Payment to Plaintiff. Separate and apart from the Settlement Fund, Defendant will pay $1,000 to Plaintiff (“Payment to Plaintiff”) within 7 days of the Final Order Day for his “additional” damages pursuant to 15 U.S.C. § 1692k(a)(2)(B)(i).
Payment to Plaintiff. Separate and apart from the Settlement Fund, Xxxxxx will pay $1,000.00 to Plaintiff pursuant to 15 U.S.C. § 1692k(a)(2)(B)(i). Xxxxxx also will pay an additional $500.00 to Plaintiff as an incentive award, subject to Court approval.
Payment to Plaintiff. In consideration of the promises, agreements and legal releases stated herein, the City agrees to pay the total sum of ONE HUNDRED TWENTY-FOUR THOUSAND DOLLARS AND 00/100 CENTS ($124,000.00) within fourteen (14) days after receipt by defense counsel of a fully executed Agreement and W-9 Form(s) as follows:
a. A check in the amount of EIGHTY-NINE THOUSAND ONE HUNDRED SIXTY-SIX DOLLARS AND 00/100 CENTS ($89,166.00) made payable to: "X. Xxxxxxxxx Xxxxx” and;
b. A check in the amount of THIRTY-FOUR THOUSAND EIGHT HUNDRED THIRTY-FOUR DOLLARS AND 00/100 CENTS ($34,834.00) made payable to: “Xxxxxxxxx Law Firm, LLC”.
Payment to Plaintiff. Subject to the fulfillment of the conditions in Paragraph 1 above and Paragraphs 2 through 8 below, AGCCA shall pay Plaintiff’s counsel the total sum of NINETY-NINE THOUSAND FIVE HUNDRED DOLLARS ($99,500.00) to be paid by check made payable to Xxxx Xxxx, Esq. (Tax Id. No. 000-00-0000), for which an IRS Form 1099 will be issued. The Settlement Sum represents full compensation for and final settlement of all claims by Plaintiff including the sum of $35,000 to be allocated to the payment of attorney fees and costs. Plaintiff’s counsel shall be responsible for reporting and withholding from any amounts distributed to Plaintiff in accordance with federal and state law. Plaintiff and Plaintiff’s counsel expressly acknowledge that no sums are being deducted or withheld from the Settlement Sum by AGCCA for payment of any state or federal tax liabilities that may be due and owing. Plaintiff and Plaintiff’s counsel agree that they shall be fully responsible for the payment of any and all state and/or federal taxes, if any, due on this amount. In the event the state and/or federal government determines that deductions or withholdings should have been made from this payment, the full amount of which have not been withheld, Plaintiff and Plaintiff’s counsel shall have full and complete responsibility for the payment of such taxes, interest penalties and assessments of any kind. Plaintiff and Plaintiff’s counsel hereby covenant and agree to defend, hold harmless and indemnify AGCCA for any and all of the following liabilities which might result from the distribution of any or all of the Settlement Sum, or the parties’ treatment of any portion of the Settlement Sum paid in accordance with this Agreement as excludable from any payroll withholdings, FICA, occupational, or other taxes:
Payment to Plaintiff. Within fourteen (14) days after execution of this Settlement Agreement, Defendants shall pay Plaintiff the sum of Twenty-Five Thousand Dollars ($25,000.00) as reimbursement for attorney’s fees. Release by Plaintiff. Plaintiff hereby releases and forever discharges Defendants, their heirs, executors, administrators, representatives, successors, assignees or beneficiaries, and any and all persons, firms, associations, officers, subsidiaries, agents, employees, successors and assigns, including, but not limited to, insurers who are or may ever become liable to Plaintiff, for any and all liability, negligence, claims, demands, damages, actions, liens, promises, trespasses, judgments, executions, debts, accounting, and causes of action of every kind, including any claim for interest on this settlement or any claim for attorney fees, known or unknown, relating to the Xxxxx and Xxxxxx Parcels, which were, or could have been, raised in the Litigation.
