Receipt of Advice of Counsel Sample Clauses

Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she, or it has fully read this Agreement and the Release, received independent legal advice with respect to the advisability of entering into this Agreement and the Release and the legal effects of this Agreement and the Release, and fully understands the effect of this Agreement and the Release.
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Receipt of Advice of Counsel. Each Party acknowledges, agrees and specifically warrants that he, she or it has fully read this Agreement and the Releases contained herein, received independent legal advice with respect to the advisability of entering this Agreement and the Releases, and the legal effects of this Agreement and the Releases, and fully understands the effect of this Agreement and the Releases. Each Party to this Agreement warrants that he, she, or it is acting upon his, her or its independent judgment and upon the advice of his, her, or its own counsel and not in reliance upon any warranty or representation, express or implied, of any nature or kind by any other party, other than the warranties and representations expressly made in this Agreement.
Receipt of Advice of Counsel. The Parties acknowledge, agree, and specifically warrant to each other that they have read this Settlement Agreement, have received legal advice with respect to the advisability of entering into this Settlement, and fully understand its legal effect.
Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she, or it has fully read this Agreement and the Releases contained herein, received independent legal advice with respect to the advisability of entering into this Agreement and the Releases, and the legal effects of this Agreement and the Releases, and fully understands the effect of this Agreement and the Releases. 12/16/2019 Dated: XXXXXXX XXXXXXX Plaintiff Dated: Xxxx Xxxxxx, Esq. XXXXXXXXXX XXXXXX XXXXXXXX XXXXXXXXXX XXXXXXX Class Counsel Dated: Xxxxxx Xxxxxxxx, Esq. XXXXX & ZAVAREEI LLP Class Counsel Dated: Xxxxxxx Xxxxxx, Esq. KALIEL PLLC Class Counsel Dated: CAPITAL ONE, N.A. By: ITS Dated: Xxxxx XxXxxxx, Esq. XXXXXXXX & XXXXXXXX LLP Counsel for Capital One, N.A. Case 1:16-cv-04841-LGS Document 157-1 Filed 12/16/19 Page 38 of 39
Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she or it has fully read this Agreement and the Release contained herein, received independent legal advice with respect to the advisability of entering into this Agreement and the Release and the legal effects of this Agreement and the Release, and fully understands the effect of this Agreement and the Release. Dated: XXXX X’XXXX Plaintiff Dated: SOPHIA GOLD KALIELGOLD PLLC Class Counsel Dated: XXXXX XXXXX XXXXX LAW GROUP LLP Class Counsel
Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she or it has fully read this Agreement and the Release contained herein, received independent legal advice with respect to the advisability of entering into this Agreement and the Releases, and the legal effects of this Agreement and the Releases, and fully understands the effect of this Agreement and the Release. Signature Page to Follow Dated: Xxxxxxx Xxxxx Plaintiff Dated: Lenox Xxxxx Plaintiff Dated: Xxxx Xxxxxx, Esq. XXXXXXXXXX XXXXXX P.A. Class Counsel Dated: Xxxxxx Xxxx, Esq. XXXXX & ZAVAREEI LLP Class Counsel Dated: Xxxxxxx Xxxxxx, Esq. KALIEL PLLC Class Counsel Dated: _ Xxxxxx Xxxxx, Esq. XXXXXXXXXXX SHIBEY & LIBER LLP Class Counsel Dated: Xxxx X. Xxxxxx, Esq. MINNILLO LAW GROUP CO., LPA Class Counsel Dated: FIFTH THIRD BANK Dated: Xxxxxxx Xxxxx f Plaintif _____________________ Dated: agee Lenox Xxxxx Plaintiff Dated: Xxxx Xxxxxx, Esq. XXXXXXXXXX XXXXXX P.A. Class Counsel Dated: Xxxxxx Xxxx, Esq. XXXXX & ZAVAREEI LLP Class Counsel Dated: Xxxxxxx Xxxxxx, Esq. KALIEL PLLC Class Counsel Dated: _ Xxxxxx Xxxxx, Esq. XXXXXXXXXXX SHIBEY & LIBER LLP Class Counsel Dated: Xxxx X. Xxxxxx, Esq. MINNILLO LAW GROUP CO., LPA Class Counsel Dated: FIFTH THIRD BANK Digitally signed by Xxxxx Xxxxx Xxxxxx Xxxxxx Date: 2021.02.01 11:53:55 -05'00'
Receipt of Advice of Counsel. 25 The Parties acknowledge, agree, and specifically warrant to each other that they 26 have read this Agreement, have received legal advice with respect to the advisability of 27 entering into this settlement, and fully understand its legal effect.
