Objection Procedures. 5.1 Each Settlement Class Member wishing to object to the settlement shall submit a timely written notice of his objection which shall set forth the reasons for the Settlement Class Member’s objection, and further state whether the objector intends to appear at the Final Fairness Hearing. The objection also must provide information identifying the objector as a Settlement Class Member, including (a) proof (e.g., a sales slip, credit or debit statement, or cancelled check) of having made a purchase or return at a TJX Store, or an affidavit setting forth, in as much detail as the objector remembers, the fact of purchase(s) or return(s), the product(s) purchased or returned, the price of the product(s), the approximate date of said purchase(s) or returns, and the place of the purchase(s) or returns, and (b) documentation supporting the objector’s allegation of damage. To be timely, written notice of an objection in appropriate form must be filed with the Clerk of the United States District Court for the District of Massachusetts, Jxxx Xxxxxx Xxxxxxx U.S. Courthouse, 1 Xxxxxxxxxx Xxx, Xxxxxx, XX 00000, 21 days prior to the date set in the Notice for the Final Fairness Hearing, and served concurrently therewith upon any one of the Settlement Class Co-Lead Counsel (Bxx Xxxxxx, Bxxxxx and Associates, P.C., Oxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000; Sxxxxxx X. Xxxxxx, Bxxxxx & Mxxxxxxx, P.C. , 1000 Xxxxxx Xxxxxx, Xxxxxxxxxxxx, XX 00000; or Lxxxxx X. Xxxx, Wolf Popper LLP, 800 Xxxxx Xxxxxx, Xxx Xxxx, XX 10022), counsel for TJX (Hxxxxx X. Xxxxxxx, Ropes & Gxxx LLP, Oxx Xxxxxxxxxxxxx Xxxxx, Xxxxxx, XX, 00000), and counsel for Fifth Third (W. Bxxxx Xxxxxx, Vorys Sxxxx Xxxxxxx and Pxxxx LLP, Atrium Two, Suite 2000, 200 Xxxx Xxxxxx Xxxxxx, Xxxxxxxxxx, XX 00000).
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Samples: Settlement Agreement (TJX Companies Inc /De/), Settlement Agreement (TJX Companies Inc /De/)
Objection Procedures. 5.1 Each Settlement Class Member wishing to object to the settlement shall submit a timely written notice of his objection which shall set forth the reasons for the Settlement Class Member’s objection, and further state whether the objector intends to appear at the Final Fairness Hearing. The objection also must provide information identifying the objector as a Settlement Class Member, including (a) proof (e.g., a sales slip, credit or debit statement, or cancelled check) of having made a purchase or return at a TJX Store, or an affidavit setting forth, in as much detail as the objector remembers, the fact of purchase(s) or return(s), the product(s) purchased or returned, the price of the product(s), the approximate date of said purchase(s) or returns, and the place of the purchase(s) or returns, and (b) documentation supporting the objector’s allegation of damage. To be timely, written notice of an objection in appropriate form must be filed with the Clerk of the United States District Court for the District of Massachusetts, Jxxx Xxxx Xxxxxx Xxxxxxx U.S. Courthouse, 1 0 Xxxxxxxxxx Xxx, Xxxxxx, XX 00000, 21 days prior to the date set in the Notice for the Final Fairness Hearing, and served concurrently therewith upon any one of the Settlement Class Co-Lead Counsel (Bxx Xxx Xxxxxx, Bxxxxx Xxxxxx and Associates, P.C., Oxx Xxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000; Sxxxxxx Xxxxxxx X. Xxxxxx, Bxxxxx Xxxxxx & MxxxxxxxXxxxxxxx, P.C. , 1000 0000 Xxxxxx Xxxxxx, Xxxxxxxxxxxx, XX 00000; or Lxxxxx Xxxxxx X. Xxxx, Wolf Popper LLP, 800 000 Xxxxx Xxxxxx, Xxx Xxxx, XX 10022), counsel for TJX (Hxxxxx Xxxxxx X. Xxxxxxx, Ropes & Gxxx Xxxx LLP, Oxx Xxx Xxxxxxxxxxxxx Xxxxx, Xxxxxx, XX, 00000), and counsel for Fifth Third (W. Bxxxx Xxxxx Xxxxxx, Vorys Sxxxx Xxxxx Xxxxxxx and Pxxxx Xxxxx LLP, Atrium Two, Suite 2000, 200 000 Xxxx Xxxxxx Xxxxxx, Xxxxxxxxxx, XX 00000).
