Plaintiffs. Dated: Xxxxx Xxxxxxx by and through her Successor in Interest Xxxxx Xxxxxxx Dated: Xxxxxx Xxxxx by and through his Successor in Interest Xxxxxx Xxxxx Dated: Xxxxxx Xxxxxxx by and through his Successor in Interest Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxxx Xxxxxxxx by and through his Successor in Interest Xxxxxx Xxxxxxxx Dated: 5/13/2023 Xxxxxxx Xxxxxxxx by and through her Guardian ad Litem Xxxxxx Xxxxxx DocuSign Envelope ID: 0BDC678A-7C18-401C-98B5-2DEDA25AAD05
Plaintiffs. Counsel may seek intervention from the Court only after all efforts for resolving the dispute with the assistance of the Settlement Judge have been unsuccessful. They may do so by filing a motion for specific performance of the material provision identified. The Court may, after appropriate notice, filing of moving and opposing papers, submission of evidence and an evidentiary hearing, order specific performance of the material provision specified in the notice upon a showing that the DOC is in substantial and systemic non-compliance with that material provision.
Plaintiffs agree they shall not file a motion for contempt. The Court may not entertain a motion for contempt and the Court may not grant any remedial relief in the nature of a contempt of court finding against Defendants. If Plaintiffs prevail on their claim of non-compliance, the sole remedy shall be specific performance of this Agreement.
Plaintiffs. “Plaintiffs” shall mean Xxxxx Xxxx and Xxxxx Xxxxxx.
Plaintiffs. “Plaintiffs” shall mean the Named Plaintiff and Settlement Class Members.
Plaintiffs. 6 7 Plaintiff Xxxxxx Xxxxxxxx Plaintiff Xxxxx Xxxxxx 8 9 Plaintiff Xxxx XxXxxx Plaintiff Xxxxxxx Xxxx 10 11 Plaintiff Xxxxx Xxxx Plaintiff Xxxxxx Xxxxx Electronically Signed 2022-11-17 22:06:08 UTC - 69.75.7.254 12 Shartisca Xxxxxx Nintex AssureSign® d9b4f7cc-b7ba-474f-97af-af4f0017067d 13 Plaintiff Shartisca Xxxxxx 14 15 Plaintiff Xxxx X. Xxxxx 16 17 Plaintiff Aston Xxxxxxxxx 18 11/17/2022 Plaintiff Xxxxx Xxxxxxxx Plaintiff Xxxxx Xxxxxxx Xxxxxxx Plaintiff Xxxx Xxx Xxx 19 Plaintiff Xxxxxxxx X. Xxxxxxxxxx Plaintiff Xxxxxxx Xxxxx 20 Plaintiff Xxxxxxxx Xxxxxx-Xxxxxx
Plaintiffs expressly waive any and all rights under Section 1542 of the Civil Code of the State of California, and any like or comparable provision or principle of common law in any other jurisdiction. Section 1542 provides as follows: “A general release does not extend to claims which the creditor does not know or suspect to exist in his or her favor at the time of executing the release, which if known by him or her must have materially affected his or her settlement with the debtor.” Thus, notwithstanding the provisions of Section 1542 or any other provision of law with a comparable effect, and for the purpose of implementing a full and complete release and discharges, Plaintiffs expressly acknowledge that this Agreement is intended to include in its effect, without limitation, claims and causes of action which they do not know of or suspect to exist in their favor at the time of execution hereof and that this Agreement contemplates extinguishment of all such claims and causes of action.
Plaintiffs. “Plaintiffs” means the Settlement Class Representatives, Xxxxx X. Xxxxx, Xxxxxx Xxxxx, Xxxxxx XxXxxxxx, Xxxxx X. Xxxxx, Xxxxxxx Xxxxxx, Xxxxx Xxxxxx, Xxxxx