Notice to Counsel.
a) If Counsel has not had the opportunity to work the full notice period they shall be paid in lieu of work for that part of the notice period for which work was not made available.
b) Following notice of layoff, Counsel so affected, who are seeking alternative employment, shall, subject to operational requirements, receive leave with pay to attend job interviews. The Employer agrees that such leave shall not be unreasonably withheld. The Employer may require reasonable proof that Counsel has attended the job interview for which the time was taken off. The total number of hours of such paid leave shall not exceed ten (10) hours.
Notice to Counsel. The Settlement Administrator shall promptly provide copies of all Written Objections (whether or not such Written Objections are valid or timely), Opt-Out Requests (whether or not such Opt-Out Requests are valid or timely), and/or related correspondence from Class Members to Class Counsel and Defense Counsel. Not later than three (3) business days after the Opt-Out Deadline, the Settlement Administrator shall provide to Class Counsel and Defense Counsel a complete opt-out list together with copies of the Opt-Out Requests. For clarity, as described above, delivery of a Written Objection to the Settlement Administrator is not a valid means of delivering notice to Counsel as required in this paragraph.
Notice to Counsel. All notices to Settlement Class Counsel provided for herein shall be sent by overnight mail and email to:
Notice to Counsel. All notices, requests, demands, or other communications required or permitted to be given pursuant to this Agreement shall be in writing and shall be delivered personally or mailed, postage prepaid, by first-class United States mail, to the undersigned person at their respective addresses as set forth below: To Plaintiff: Xxxx X. Xxxxxx Xxxxxx Law 000 Xxxxxxxxxx Xxxxxx, Xxx. 0000 Xxx Xxxxxxxxx, XX 00000 To Defendant: Xxxxx X. Xxxxxx Xxxxx Xxxxxx Xxxxxxxx LLP 000 X. Xxxxxxxx Street, Ste. 2400 Los Angeles, CA 90017
Notice to Counsel. Before filing the Regis-tration Statement or any amendments thereto (which for the purposes hereof shall be deemed to exclude documents incorporated by reference), SLC will furnish to the counsel selected by the Selling Securityholders copies of all such documents proposed to be filed, which documents will be subject to the review of such counsel before any such filing is made, and SLC will comply with any reasonable request made by such counsel to make changes in any information contained in such documents relating to the Selling Securityholders.
Notice to Counsel. Notices to Borealis Mining and/or Gryphon Gold, as provided in Section 6.6, shall include a copy to: Snell & Wilmer L.L.P. Att: Lowell Thomas, Xxx. One S. Church Ave., Suxxx 0000 Tucson, AZ 00000-0000 Xxxxxxxxx: (000) 000-0000 Facsimile: (520) 884-1294
Notice to Counsel. All notices, requests, demands, and other communications required or permitted to be given pursuant to this Settlement Agreement shall be in writing and shall be delivered (i) personally or (ii) mailed, postage prepaid, by first-class U.S. Mail with a concurrent copy by email, to the undersigned persons at their respective addresses as set forth herein: Xxxxx Xxxx, Esq. Xxxx Xxxxxx, Esq. Mara Law Firm PC 0000 Xxxxxx Xxx Xxx Xxxxx, Xxxxx 000 Xxx Xxxxx, XX 00000 Tel.: (000) 000-0000 Fax: (000) 000-0000 E-mail: xxxxxxx@xxxxxxxxxxx.xxx Xxxxxxx X. Xxxxxxx, Esq. Faegre Drinker Xxxxxx & Xxxxx LLP 0000 Xxxxxxx Xxxx Xxxx, Xxx. 0000 Xxx Xxxxxxx, XX 00000 Tel.: (000) 000-0000 Fax: (000) 000-0000 E-mail: xxxxxxx.xxxxxxx@xxxxxxxxxxxxx.xxx
Notice to Counsel. All notices to Class Counsel provided for herein, shall be sent by overnight mail and email to:
Xxxxx X. Xxxxxx XXXX & XXXXXXXX LLP 000 Xxxxx Xxxxxx, Xxxxx 000 Xxx Xxxx, Xxx Xxxx 00000 xxxxxxx@xxxxxxx.xxx
A. Xxxxxx Xxxxxx XXXXXX LAW FIRM AprAil 0000 Xxxx Xxxxxx Pkwy, Suite 700 Oklahoma City, OK 73108 xxx@xxxxxxxxxxxxxxx.xxx Xxxxxxx X. Xxxxxxxx XXXXXXXX & XXXXXXXX 00000 X. Xxxxxxxxxxxx Xxx. Oklahoma City, OK 73120 xxx@xxxxxxxxxxx.xxx All notices provided to Defendant for herein, shall be sent by overnight mail and email to: Xxxxxxx X. Xxxxxx, XXX XXXXXXX XXXXXX & XXXX, LLP 0 Xxxxxxxxx Xxxxxx, Xxxxx 000 Xxxxxx Xxxx, XX 00000 xxxxxxx@xxxxxx.xxx
Notice to Counsel. 44 X. Xxxx and Entire Agreement; Modifications 45 I. Independent Settlement. 46 X. Xxxxxxx. 46
Notice to Counsel. Any and all notices, requests, consents, directives, or other official communications by any Class Representative or the District intended for any other Party’s counsel shall be in writing and shall, unless expressly provided otherwise herein, be given personally, by express courier, or by postage prepaid mail, or by facsimile transmission followed by postage prepaid mail, and shall be addressed as follows: To the Plaintiffs or the Class: Xxxxx X. Xxxx, Esq. Xxxxxx X. Xxxxxx, Esq. Xxxxxxxxx, Xxxx, Xxxx & Xxxxx, P.C. 0000 Xxxxxxxxxxx Xxx., X.X., Xxxxx 000 Washington, D.C. 20036 xxxxxxx@xxxxxxxxx.xxx To the District of Columbia: Xxxx Xxxxxxxx, Esq. Assistant Attorney General Office of the Attorney General for the District of Columbia 000 Xxxxxx Xxxxxx, XX, 0xx Xxxxx Xxxxx Washington, DC 20001 Xxxx.xxxxxxxx@xx.xxx Any of the Parties may, from time to time, change the name and address to which such notices, requests, consents, directives, or communications are to be mailed, by giving the other Parties’ prior written notice of the changed address, in the manner herein above provided, ten