Opt-Out Period Sample Clauses

Opt-Out Period. Subject to Court approval, Settlement Class members shall have 45 days from the commencement of the Notice Program to opt out of the Settlement Class and this Agreement.
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Opt-Out Period. Class Members will have up to and including approximately forty-five (45) days following the Notice Deadline to opt out of the settlement in accordance with this Section (the “Opt-Out Deadline”). If the settlement is finally approved by the Court, all Settlement Class Members who have not opted out by the Opt-Out Deadline will be bound by the Settlement Agreement and the Class Release, and the relief provided by the settlement will be their sole and exclusive remedy for the claims alleged by the Settlement Class.
Opt-Out Period. 5.01 Opt Out Period
Opt-Out Period. P&G shall have [*] after receipt of all patent filing and prosecution information for the Corium Patents listed in attached Exhibit A to review and determine whether P&G has an interest in opting out of cost sharing for one or more Corium Patents listed in Exhibit A. P&G may provide written notice, within said [*] period, to Corium identifying those Corium Patents listed in Exhibit A that P&G does not intend to share in the prosecution and maintenance costs under Paragraph 6.
Opt-Out Period. The Phase II Notice shall explain the procedure for Settlement Class Members to exclude themselves or “Opt-Out” of the Settlement by submitting an Opt-Out Form to the Settlement Administrator prior to the Opt-Out Deadline). Settlement Class Members who wish to Opt-Out of the proceeding must do so by submitting an Opt-Out Request to the Settlement Administrator before the Opt-Out Deadline. An Opt-Out Request shall be in the form attached as Schedule “E”, or if in another form, shall clearly identify: the Settlement Class Member’s intention to opt-out, the Settlement Class Member’s type of claim (i.e. whether it is a Dog Injury Claim or Consumer Food Purchase Claim) and, the name of the Settlement Class Member’s lawyer (if applicable). If a Settlement Class Member submits both a Claim and an Opt-Out Request, the Settlement Administrator will disregard the Opt-Out Request. Any Settlement Class Member who does not submit a properly completed Opt-Out Request before the Opt-Out Deadline shall be deemed to be a member of the Settlement Class upon the expiry of the Opt-Out Deadline.
Opt-Out Period. 8.1.1 Upon close of the L&W Class Notice Period, L&W Class Members will have forty-five (45) days (or such different period as the Court may direct) to opt out of the Settlement in accordance with Section 8.2. If the Settlement is finally approved by the Court, all L&W Class Members who have not opted out by the end of the forty-five (45) day period will be bound by the Settlement, and the relief provided by the Settlement will be their sole and exclusive remedy for the claims alleged by the L&W Class.
Opt-Out Period. 8.1.1. Class Members will have sixty (60) days from the Notice Date (or such different period as the Court may direct) to exclude themselves or opt out of the Settlement in accordance with Section 8.2. If the Settlement is finally approved by the Court, all Class Members who have not opted out, pursuant to the terms set forth in Section 8.2, by the end of the 60-day period will be bound by the Settlement, and the relief provided by the Settlement will be their sole and exclusive remedy for the claims alleged against RCR by the Class.
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Opt-Out Period. “Opt-out Period” means the date that is sixty (60) days from the mailing of the Notice to the Settlement Class Member.
Opt-Out Period. 1. Class Members who are entitled, and wish, to opt out of the Class must complete and timely submit to the Notice Administrator a request for exclusion. To be effective, such requests for exclusion must state the Class Member’s full legal name and address, the approximate dates of his or her employment with any of Live Oak, Apiture or nCino, and include a statement that the Class Member wants to be excluded from the Settlement. 2. All requests for exclusion must be signed and dated by the Class Member or his or her legal representative, and must be: (1) mailed to the Notice Administrator via First Class United States Mail and postmarked by a date certain to be specified on the Notice, which shall be thirty (30) calendar days after the Notice Administrator makes the initial mailing of the Notice; or (2) received by the Notice Administrator by that date, provided, however, that if the Class Member mails the request for exclusion pursuant to option (1), it shall be effective only if received by the Notice Administrator on or before ten (10) calendar days after the end of the Opt-Out Period. The end of the “Opt-Out Period” shall be thirty (30) calendar days after the Notice Administrator makes the initial mailing. 3. A request for exclusion that does not comply with all of the provisions set forth in the applicable Notice will be invalid, and the person(s) serving such an invalid request shall be deemed Settlement Class Member(s) and shall be bound by the Settlement Agreement upon final approval. 4. Within seven (7) calendar days after the end of the Opt-Out Period, the Notice Administrator shall provide to all counsel for the Settling Parties all requests for exclusion that are timely received and shall prepare a summary of the opt outs to be filed with the Court, which shall include the total number of individuals who have opted out. 5. Individuals who opt out are not entitled to any monetary award under the Settlement and cannot object to the Settlement. With respect to any member of the Settlement Class who requests exclusion, nCino reserves all legal rights and defenses. 6. Settling Parties, Class Counsel, and nCino’s Counsel shall not solicit or encourage any individual to opt out of the Class.
Opt-Out Period. 7.1.1. Class Members will have seventy (70) days following the entry of the Preliminary Approval Order by the Court (or such different period as the Court may direct) to opt out of the Settlement in accordance with Section
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