Object to the Settlement Sample Clauses

Object to the Settlement. If you wish to object to the Settlement, you must submit your objection in writing to the Clerk of the Court of the Circuit Court of Xxxx County, Illinois, Xxxxxxx X. Xxxxx Center, 50 West Washington Street, Courtroom , Xxxxxxx, Xxxxxxxx 00000. The objection must be received by the Court no later than , 2020. You must also send a copy of your objection to the attorneys for all Parties to the lawsuit, including Class Counsel (Xxxx X. Xxxxxx, XXXXXXX LAW, P.C., 00 Xxxx Xxxxxx Xxxxx, 9th Floor, Chicago, Illinois 60601), as well as the attorneys representing the Defendant (Xxxxx Xxxxxxxxx, XXXXXXX COIE, LLP, 0000 Xxxxx Xxx. Xxxxx 0000, Xxxxxxx, XX 98101), postmarked no later than , 2020. Any objection to the proposed Settlement must include your (i) full name, mailing address, and contact telephone number as well as an optional email address; (ii) the name and number of this case; (iii) a declaration that you are a member of the Settlement Class (i.e., that (a) you are an individual in Illinois (b) your Biometrics or photos were collected, captured, purchased, received through trade, otherwise obtained or in the possession of Jumio and/or any of its parents, subsidiaries, agents, or technology, at any time between December 21, 2013 and [date the Preliminary Approval Order is entered]); (iv) all grounds for the objection, with factual and legal support for the stated objection, including any supporting materials; (v) the identification of any other objections you have filed, or have had filed on your behalf, in any other class action cases in the last four years; and (vi) your signature. If you hire an attorney in connection with making an objection, that attorney must also file with the court a notice of appearance by the objection deadline of , 2020. If you do hire your own attorney, you will be solely responsible for payment of any fees and expenses the attorney incurs on your behalf. If you exclude yourself from the Settlement, you cannot file an objection. You may appear at the Final Approval Hearing, which will be held on , 2020 at a.m./p.m., in Courtroom of the Circuit Court of Xxxx County, Xxxxxxx X. Xxxxx Center, 00 Xxxx Xxxxxxxxxx Xxxxxx, Xxxxxxx, Xxxxxxxx 00000, in person or through counsel to show cause why the proposed Settlement should not be approved as fair, reasonable, and adequate. Attendance at the hearing is not necessary; however, persons wishing to be heard orally in opposition to the approval of the Settlement, the request for attorneys’ ...
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Object to the Settlement. You can file a written objection by [DATE] explaining what you do not like about the Settlement. Further details for objecting are contained on the settlement website.
Object to the Settlement. If you stay in the Settlement (i.e. you do not opt-out), you may object to it by filing a notice of objection. You may also appear at the Settlement Approval Hearing by filing a notice of intention to appear. Your notice of objection and/or notice of intention to appear must be filed with the Court and served on Counsel no later than March 17, 2019. See part III.A.7 of the Settlement Agreement at www.[XXXX].com for information regarding objections and notices of intention to appear. For more information, on the proposed Settlement, including your rights and options, visit www.[XXXX].com or call 1-XXX-XXX-XXXX. XXXXXXX XXXXXXXXX -and- SAMSUNG ELECTRONICS CANADA INC. Plaintiff Defendant Court File No. 2762-16-CP ONTARIO SUPERIOR COURT OF JUSTICE Proceeding commenced at London ORDER (CERTIFICATION FOR SETTLEMENT AND NOTICE APPROVAL) XXXXX, XXXXXXX & XXXXXXX LLP Barristers & Solicitors 000 Xxx Xxxxxx Suite 0000, Xxxxxxxx Xxxxx Xxxx Toronto ON M5L 1A9 X. Xxxxxx XxXxx LSUC #28557R Tel: 000-000-0000 xxxxxx.xxxxx@xxxxxx.xxx Xxxxx Xxxxxx LSUC #64378F Tel: 000-000-0000 xxxxx.xxxxxx@xxxxxx.xxx Xxxxxxxx Xxxxxxx LSO #70745E Tel: 000-000-0000 Fax: 000-000-0000 xxxxxxxx.xxxxxxx@xxxxxx.xxx Lawyers for the defendant SCHEDULE “3” – SETTLEMENT APPROVAL ORDER (see attached) Court File No. 2762-16 CP ONTARIO SUPERIOR COURT OF JUSTICE The Honourable ) Wednesday, the 27th day ) Justice Xxxxxx ) of March, 2019 B E T W E E N : XXXXXXX XXXXXXXXX Plaintiff - and - SAMSUNG ELECTRONICS CANADA INC. Proceeding under the Class Proceedings Act, 1992 ORDER (SETTLEMENT APPROVAL) Defendant THIS MOTION made by the Representative Plaintiff for an order approving a settlement agreement and notice of the approval, was heard this day at the Court House, 00 Xxxxxx Xxxxxx, Xxxxxx, Xxxxxxx, X0X 0X0. ON READING the materials filed, including the further amended settlement agreement entered into between the Representative Plaintiff and the Defendant as of December 11, 2018 (the "Settlement Agreement"), and any written objections filed, and on hearing the submissions of counsel for the Representative Plaintiff and counsel for the Defendant [and any objectors], fair and adequate notice of the within hearing having been provided to Settlement Class Members in accordance with the Certification and Notice Approval Order of this Court dated December 12, 2018 and the additional Order of this Court dated February 15, 2019;
