Common use of Public Benefit Clause in Contracts

Public Benefit. The Parties acknowledge and agree that the commitments Clean Simple Eats has agreed to herein, and actions to be taken by Clean Simple Eats under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple Eats's alleged failure to provide a warning concerning actual or alleged exposure to lead prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is Verb's understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats Verb under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats Verb that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple EatsVerb's or Releasee’s alleged failure to provide a warning concerning actual or alleged exposure to lead DEA prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats Verb is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is Ancient Provisions' understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats Ancient Provisions under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats Ancient Provisions that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple Eats's Ancient Provisions' alleged failure to provide a warning concerning actual or alleged exposure to lead prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats Ancient Provisions is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is eSupplements' understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats eSupplements under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats eSupplements that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple Eats's eSupplements' alleged failure to provide a warning concerning actual or alleged exposure to lead prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats eSupplements is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is NutraChamps' understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats NutraChamps under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats NutraChamps that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple Eats's NutraChamps' alleged failure to provide a warning concerning actual or alleged exposure to lead prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats NutraChamps is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is ▇▇▇▇▇▇'s understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats Allure under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats Allure that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple EatsAllure's or Releasees’ alleged failure to provide a warning concerning actual or alleged exposure to lead DEA prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats Allure is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is Custom Fabricating 's understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats Custom Fabricating under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats Custom Fabricating that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple EatsCustom Fabricating 's alleged failure to provide a warning concerning actual or alleged exposure to lead DEHP prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats Custom Fabricating is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement

Public Benefit. The Parties acknowledge and agree It is Allseason's understanding that the commitments Clean Simple Eats it has agreed to herein, and actions to be taken by Clean Simple Eats Allseason under this Settlement Agreement confer a significant benefit to the general public, as set forth in Code of Civil Procedure § 1021.5 and Cal. Admin. Code tit. 11, § 3201. As such, it is the intent of Clean Simple Eats Allseason that to the extent any other private party serves a notice and/or initiates an action alleging a violation of Proposition 65 with respect to Clean Simple EatsAllseason's alleged failure to provide a warning concerning actual or alleged exposure to lead prior to use of the Covered Products it has manufactured, distributed, sold, or offered for sale in California, or will manufacture, distribute, sell, or offer for sale in California, such private party action would not confer a significant benefit on the general public as to those Covered Products addressed in this Settlement Agreement, provided that Clean Simple Eats Allseason is in material compliance with this Settlement Agreement.

Appears in 1 contract

Sources: Settlement Agreement