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Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she, or it has fully read this Agreement and the Releases contained herein, received independent legal advice with respect to the advisability of entering into this Agreement and the Releases, and the legal effects of this Agreement and the Releases, and fully understands the effect of this Agreement and the Releases. Xxxxxx Xxxxxxx Xxxxxx Xxxxxxx (Dec 7, 2023 16:31 MST) XXXXXX XXXXXXX Plaintiff Xxxxx Xxxxx Xxxxx Xxxxx (Dec 7, 2023 20:58 EST) XXXXXXXX XXXXX Plaintiff xxx x xxxxxx xxx x xxxxxx (Dec 7, 2023 13:23 PST) XXXXX XXXXXX Plaintiff Xxxx Xxxxxxxx (Dec 7, 2023 15:21 EST) XXXX XXXXXXXX Plaintiff XXXXX X. XXXXXX, ESQ. SIRI & GLIMSTAD LLP Attorneys for Plaintiffs Xxxxxxx Xxxxxx Xxxxxxx Xxxxxx (Dec 7, 2023 15:08 EST) XXXX XXXXXX, ESQ. XXXXXXXXXX XXXXXX P.A. Attorneys for Plaintiffs SOVOS COMPLIANCE, LLC Xxxxxx Xxxxx Xxxxxx Xxxxx (Dec 8, 2023 07:12 EST) By: Xxxxxx Xxxxx Its General Counsel Xxxxxxxx Xxxxxx Xxxxxxxx Xxxxxx (Dec 7, 2023 20:18 PST) XXXXXXXX X. XXXXXX XXXXXX, XXXXXXXXXX & XXXXXXXXX LLP
Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she or it has fully read this Agreement and the Release, received independent legal advice with respect to the advisability of entering into this Agreement and the Release and the legal effects of this Agreement and the Release, and fully understands the effect of this Agreement and the Release. 2:19-cv-02993-XXX Date Filed 09/04/20 Entry Number 29-1 Page 30 of 60 09 / 03 / 2020 Yale lipschik Member 09 / 03 / 2020 Doc ID: 0f881187249c28bb14763b20762e75c80e7e00e8 EXHIBIT 1 XXXXXX XXXXXX XXXXXXXX XXXXX FOR THE DISTRICT OF SOUTH CAROLINA CHARLESTON DIVISION XXXX XXXXXXXXX, individually and on behalf of all others similarly situated, Plaintiff, Vs. INDEPENDENT HOME PRODUCTS, LLC, Defendant. Case No. 2:19-cv-02993-XXX NOTICE OF CLASS ACTION AND PROPOSED SETTLEMENT TO: All users and subscribers of the cellular telephone numbers and South Carolina area code telephone numbers identified that received a call from Independent Home Products’ dialing system from October 22, 2015 through August 14, 2020. IF YOU ARE A MEMBER OF THIS CLASS OF PERSONS, YOU SHOULD READ THIS NOTICE CAREFULLY BECAUSE IT MAY AFFECT YOUR LEGAL RIGHTS AND OBLIGATIONS. A FEDERAL COURT AUTHORIZED THIS NOTICE. THIS IS NOT A SOLICITATION FROM A LAWYER. • A settlement (“Settlement”) has been proposed in the class action lawsuit referenced above pending in the United States District Court for the District of South Carolina (“Action”). You may be a class member in the proposed Settlement and may be entitled to participate in the proposed Settlement. • The United States District Court for the District of South Carolina has ordered the issuance of this notice in this Action. Independent Home Products, LLC (“IHP”) denies it did anything wrong and has defended itself throughout the lawsuit. The Court has not decided who is right. Both sides have agreed to settle the dispute to avoid burdensome and costly litigation. • If the Court gives final approval to the Settlement, IHP and will create a settlement fund for class members to submit a claim form. If you received a call on your cellular telephone number, you will be eligible for a $41 payment. If you received a call on a number that has a South Carolina area code, including if it was a cellular telephone, you will be eligible for an $81 payment. YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT SUBMIT A CLAIM FORM This is the only way to get an award under the Settlement. Visit the Settle...
Receipt of Advice of Counsel. Each Party acknowledges, agrees, and specifically warrants that he, she, or it has fully read this Agreement and the Releases contained herein, received independent legal advice with respect to the advisability of entering into this Agreement and the Releases, and the legal effects of this Agreement and the Releases, and fully understands the effect of this Agreement and the Releases. Signatures to Follow on Next Page Case 3:19-cv-01400-MAD-ML Document 96-2 Filed 11/30/21 Page 33 of 48 Case 3:19-cv-01400-MAD-ML Document 96-2 Filed 11/30/21 Page 34 of 48 Case 3:19-cv-01400-MAD-ML Document 96-2 Filed 11/30/21 Page 35 of 48 Case 3:19-cv-01400-MAD-ML Document 96-2 Filed 11/30/21 Page 36 of 48 Case 3:19-cv-01400-MAD-ML Document 96-2 Filed 11/30/21 Page 37 of 48 Dated: NBT BANK, N.A. By: Xxx Xxxxx Its: Chief Credit and Risk Officer Dated: November 30, 2021 Xxxxx Xxxxxxxx, Esq. Counsel for NBT Bank, N.A. Exhibit 1 – Email and Postcard Notice Xxxx, et al., v. NBT Bank, N.A. NOTICE OF PENDING CLASS ACTION AND PROPOSED SETTLEMENT READ THIS NOTICE FULLY AND CAREFULLY; THE PROPOSED SETTLEMENT MAY AFFECT YOUR RIGHTS! IF YOU HAVE OR HAD A CHECKING ACCOUNT WITH NBT BANK, N.A. AND YOU WERE CHARGED CERTAIN OVERDRAFT OR NSF FEES BETWEEN DECEMBER 4, 2013 AND NOVEMBER 30, 2021, THEN YOU MAY BE ENTITLED TO A PAYMENT FROM A CLASS ACTION SETTLEMENT AND/OR FORGIVENESS OF CERTAIN UNCOLLECTED FEES The United States District Court for the Northern District of New York has authorized this Notice; it is not a solicitation from a lawyer.
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