Object to the Settlement. If you are a Settlement Class Member (and do not exclude yourself from the Settlement Class), you can object to any part of the Settlement. To object, you must submit a timely letter that includes the following:
Object to the Settlement ocument Submitted for Filing to MI Oakland County 6th Circuit Court. If you wish to object to the settlement, you must submit your objection in writing to the Clerk of the Court of the Circuit Court of Oakland County, Michigan, 0000 X. Xxxxxxxxx Xx., Xxxxxxxxxx 000, Xxxxxxx, XX 00000. The objection must be received by the Court no later than [objection deadline]. You must also send a copy of your objection to the attorneys for all Parties to the lawsuit, including Class Counsel (Xxxx X. Xxxxx, XXXXX & MALAD, LLP, Xxx Xxxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxxxxx, XX 00000, Xxxxx X. Xxxxx,, XXXXX XXXXX & XXXXXXX LLP 0000 Xxxxxxxxx Xxxxxx, XX, Xxxxx 000, Xxxxxxxxxx, X.X. 00000, and X. Xxxxxx Xxxxxxx, IV, BRANDSTETTER, XXXXXXX, & XXXXXXXX, PLLC, 000 Xxxx X. Xxxxx Avenue, Suite 200, Nashville, TN 37203), as well as the attorneys representing Beaumont (Xxxxxxxxxxx X. Xxxx, XXXXXXXX XXXXXXX LLC, 000 Xxxxxxxx Xxxxxx, Xxxx, Xxxxx 0000, Xxxxxxxxx, Xxxx 00000), postmarked no later than [objection deadline]. Any objection to the proposed settlement must include: (a) the title of the case; (b) the Class Member’s name, address, and telephone number; (c) the approximate date when the Class Member was a patient at a Beaumont facility; (d) all legal and factual bases for any objection; (e) copies of any documents that the Class Member wants the Court to consider; and (f) a list of all other objections submitted by you, or on your behalf, to any class action settlement in the United States in the previous five years. If you hire an attorney in connection with making an objection, that attorney must also file with the Court a notice of appearance by the objection deadline of [date]. If you do hire your own attorney, you will be solely responsible for payment of any fees and expenses the attorney incurs on your behalf. If you exclude yourself from the Settlement, you cannot file an objection. You may appear at the Final Approval Hearing, which is to be held on [date/time], in Courtroom 4C of the Circuit Court of Oakland County, Michigan, 0000 X. Xxxxxxxxx Xx., Xxxxxxxxxx 000, Xxxxxxx, XX 00000, in person or through counsel to show cause of why the proposed Settlement Agreement should not be approved as fair, reasonable, and adequate. Attendance at the hearing is not necessary; however, persons wishing to be heard orally in opposition to the approval of the settlement, the request for attorneys’ fees and expenses, and/or the request for an incentive award to the Class Representati...
Object to the Settlement. If you do not opt out of the Settlement, you may object to it by writing to the Court about why you do not like the Settlement. Instructions for objecting and attending the Final Approval Hearing where the Parties will request that the Final Approval Order be entered approving the Settlement can be found at www.[URL].com. Your objection must be filed or postmarked on or before [insert date].
Object to the Settlement. If you wish to object to the Settlement, you must submit your objection in writing to the Clerk of the United States District Court Northern District of Illinois Xxxxxxx XxXxxxxx Xxxxxxx United States Courthouse 000 X. Xxxxxxxx Street Chicago, IL 60604, specifying Xxxxxx x. Loews Chicago Hotel, Inc., et. al., Case No. 19-cv-3195 . The objection must be received by the Court no later than [OBJECTION DEADLINE]. You must also send a copy of your objection to the attorneys for all Parties to the lawsuit, including Class Counsel (address below), as well as the attorneys representing Defendants (Xxxx Xxxxxxxx, Xxxxx & Xxxxxxxxx, LLP, 000 X. Xxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, Xxxxxxx 00000; and Xxxxxx Xxxxx XxxXxxxx, Xxxxx & Xxxxxxxxx, LLP, Xxx Xxxxx Xxxxxx Xxxxx, Suite 4500, Chicago, Illinois 60606), postmarked no later than [OBJECTION DEADLINE]. Any objection to the proposed Settlement must include your (i) full name, address, and telephone number; (ii) the case name and number of this lawsuit; (iii) the date range during which you were employed by Defendant; (iv) all grounds for the objection, with factual and legal support for the stated objection, including any supporting materials;
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Object to the Settlement. All Class Members who do not opt-out (“Participating Class Members”) can object to any aspect of the proposed Settlement. See section 7 of this notice for more information. Xxxxxxxxx will not retaliate against you for any actions you take with respect to the proposed Settlement.