Appears in 1 contract
Samples: Settlement Agreement
Objection Procedures. 5.1 6.1 Each Settlement Class Member wishing desiring to object to the settlement Settlement Agreement shall submit a timely written notice of his or her objection which by the Objection Date. Such notice shall set forth state:
(i) the reasons for the Settlement Class Memberobjector’s objectionfull name, address, telephone number, and further state whether the objector intends to appear at the Final Fairness Hearing. The objection also must provide e-mail address (if any); (ii) information identifying the objector as a Settlement Class Member, including (a) proof that the objector is a member of the Settlement Class (e.g., copy of notice, copy of original notice of the Data Security Incident); (iii) a sales slipwritten statement of all grounds for the objection, credit or debit statementaccompanied by any legal support for the objection the objector believes applicable; (iv) a statement as to whether the objection applies only to the objector, to a specific subset of the class, or cancelled checkto the entire class; (v) the identity of having made a purchase or return at a TJX Store, or an affidavit setting forth, in as much detail as any and all counsel representing the objector remembersin connection with the objection; (vi) a statement as to whether the objector and/or his or her counsel will appear at the Final Fairness Hearing, the fact of purchase(sand; (vii) or return(s), the product(s) purchased or returned, the price of the product(s), the approximate date of said purchase(s) or returns, and the place of the purchase(s) or returns, and (b) documentation supporting the objector’s allegation signature and the signature of damagethe objector’s duly authorized attorney or other duly authorized representative (along with documentation setting forth such representation). To be timely, written notice of an objection in the appropriate form must be filed with the Clerk of the United States District Court for the District of MassachusettsSaline County Circuit Clerk, Jxxx Xxxxxx Xxxxxxx U.S. Courthouse, 1 Xxxxxxxxxx Xxx, 00 X. Xxxxx Xxxxxx, XX Xx. 000, Xxxxxxxx, Xxxxxxxx 00000, 21 and contain the case name and docket number, In re: Xxxxxxxxxx Hospital Data Security Incident Litigation, Case No. 23SACV00020, no later than forty-five (45) days prior to the date set in the from Notice for the Final Fairness HearingDate, and served concurrently therewith upon any one of the Settlement Class Co-Lead Counsel (Bxx XxxxxxCounsel, Bxxxxx and Associates, P.C., Oxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000; Sxxxxxx Xxxxxxxx X. Xxxxxx, Bxxxxx & Mxxxxxxx, P.C. , 1000 Xxxxxx Xxxxxx, Xxxxxxxxxxxx, XX 00000; or Lxxxxx X. Xxxx, Wolf Popper LLP, 800 Xxxxx Xxxxxx, Xxx Xxxx, XX 10022), counsel for TJX (Hxxxxx X. Xxxxxxx, Ropes & Gxxx LLP, Oxx Xxxxxxxxxxxxx Xxxxx, XxxxxxXxxx & Xxxxx LLC, XXFour Tower Bridge, 00000)000 Xxxx Xxxxxx Drive, Suite 400 Conshohocken, PA 19428, and counsel for Fifth Third (W. Bxxxx Xxxxxxxxxx, Xxxxx X. Xxxxxxxx, XxXxxxxx Xxxxxxx, 00000 Xxxxxxxx Xxxxxx, Vorys Sxxxx Xxxxxxx Suite 318, Bloomfield Hills, MI 48304.
6.2 Any Settlement Class Member who fails to comply with the requirements for objecting in ¶ 6.1 shall waive and Pxxxx LLPforfeit any and all rights he or she may have to appear separately or to object to the Settlement Agreement, Atrium Twoand the Settlement Class Member shall be bound by all the terms of the Settlement Agreement and by all proceedings, Suite 2000orders, 200 Xxxx Xxxxxx Xxxxxxand judgments in the Litigation. The exclusive means for any challenge to the Settlement Agreement shall be through the provisions of ¶ 6.1. Without limiting the foregoing, Xxxxxxxxxxany challenge to the Settlement Agreement, XX 00000)the final order approving this Settlement Agreement, or the Judgment to be entered upon final approval shall be pursuant to appeal under the Missouri Rules of Appellate Procedure and not through a collateral attack.
