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Opt Outs and Objections Sample Clauses

Opt Outs and Objections. (a) Any member of the Settlement Class who wishes to exclude herself or himself from the Settlement Class must advise the Settlement Class Administrator in writing of that intent, and the opt-out request must be postmarked no later than the Opt-Out Deadline. The Settlement Class Administrator shall provide counsel to the Parties with copies of all opt-out requests it receives in weekly status reports to the Parties and shall provide a list of all Settlement Class Members who timely and validly opted out of the Settlement in its declaration filed with the Court concurrent with Settlement Class Counsel’s motion for final approval of the Settlement Agreement. The Settlement Class Administrator’s declaration shall include the names of persons who have excluded themselves from the Settlement, but it shall not include their addresses or any other personal identifying information. Settlement Class Members who do not properly and timely submit an opt-out request will be bound by this Agreement and the judgment, including the releases. i. In a written request for exclusion, the Settlement Class Member must state: (a) the Settlement Class Member’s full name; (b) the Settlement Class Member’s address, telephone number, and email address; (c) the unique identification number for the Settlement Class Member assigned by the Settlement Administrator; (d) a statement indicating that they are a member of the Settlement Class and wish to be excluded from the Settlement; and (e) if the Settlement Class Member has filed a lawsuit or arbitration against Intuit, the case name and case number relating to the Settlement Class Member. Opt-outs must bear original or PDF copy of class member’s hand-written signature. An opt-out may not be signed by a lawyer or anyone acting on a Settlement Class Member’s behalf. ii. Any member of the Settlement Class who submits a valid and timely request for exclusion will not be a Settlement Class Member and shall not be bound by the terms of this Settlement Agreement.
Opt Outs and Objections. (a) Putative Settlement Class Members have the right to exclude themselves or “Opt Out” from this Settlement and from the Settlement Class by timely submitting a request to Opt Out in accordance with the Opt Out procedure approved by the Court and outlined in the Settlement Notice, substantially in the form of Exhibit B hereto. Persons who properly request to Opt Out shall be excluded from this Settlement and from the Settlement Class. The Parties will request that the Court determine that the Opt Out Deadline for Settlement Class Members be thirty (30) calendar days prior to the Fairness Hearing. (b) Within ten (10) days after receiving an Opt Out request, the Settlement Administrator shall apprise the other Parties of such request and shall furnish the Parties with a complete and updated list of all proper Opt Out requests to date. Any Person who does not properly request to Opt Out who would otherwise be considered a Settlement Class Member shall be deemed a Settlement Class Member and shall be bound by the Settlement, the terms of this Agreement, and the Order and Final Judgment. Any such Person who timely submits a request to Opt Out shall have until two (2) business days before the Fairness Hearing to deliver to Settlement Administrator a written revocation of such request to Opt Out. Plaintiffs’ Counsel shall timely apprise the other Parties and the Court of such revocations. (c) Settlement Class Members shall have until thirty (30) calendar days prior to the date of the Fairness Hearing to file, in the manner specified in the Settlement Notice, any written objection or other response to this Agreement.
Opt Outs and ObjectionsThe Long Form Notice shall advise prospective Settlement Class Members of their rights to forego the benefits of this settlement and pursue an individual claim; to object to this settlement individually or through counsel; and, if they object, to appear at the Final Approval hearing.
Opt Outs and Objections. (a) Any member of the Settlement Class who wishes to be excluded from the Settlement Class must advise the Parties in writing of that intent and the opt-out request must be postmarked no later than the Opt-Out Deadline. Any member of the Settlement Class who does not properly and timely submit an opt-out request will be bound by this Settlement Agreement and the Final Approval Order and Judgment of Dismissal, including the releases contained in this Settlement Agreement. (b) Any member of the Settlement Class who submits a valid and timely request for exclusion/opt-out will not be bound by the terms of this Settlement Agreement. In a written request for exclusion/opt-out, the member must include: (1) the member’s full name; (2) the member’s address, telephone number, and email address; (3) a statement indicating that they are a member of the Settlement Class and wish to be excluded/opt-out from the Class Action Settlement; and (4) the member’s signature. (c) In no event will the Trustee opt out from the Settlement Class, in any capacity or on behalf of any Contributing Claimant(s). (d) Any member of the Settlement Class who intends to object to this Settlement Agreement or to Settlement Class Counsel’s application for attorneys’ fees, reimbursement of costs, or Service Awards to Settlement Class Representatives must file with the Court a written objection signed by the member of the Settlement Class by the Objection Deadline. (e) For an objection to be considered by the Court, the objection must be filed with the Court and must include the following: (1) the Settlement Class Member’s full name, address, email address, and telephone number; (2) an explanation of the basis upon which the objector claims to be a Settlement Class Member; (3) whether the objection applies only to the objector, to a specific subset of the class, or to the entire class, and the reasons for his/her/its objection, accompanied by any legal or factual support for the objection; (4) the name of counsel for the objector (if any), including any former or current counsel who may seek or receive compensation for any reason related to the objection; (5) the case name and civil action number of any other objections the objector or his/her/its counsel have made in any other class action cases in the last 4 years; and (6) whether the objector intends to appear at the Final Approval Hearing on his/her/its own behalf or through counsel. Counsel for any objector must enter a Notice of Appearance...
Opt Outs and Objections. Subject to the Court’s approval, the Parties agree that: 7.1 Opt-Out
Opt Outs and Objections. As set forth below, Settlement Class members shall have the right to opt-out of the Settlement Class and the Settlement and Settlement Class Members shall have the right to object to the Settlement.
Opt Outs and ObjectionsA Settlement Class Member may opt out of the Settlement Class. To exercise this opt out right, the Settlement Class Member must send written notification of the decision to request exclusion by completing an Opt Out Form, which may simply be in the form of a letter so long as it provides the information required in paragraph 82 of this Agreement. The Opt Out Form shall be sent via first class mail to the Claims Administrator. Opt Out Forms must be submitted by individual Settlement Class Members and will not be valid if submitted in the aggregate or on behalf of a purported class, except that joint owners of the same structure may opt out on the same form. To be valid, Opt Out Forms must be received by the Claims Administrator and/or postmarked on or before the Opt Out Deadline.
Opt Outs and Objections. 13.1 Opt-Out Requirements. Persons in the Settlement Class may request exclusion from the Settlement by sending a written request to the Claims Administrator at the address designated in the Class Notice no later than the Opt-Out and Objection Deadline. Exclusion requests must: (i) be signed by the person in the Settlement Class who is requesting exclusion;
Opt Outs and Objections. The Summary Email Notice, Summary Published Notice, and Long Form Notice shall advise prospective Class Members of their rights: (a) to forego the benefits of this settlement and pursue an individual claim; and/or (b) to object to this settlement individually or through counsel.