Object to the Settlement. You may write to the Court and explain why you do not like the Settlement. Objections must be submitted postmarked by [insert date – 75 days after entry of Preliminary Approval Order]. Complete instructions on how to exclude or object to the Settlement are available in the Full Notice available at xxx.XXXXxxxXxxxxxxXxxxxxxxxx.xxx. When will the Court approve the Settlement? The Court will hold a Final Approval Hearing on [insert date - 90 days after entry of Preliminary Approval Order], at t h e [ l o c a t i o n ] to consider whether to approve the Settlement. The Court will hear any objections, determine if the Settlement is fair, and consider Class Counsel’s request for fees of no more than one-third of the Settlement value, plus expenses, as well as Service Awards of $2,500 for each of the Class Representatives. You may attend the Final Approval Hearing and ask to be heard by the Court, but you do not have to. Petitions for attorney fees and costs will be posted on the website after they are filed with the Court. This is only a summary. For detailed information go to xxx.XXXXxxxXxxxxxxXxxxxxxxxx.xxx or call [0-000-000-0000]. You may contact the Settlement Administrator at ACH Litigation Settlement c/o Settlement Administrator, P.O. Box ####, City, ST ####-####. DocuSign Envelope ID: D44897A2-4B3B-489D-A18C-07D1310DC494 EXHIBIT C DocuSign Envelope ID: D44897A2-4B3B-489D-A18C-07D1310DC494 In the U.S. District Court for the Middle District of North Carolina A Settlement Has Been Reached in a Class Action Lawsuit Against Several Defendants Related to ACH Entries on behalf of 480,000 Accounts/Clients Nationwide. A court authorized this notice. You are not being sued. This is not a solicitation from a lawyer. • A Settlement Agreement has been reached in several class action lawsuits against Defendants ACI Payments, Inc., ACI Worldwide Corp., ACI Worldwide, Inc., (collectively “ACI”) and Nationstar Mortgage LLC d/b/a Xx. Xxxxxx Group, (“Nationstar”) (Nationstar and ACI are collectively, “Defendants”). These include the following cases: Dugan v. Nationstar Mortgage LLC, M.D.N.C., Case No. 1:21-cv-341; Padalecki v. Nationstar Mortgage LLC, D. Nev., Case No. 2:21-cv-938; Xxxxx v. Nationstar Mortgage LLC, N.D. Ill., Case No. 1:21-cv-3217; Xxxx v. Nationstar Mortgage LLC, N.D.N.Y., Case No. 6:21-cv-697; Xxxxxx v. Nationstar Mortgage LLC, M.D. Fla., Case No. 8:21-cv-1349; Xxxxxx v. Nationstar Mortgage LLC, E.D. Mich., Case No. 1:21-cv-11460; Devereaux v. Nationstar...
Object to the Settlement. If you decide to object to the settlement because you find it unfair or unreasonable, you may submit a written objection stating why you object to the settlement, or you may instead appear at the Final Fairness Hearing to object to the Settlement. Written objections must provide: (1) your full name, signature, address, and telephone number, (2) a written statement of all grounds for the objection accompanied by any legal support for such objection; (3) copies of any papers, briefs, or other documents upon which the objection is based; and (4) a statement about whether you intend to appear at the Fairness Hearing. The objection must be mailed to the administrator at [administrator’s address]. All written objections must be received by the administrator by not later than 2022. By submitting an objection, you are not excluding yourself from the settlement. To exclude yourself from the settlement, you must follow the directions described above. Please note that you cannot both object to the settlement and exclude yourself. You must choose one option only. You may also, if you wish, appear at the Final Fairness Hearing set for at a.m./p.m. in the Superior Court of the State of California, for the County of Xxxx and discuss your objection with the Court and the Parties at your own expense. You may also retain an attorney to represent you at the hearing. If you choose Option 3, you will still be entitled to the money from the settlement. If the Court overrules your objection, you will be deemed to have released the Released Class Claims and Released PAGA Claims.
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