Requirements for Opting-Out Sample Clauses

Requirements for Opting-Out. If a Settlement Class member wishes to be excluded from the Settlement Class and the Settlement, that Settlement Class member is required to submit to the Settlement Administrator at the address listed in the Settlement Class Notices, a written, signed, and dated statement that he or she is opting-out of the Settlement Class and understands that he or she will not receive a Settlement Class Member Cash Payment or a Debt Reduction Payment from the Settlement of the Action. To be effective, this opt-out statement (i) must be postmarked by the Opt-Out Deadline; (ii) include the Settlement Class member’s name and TDC account number(s); and (iii) must be personally signed and dated by the Settlement Class member(s). The Settlement Administrator will, within 7 days of receiving any opt-out statement, provide counsel for the Parties with a copy of the opt-out statement. Any Settlement Class member who does not timely and validly request exclusion shall be a Settlement Class Member and shall be bound by the terms of this Agreement. The Settlement Class will not include any individuals who send timely and valid opt-out statements, and individuals who opt-out are not entitled to receive a Settlement Class Member Cash Payment or Debt Reduction Payment under the Settlement.
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Requirements for Opting-Out. Any Class Member who wishes to opt out of this Settlement Agreement must mail to the Claims Administrator a written, signed, and dated statement that he or she is opting out of Settlement Class A or Settlement Class C and understands that he or she will receive no payments from the settlement of this Action. An opt- out notice must contain the following identifying information: “Halley v. Honeywell International Inc., Case No. 10-cv-3345.” To be effective, this opt-out statement must be postmarked no later than sixty (60) days after the Notice Date. The Settlement Classes will not include any individuals who send timely and valid opt-out statements, and individuals who opt out are not entitled to any monetary award under this Settlement Agreement.
Requirements for Opting-Out. Any Settlement Class Member who wishes to opt out of this Settlement Agreement must mail to the Claims Administrator a written, signed, and dated statement that the Settlement Class Member is opting out of Settlement Class A or Settlement Class B and understands that the Settlement Class Member will receive no payments from the settlement of this Action. An opt-out notice must contain the following identifying information: “In re Xxxx Xxxxxx Thermal Products, Case No. 08-cv-00326.” To be effective, this opt- out statement must be postmarked by the Opt-Out and Objection Deadline. The Settlement Classes will not include any individuals who send timely and valid opt-out statements. Individuals who opt out are not entitled to any monetary award under this Settlement Agreement.
Requirements for Opting-Out. If a Settlement Class Member wishes to be excluded from the Settlement Class and the Settlement, that Settlement Class Member is required to submit to the Settlement Administrator at the address listed in the Settlement Class Notices, a written, signed, and dated statement that he or she is opting-out of the Settlement Class and understands that he or she will not receive a Settlement Class Member Payment from the Settlement of the Action. To be effective, this opt-out statement (i) must be postmarked by the Opt-Out Deadline; (ii) include the Settlement Class Member’s name and Capital One account number(s); and (iii) must be personally signed and dated by the Settlement Class Member(s). If an Account has more than one accountholder, then all accountholders on that account shall be deemed to have opted-out of the Settlement with respect to that Account, and no accountholder shall be entitled to a Settlement Class Member Payment. The Settlement Administrator will, within seven (7) days of receiving any opt-out statement, provide counsel for the Parties with a copy of the opt-out statement. Any Settlement Class Member who does not timely and validly request exclusion shall be a Settlement Class Member and shall be bound by the terms of this Agreement. The Settlement Class will not include any individuals who send timely and valid opt-out statements, and individuals who opt-out are not entitled to receive a Settlement Class Member Payment under the Settlement.

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