdoor WorldX.X. Xxxxxx Corporation, L.L.C.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 Xxxxxxx’x Xxxxxx Xxxxxx and such public enforcers with notice that Xxxxxxx’x Xxxxxx Xxxxxx 00140857.1 1 was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. 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 February 9September 12, 2021, 2016 Ecological served Xxxxxxx’xXxxxxx.xxx, Bass Pro Outdoor World, L.L.C.Inc., and the requisite all 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 Xxxxxxx’x Motovicity and such public enforcers with notice that Xxxxxxx’x alleged that Xxxxxx.xxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPlead. On occasion, Motovicity sold Products to Xxxxxx.xxx. To the best of the Parties' ’ knowledge, no public enforcer has commenced or is diligently prosecuting prosecuted the allegations set forth in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On February 9January 12, 2021, Ecological served Xxxxxxx’xHome Depot U.S.A., Bass Pro Outdoor World, L.L.C.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 ). Apex later received the Notice from Home Depot. The Notice provided Xxxxxxx’x Apex and such public enforcers with notice that Xxxxxxx’x Apex was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINP. 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 February 9or about December 3, 20212019 and June 22, 2020, Ecological served Xxxxxxx’xExpressions, Bass Pro Outdoor World, L.L.C.Xxxx Stores Inc. (“Xxxx”), 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" ("NoticeNotices") that provided Xxxxxxx’x Expressions, Xxxx, and such public enforcers with notice that Xxxxxxx’x Expressions was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. 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 February 9July 29, 20212019, Ecological served Xxxxxxx’xHi-Liner, Bass Pro Outdoor World, L.L.C., 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 Xxxxxxx’x Hi-Liner and such public enforcers with notice that Xxxxxxx’x Hi-Liner was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. 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 February 9June 26, 20212023, Ecological CRA served Xxxxxxx’x, Bass Pro Outdoor World, L.L.C., SEMPIO 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 "California, two (2) 60-Day Notice Notices of Violation" ("Notice") that provided Xxxxxxx’x and such public enforcers with notice that Xxxxxxx’x was allegedly in violation of California Violation pursuant to Cal. Health & Safety Code section 25249.6 § 25249.5, et seq., Notices of Violation Nos. 2023-01821 and 2023-01822 (“Notices”) alleging that XXXXXX was in violation of Proposition 65 for failing to warn consumers and customers that the Covered Products exposed users in California to DINPunlawful amounts of lead. To the best of the Parties' ’ knowledge, no public enforcer has commenced or is diligently prosecuting an action to enforce the allegations set forth violations alleged in the Notice.
Appears in 1 contract
Samples: Settlement Agreement
Notice of Violation. On February 911, 20212020, Ecological served Xxxxxxx’xXxxxxxxx, Bass Pro Outdoor World, L.L.C., 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 Xxxxxxx’x Xxxxxxxx and such public enforcers with notice that Xxxxxxx’x Xxxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. 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 February November 9, 20212020, Ecological served Xxxxxxx’xGeiger, Bass Pro Outdoor WorldNordstrom, L.L.C.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 ViolationViolation Against Xxxx Xxxxxx and Nordstrom, Inc. of California Health & Safety Code Section 25249.6" ("Notice") that provided Xxxxxxx’x Xxxxxx and such public enforcers with notice that Xxxxxxx’x Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. To 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 February 9January 7, 2021, Ecological served Xxxxxxx’xXxxxxxxx, Bass Pro Outdoor World, L.L.C., 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 Xxxxxxx’x Xxxxxxxx and such public enforcers with notice that Xxxxxxx’x Xxxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. 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 February 9October 26, 20212018, Ecological served Xxxxxxx’x, Bass Pro Outdoor World, L.L.C.Five Below, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California California, with documents entitled "60-Day Notice of Violation" ("Notice") that provided Xxxxxxx’x Five Below and VS and such public enforcers with notice that Xxxxxxx’x was Five Below and VS were allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPDEHP. A copy of said Notice is attached hereto as Exhibit “A”. 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 February 9August 30, 20212019 (AG No. 2019-01677), Ecological CPG served Xxxxxxx’x, Bass Pro Outdoor World, L.L.C., Rite Aid Corporation and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California California, with documents a document entitled "60-Day Notice Notice
265534235v.1 of Violation" (the "Notice") that provided Xxxxxxx’x Rite Aid Corporation and such public enforcers with notice that Xxxxxxx’x was allegedly in about the alleged violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products Subject Product exposed users in California to DINP. 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 February 9October 8, 2021, Ecological served Xxxxxxx’xXxxxx's, Bass Pro Outdoor WorldSprouts Farmers Market, L.L.C.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 Xxxxxxx’x Xxxxx's and such public enforcers with notice that Xxxxxxx’x Xxxxx's was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to DINPLead. 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 February 9October 12, 20212018 (AG No. 2018-01835), Ecological CPG served Xxxxxxx’xITW, Bass Pro Outdoor WorldThe Pep Boys Xxxxx Xxx and Xxxx of California, L.L.C.Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California California, with documents a document entitled "60-Day Notice of Violation" (the "Notice") that provided Xxxxxxx’x ITW and such public enforcers with notice that Xxxxxxx’x ITW was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products Subject Product exposed users in California to DINPlead. 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