Appears in 1 contract
Samples: Settlement Agreement
Objection Procedures. 5.1 Each Settlement Class Member wishing desiring to object to the settlement Settlement Agreement shall submit a timely written notice of his or her objection which by the Objection Date. Such notice shall set forth state: (i) the reasons for the Settlement Class Memberobjector’s objectionfull name, address, telephone number, and further state whether the objector intends to appear at the Final Fairness Hearing. The objection also must provide e-mail address (if any); (ii) information identifying the objector as a Settlement Class Member, including (a) proof that the objector is a member of the Settlement Class (e.g., copy of notice, copy of original notice of the Data Incident); (iii) a sales slipwritten statement of all grounds for the objection, credit or debit statement, or cancelled check) of having made a purchase or return at a TJX Store, or an affidavit setting forth, in as much detail as accompanied by any legal support for the objection the objector remembers, believes applicable; (iv) the fact identity of purchase(sany and all counsel representing the objector in connection with the objection; (v) a statement as to whether the objector and/or his or return(s), her counsel will appear at the product(sFinal Fairness Hearing; (vi) purchased or returned, the price of the product(s), the approximate date of said purchase(s) or returns, and the place of the purchase(s) or returns, and (b) documentation supporting the objector’s allegation signature and the signature of damagethe objector’s duly authorized attorney or other duly authorized representative (along with documentation setting forth such representation); and (vii) a list, by case name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within the last three (3) years. To be timely, written notice of an objection in the appropriate form must be filed with the Clerk of the United States District Court for the District of MassachusettsCourt, Jxxx Xxxxxx Xxxxxxx U.S. Courthouse, 1 Xxxxxxxxxx Xxx, located at 00 Xxxxx Xxxxxx, XX 00000New York, 21 NY 10007, and contain the case name and docket number In re: GE/CBPS Data Breach Litigation, Case No. 1:20-cv-02903-KPF (the “Action”), no later than sixty (60) days prior to from the date set in the Notice for the Final Fairness Hearingon which notice commences pursuant to ¶ 3.3, and served concurrently therewith upon any one of the Settlement Class Co-Lead Counsel (Bxx XxxxxxCounsel, Bxxxxx Xxxxxxx Xxxxxxx Xxxxxx Xxxxxxxx Xxxxxxxx, PLLC, 000 X. Xxxxxx Street, Suite 2100, Chicago, Illinois 60606; and Associates, P.C., Oxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000; Sxxxxxx X. Xxxxxx, Bxxxxx & Mxxxxxxx, P.C. , 1000 Xxxxxx Xxxxxx, Xxxxxxxxxxxx, XX 00000; or Lxxxxx X. Xxxx, Wolf Popper LLP, 800 Xxxxx Xxxxxx, Xxx Xxxx, XX 10022), counsel for TJX (Hxxxxx the Defendants, Xxxxxxx X. Xxxxxxx, Ropes Xxxxxx & Gxxx Xxxxxx Xxxx Xxxxxxx LLP, Oxx 000 Xxxxxxxxxxxxx Xxxxx, Xxxxxx, XX, 00000)Xxxxxxxxxx, X.X., 0000-3743.
5.2 Any Settlement Class Member who fails to comply with the requirements for objecting in ¶ 5.1 shall waive and forfeit any and all rights he or she may have to appear separately and/or to object to the Settlement Agreement, and counsel shall be bound by all the terms of the Settlement Agreement and by all proceedings, orders, and judgments in the Litigation. The exclusive means for Fifth Third (W. Bxxxx Xxxxxxany challenge to the Settlement Agreement shall be through the provisions of ¶ 5.1. Without limiting the foregoing, Vorys Sxxxx Xxxxxxx any challenge to the Settlement Agreement, the final order approving this Settlement Agreement, or the Judgment to be entered upon final approval shall be pursuant to appeal under the Federal Rules of Appellate Procedure and Pxxxx LLP, Atrium Two, Suite 2000, 200 Xxxx Xxxxxx Xxxxxx, Xxxxxxxxxx, XX 00000)not through a collateral attack.
Appears in 1 contract
Samples: Settlement Agreement
Objection Procedures. 5.1 Each Settlement Class Member wishing to object to the settlement shall submit a timely written notice of his objection which shall set forth the reasons for the Settlement Class Member’s objection, and further state whether the objector intends to appear at the Final Fairness Hearing. The objection also must provide information identifying the objector as a Settlement Class Member, including (a) such as proof of purchase (e.g., a sales slip, credit or debit statement, or cancelled check) of having made a purchase or return at a TJX Storestore receipt), or an affidavit setting forth, in as much detail as the objector remembers, the fact of purchase(s) or return(s), the product(s) purchased or returnedpurchased, the price of paid for the product(s), the approximate date of said purchase(s) or returns), and the place of the purchase(s) or returns, and (b) documentation supporting the objector’s allegation of damage). To be timely, written notice of an objection in appropriate form must be filed with the Clerk of the United States District Court for the District of Massachusetts, Jxxx Xxxx Xxxxxx Xxxxxxx U.S. Courthouse, 1 0 Xxxxxxxxxx Xxx, Xxxxxx, XX 00000, 21 days prior to the date set in the Notice for the Final Fairness Hearing, and served concurrently therewith upon any one of the Settlement Class Co-Lead Counsel (Bxx Xxx Xxxxxx, Bxxxxx Xxxxxx and Associates, P.C., Oxx Xxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000; Sxxxxxx , or Xxxxxx X. XxxxxxXxxxxxx, Bxxxxx Xxxxxxx Xxxxxx Xxxxxx & MxxxxxxxXxxx LLP, P.C. 00 Xxxxx Xxxxxxx Xxxx, 1000 Xxxxxx XxxxxxXxxxx 000, XxxxxxxxxxxxXxxxxxxx, XX 00000; or Lxxxxx X. Xxxx, Wolf Popper LLP, 800 Xxxxx Xxxxxx, Xxx Xxxx, XX 10022), counsel ) and Counsel for TJX Xxxxxxxx (Hxxxxx Xxxxxx X. Xxxxxxx, Ropes & Gxxx Gray LLP, Oxx Xxx Xxxxxxxxxxxxx Xxxxx, Xxxxxx, XX, 00000), and counsel for Fifth Third (W. Bxxxx Xxxxxx, Vorys Sxxxx Xxxxxxx and Pxxxx LLP, Atrium Two, Suite 2000, 200 Xxxx Xxxxxx Xxxxxx, Xxxxxxxxxx, XX 00000).
Appears in 1 contract
Samples: Settlement Agreement