Common use of Opting Out of the Settlement Clause in Contracts

Opting Out of the Settlement. Any Class Members who wish to exclude themselves from the Settlement Class ("opt out") must advise the Claims Administrator in writing of that intent by sending such writing to the Claims Administrator by first class mail, and their opt out request must be postmarked no later than the Opt-Out Deadline. The Claims Administrator shall provide the Parties with copies of all opt-out requests it receives, and shall provide a list of all Class Members who timely and validly opted out of the settlement in its declaration filed with the Court fourteen (14) days before the final approval hearing. 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 in this Settlement Agreement. A. In the written request for exclusion, the Class Member must state his or her full name, address, and telephone number. Further, the Class Member must include a statement in the written request for exclusion that he or she wishes to be excluded from the settlement. B. Any Class Member 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 Agreement.

Appears in 1 contract

Samples: Settlement Agreement

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Opting Out of the Settlement. Any Class Members who wish to exclude themselves from the Settlement Class ("opt out") must advise the Claims Administrator in writing of that intent by sending such writing to the Claims Administrator by first class mailintent, and their opt out request must be submitted online or postmarked no later than the Opt-Out Deadline. The Claims Administrator shall provide the Parties with copies of all opt-out requests it receives, and shall provide a list of all Class Members Member who timely and validly opted out of the settlement in its their declaration filed with the Court fourteen (14) days before the final approval hearingCourt, as required by Section 13. 01. 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 in Section 16 below. If more than 100 Class Members opt-out, I.C. System has the option of voiding this Settlement Agreementand proceeding with the litigation, as provided in Sections 17.02 and 17.03 below. A. In the written request for exclusion, the Class Member must state his or her full name, address, and telephone number. Further, the Class Member must include a statement in the written request for exclusion that he or she wishes to be excluded from the settlement. B. Any Class Member 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 Agreement.

Appears in 1 contract

Samples: Settlement Agreement

Opting Out of the Settlement. Any Class Members Member who wish wishes to exclude themselves himself or herself from the Settlement Class ("opt out") must advise the Claims Administrator in writing of that intent by sending such writing to (the Claims Administrator by first class mail“Opt-Out Request”), and their opt out request must be with the Opt-Out Request postmarked no later than the Opt-Out Deadline. The opt-out may be submitted by first-class U.S. Mail or submitted electronically. a. The Claims Administrator shall will provide the Parties with copies of all optOpt-out requests Out Requests it receivesreceives within ten (10) days of the Opt-Out Deadline, and shall will provide a list of all Class Members who timely and validly opted out of the settlement Settlement in its declaration filed with the Court fourteen (14) days before the final approval hearingCourt, as required by Section 12.01. Settlement Class Members who do not properly and timely submit an optOpt-out request Out Request will be bound by this Agreement and the judgment, including the releases in this Settlement AgreementSections 15.01 and 15.02 below. A. b. In the written request for exclusionOpt-Out Request, the Class Member must state his or her full name, address, and telephone number, and Account number if known. Further, the Class Member must include a statement in the written request for exclusion Opt-Out Request that he or she wishes to be excluded from the settlementSettlement. B. c. Any Class Member 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 Agreement.

Appears in 1 contract

Samples: Settlement Agreement

Opting Out of the Settlement. Any Class Members who wish to exclude themselves from the Settlement Class ("opt out") must advise the Claims Administrator in writing of that intent by sending such writing to the Claims Administrator by first class mailintent, and their opt out request must be postmarked no later than the Opt-Out Deadline. The Claims Administrator shall will provide the Parties with copies of all opt-out requests it receives, and shall will provide a list of all Class Members who timely and validly opted out of the settlement in its their declaration filed with the Court fourteen (14) days before the final approval hearingCourt, as required by Section 13.01. 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 in Section 16 below. If more than 1,000 Class Members opt out, Defendants have the option of voiding this Settlement Agreementand proceeding with the litigation, as provided in Sections 17.02 and 17.03 below. A. (a) In the written request for exclusion, the Class Member must state his or her full name, address, and telephone number. Further, the Class Member must include a statement in the written request for exclusion that he or she wishes to be excluded from the settlementSettlement. B. (b) Any Class Member who submits a valid and timely request for exclusion will not be a Settlement Class Member and shall will not be bound by the terms of this Agreement. (c) Class Members may opt out for themselves only. So-called “mass” or “class” opt-outs, whether filed by third parties on behalf of a “mass” or “class” of class members or multiple class members where no personal statement has been signed by each and every individual class members, will not be allowed.

Appears in 1 contract

Samples: Class Action Settlement Agreement

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Opting Out of the Settlement. Any Class Members who wish to exclude themselves from the Settlement Class ("opt out") must advise the Claims Administrator in writing of that intent by sending such writing to the Claims Administrator by first class mailintent, and their opt out request must be postmarked no later than the Opt-Out Deadline. The Claims Administrator shall provide the Parties with copies of all opt-out requests it receives, and shall provide a list of all Class Members Member who timely and validly opted out of the settlement in its their declaration filed with the Court fourteen (14) days before the final approval hearingCourt, as required by Section 13. 01. 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 in Section 16 below. If more than 2,000 Class Members opt-out, Defendant has the option of voiding this Settlement Agreementand proceeding with the litigation, as provided in Sections 17.02 and 17.03 below. A. In the written request for exclusion, the Class Member must state his or her full name, address, and telephone number. Further, the Class Member must include a statement in the written request for exclusion that he or she wishes to be excluded from the settlement. B. Any Class Member 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 Agreement.

Appears in 1 contract

Samples: Settlement Agreement

Opting Out of the Settlement. Any Class Members who wish wishes to exclude themselves from the Settlement Class ("opt “opt-out") must advise the Claims Administrator in writing of that intent by sending such writing to the Claims Administrator by first class mailintent, and their opt opt-out request must be postmarked no later than the Opt-Out Deadline. The Claims Administrator shall provide the Parties with copies of all opt-out requests it receives, and shall provide a list of all Class Members who timely and validly opted opted-out of the settlement Settlement in its their declaration filed with the Court fourteen (14) days before the final approval hearingCourt, as required by Section 13.01. 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 in Section 16 below. If more than one percent (1%) of the Class Members opt-out, Defendant has the option of voiding this Settlement Agreementand proceeding with the litigation, as provided in Sections 17.02 and 17.03 below. A. In the written request for exclusion, the Class Member must state his or her full name, address, and telephone number. Further, the Class Member must include a statement in the written request for exclusion that he or she wishes to be excluded from the settlementSettlement. B. Any Class Member 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 Agreement.

Appears in 1 contract

Samples: Settlement Agreement

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