Objection Requirements Sample Clauses

Objection Requirements. To be heard at the Final Fairness Hearing, the Settlement Class Member must make any objection in writing and file it with the Court by the Opt-Out and Objection Deadline. The objection must also be mailed to each of the following, postmarked not later than the last day to file the objection: (i) Class Counsel— Xxxxxxx X. Xxxxxxxxx, Xxxxxxxxx Xxxxxxxx Radbil PLLC, 0000 X. Xxxxxxx Xxxxxxx, Xxxxx X-000, Xxxx Xxxxx, XX 00000; and (ii) Defendant’s Counsel—Xxxxxxx X. XxXxxxxx, Squire Xxxxxx Xxxxx (US) LLP, 0000 Xxxxxxxxx Xxxxxx XX, Xxxxxxx, XX 00000. An objection must:
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Objection Requirements. To be heard at the Final Approval Hearing, the Settlement Class Member must make any objection in writing and file it with the Court by the Opt-Out and Objection Deadline. Subject to Court approval, to be effective, a notice of intent to object to the proposed settlement must:
Objection Requirements. In order to object, a Settlement Class Member must file with the Court, and provide a copy to Class Counsel and the GEICO COMPANIES’ Counsel, a document that:
Objection Requirements. Subject to the Court’s approval, to be heard at the Final Approval Hearing, the Settlement Class Member must make any objection in writing and file it with the Court by the Opt-Out and Objection Deadline. The objection must also be mailed to each of the following, postmarked no later than the last day to file the objection: Class CounselXxxxx X. Xxxxxx, Xxxxxxxxx Xxxxxxxx Radbil PLLC, 0000 Xxxxxx Xxxx, Xxxxx 000, Xxxx Xxxxx, Xxxxxxx 00000; and to Synchrony’s Counsel – Xxxxx X. Xxxxxxxxxx, Stroock & Stroock & Xxxxx LLP, 0000 Xxxxxxx Xxxx Xxxx, 00xx Xxxxx, Xxx Xxxxxxx, Xxxxxxxxxx 00000. An objection must: (a) attach documents establishing, or provide information sufficient to allow the Parties to confirm, that the objector is a Settlement Class Member, including providing the cellular telephone number called; (b) include a statement of such Settlement Class Member’s specific objections; (c) state the grounds for objection, as well as identify any documents which such objector desires the Court to consider; and (d) if the Settlement Class Member is represented by an attorney, list all other cases in which the Settlement Class Member has filed an objection.
Objection Requirements. All written objections and supporting papers must clearly include: (i) the case name and number; (ii) the objector’s full name, address, telephone number, and any e-mail address; (iii) contain a signed statement by the objector that he or she believes they are a member of the Settlement Class and all information and proof that the objector is a Settlement Class Member (e.g., copy of Notice, copy of original notice of the Incident); (iv) a written statement identifying all grounds for the objection, accompanied by any legal support for the objection the objector believes applicable; (v) the identity of all counsel representing the objector; (vi) a statement whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (vii) specify whether the objection applies only to the objector, a subset of the Settlement Class, or the entire Settlement Class; (viii) include all documents or writings that the objector desires the Court to consider; (ix) list all persons who will be called to testify at the Final Approval Hearing in support of the objection; (x) the objector’s signature and the signature of the objector’s duly authorized attorney or other duly authorized representative (along with documentation setting forth such representation); and (xi) be filed or postmarked by on or before the Objection Deadline. In addition to the foregoing, objections should also provide the following information: (a) a list, by case name, court, and docket number, of all other cases in which the Doc ID: 426418 51678512de016546eadc8b255c6869b592167686833eb0827d0046b420f818109e85d6 objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within the last three (3) years; and (b) a list, by case number, court, and docket number, of all other cases in which the objector has been named a plaintiff in any class action or served as a lead plaintiff or class representative. The Notice will inform Settlement Class Members that to be considered timely and valid, all objections must be filed with the Hillsborough County Clerk of Courts no later than sixty (60) days following the Notice Date. The Notice will further inform Settlement Class Members that, to be considered timely and valid, they must mail a copy of their objection to the Claims Administrator and Suncoast’s Counsel as noted below, postmarked no later than sixty (60) days after the Notice Date, at: Court Claims Administrator Suncoast’s Counsel Attn: Hillsborou...
Objection Requirements. In the written objection, the 26 Settlement Class Member must state his or her full name, address, and telephone 27 number, the reasons for his or her objection, and whether he or she intends to Case 2:15-cv-03194-BRO-GJS Document 58-1 Filed 09/08/16 Page 50 of 59 Page ID #:529 1 appear at the fairness hearing on his or her own behalf or through counsel. Any 2 documents supporting the objection must also be attached to the Objection.
Objection Requirements. Any Class Member who has not submitted a timely request for exclusion and who wishes to object must do so in writing and any papers submitted in support of such objection shall be received by the Court at the Final Approval Hearing only if the Person making an objection shall, on or before the Response Deadline, file notice of his or her intention to do so and at the same time (a) file copies of such papers he or she proposes to submit at the Final Approval Hearing with the Clerk of the Court, (b) file copies of such papers through the Court’s CM/ECF system if the objection is from a Class Member represented by counsel, who must also file an appearance in the Action, and
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Objection Requirements. To be heard at the Final Approval Hearing, a Settlement Class Member must make any and all objections in writing and file the objections with the Court by the Opt-Out and Objection Deadline. The objection must also be mailed to each of the following, postmarked no later than the Opt-Out and Objection Deadline: (i) Class Counsel – Xxxx X. Xxxxxxx, Xxxxxxxx Xxxx, PLC, 0000 Xxxx Xxx. X., Xxxxxxxxxxx, XX 00000; (ii) Fifth Third Bank Counsel – Xxxxxxx X. Xxxxx, Xxxxx & Xxxxxxxxx LLP, 000 Xxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxx, Xxxx 00000-0000; and (iii) 11th Hour Counsel – Xxxxxxx X. Xxxxxxxx, Xxxxxxxx Law, PLLC, 000 Xxxxx Xxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxxxx, Xxxxxxxxx 00000. An objection must: (a) attach documents establishing or provide information sufficient to allow the Parties to confirm, that the objector is a Settlement Class Member; (b) include a statement of such Settlement Class Member’s specific objections; and (c) state the grounds for objection, as well as identify any documents such objector desires the Court to consider.
Objection Requirements. All written objections and supporting papers must clearly include: (i) the case name and number; (ii) the objector’s full name, current mailing address, and telephone number, and any email address; (iii) a signed statement by the objector that he or she believes they are a member of the Settlement Class and all information and proof that the objector is a Settlement Class Member (e.g., copy of Notice, copy of original notice of the Data Incident, etc.); (iv) a statement of the specific grounds for the objection, as well as any documents supporting the objection; (v) the identity of any attorneys representing the objector; (vi) a statement regarding whether the objector or his/her attorney intends to appear at the Final Approval Hearing;
Objection Requirements. To be heard at the hearing, the Settlement Class Member must make any objection in writing and file it with the Court by the Opt-Out and Objection Deadline. The objection must also be mailed to each of the following, postmarked not later than the last day to file the objection: (i) Class CounselXxxxxx Xxxxxxxxxx, Xxxxx Cabraser Xxxxxxx & Xxxxxxxxx, LLP, 000 Xxxxxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxxxxxxx, XX 00000-0000; and
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