Payment to Plaintiff. Within twenty (20) business days after the Agreement Date, Xxxxx shall request the County of Sacramento to pay to each of Plaintiff Xxxxx Xxxxxx and Plaintiff Xxxxx Xxxxx through Plaintiffs’ counsel Xxxxxx Xxxxxx X’Xxxxxxx the sum of Sixteen Thousand Dollars ($16,000 USD). Such sum shall be delivered through a check made payable to each Plaintiff and delivered to S. Xxxxx Xxx, Xxxxxx Xxxxxx X’Xxxxxxx, 000 Xxxxxxxxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxxxxxxx, XX 00000-0000. Payment of such sums to Plaintiffs by the County of Sacramento shall be a condition precedent to the effectiveness of this Agreement.
Payment to Plaintiff. The University agrees to pay Plaintiff a total of $250,000 (TWO HUNDRED FIFTY THOUSAND Dollars and Zero Cents) by two checks: (1) payable to Xxxxxxxx Xxxx for $180,000, and (2) payable to the Foundation for Individual Rights and Expression for $70,000. The University agrees to send the checks within fifteen (15) days of the Effective Date of this Agreement. In making such payment, the University makes no representations regarding the tax consequences or liability arising from any such payment. Plaintiff acknowledges that she remains solely responsible for the final tax liability related to payment under this Agreement. Plaintiff agrees to hold the University harmless from and against any tax or tax withholding claims, amounts, interest, penalties, fines, or assessments brought or sought by any taxing authority with respect to the payment under this Agreement.
Payment to Plaintiff. Plaintiff shall be entitled to a Class Representative Service Award payment equal to the amount ordered by the Court.
Payment to Plaintiff. In addition to her pro-rata share of the Minnesota Settlement Fund, and in recognition of her service to the Class Members, Plaintiff will seek a total of $3,000, which, upon Court approval, will be paid from the proceeds described above in ¶ 10(A) separate and apart from the Nationwide Settlement Fund and Minnesota Settlement Fund, and within seven days of the Final Order Day. Plaintiff’s pro-rata share of the Minnesota Settlement Fund will be distributed as explained above in ¶ 10(C). Additionally, Defendant confirms that Plaintiff is the sole owner of the pet subject to the Consumer Pet Lease Agreement that she signed with Defendant.
Payment to Plaintiff. URETEK, by and through its liability insurance carrier, shall pay to PLAINTIFF FIFTEEN THOUSAND DOLLARS and NO CENTS ($15,000.00). Said Settlement is expressly conditioned on the prior execution of a written agreement by the COUNTY OF SANTA XXXXX whereby the County on behalf of itself and its respective successors, assigns, insurers, agents, and all others who may claim through them or take any interest in the matters released herein (hereinafter “Related Persons and Entities”), fully and forever release, discharge, acquit and covenant not to sue URETEK, and each of its current, former or future officers, directors, managers, members, receivers, insurance carriers, reinsurers, joint venturers, sole proprietors, partners, stockholders, sureties, consultants, employees, agents, subcontractors, attorneys, experts, trusts, subsidiaries, parent corporations, affiliated entities and their heirs, spouses, successors and assigns of any such person or entity, from any and all known or unknown claims, obligations, liabilities, representations, warranties, costs, expenses, damages, attorneys’ fees under statute or contract, damages, expert expenses, demands, rights, defense and indemnity claims (whether express, implied, or equitable), and causes of action, whether known or unknown, that arise from or are related in or in any manner connected with the Xxxxxxx Road No. 27, any contract, work, or action, which were claimed, stated, or which could have been claimed or stated in the SUBJECT ACTION. The Settlement Payment shall be tendered by check to PLAINTIFF’s counsel within 30 calendar days after full execution of this Agreement and full execution of the written agreement by the County of Santa Xxxxx, whichever is later. Payment shall be made by check payable to “Town of Los Gatos” and delivered to Xxxxxxxxx Xxxxxx, Town Attorney, at 000 Xxxx Xxxx Xxxxxx, Xxx Xxxxx, XX 00000.