Common use of Right to Object or Comment Clause in Contracts

Right to Object or Comment. Any Illinois Settlement Class Member or Ohio Settlement Class Member who intends to object to this Settlement Agreement must present the objection in writing, which must be personally signed by the objector, and must include: (a) the person’s full name and current address, (b) a statement that he or she believes himself or herself to be a member of the Illinois Settlement Class or the Ohio Settlement Class, (c) whether the objection applies only to the objector, to a specific subset of the Illinois Settlement Class or the Ohio Settlement Class, or to the entire Illinois Settlement Class or the Ohio Settlement Class, (d) the specific grounds for the objection, (e) all documents or writings that the person desires the Court to consider, (f) the name and contact information of any and all attorneys representing, advising, or in any way assisting the objector in connection with the preparation or submission of the objection or who may profit from the pursuit of the objection, and (g) a statement indicating whether the objector intends to appear at the Final Approval Hearing (either personally or through counsel, who must file an appearance or seek pro hac vice admission). All written objections must be filed with the Court and postmarked, e-mailed, or delivered to Class Counsel and Defendant’s Counsel no later than the Objection/Exclusion Deadline. Any Illinois Settlement Class Member or Ohio Settlement Class Member who fails to timely file a written objection with the Court and notice of his or her intent to appear at the Final Approval Hearing in accordance with the terms of this Section as detailed in the Notice, and at the same time provide copies to designated counsel for the Parties, shall not be permitted to object to this Settlement Agreement at the Final Approval Hearing, shall be foreclosed from seeking any review of this Settlement Agreement or the Final Approval Order by appeal or other means, and shall be deemed to have waived his or her objections and be forever barred from making any such objections in the Actions or in any other action or proceeding.

Appears in 3 contracts

Samples: Class Action Settlement Agreement, Class Action Settlement Agreement, Class Action Settlement Agreement

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Right to Object or Comment. Any Illinois Settlement Class Member or Ohio Settlement Class Member who intends to object to this Settlement Agreement must present the objection in writing, which must be personally signed by the objector, objector and must include: (a) the personSettlement Class Member’s full name and current address, ; (b) a statement that he or she believes himself or herself to be a member of the Illinois Settlement Class or the Ohio Settlement Class, ; (c) whether the objection applies only to the objector, to a specific subset of the Illinois Settlement Class or the Ohio Settlement Class, or to the entire Illinois Settlement Class or the Ohio Settlement Class, (d) the specific grounds for the objection, ; (ed) all documents or writings that the person Settlement Class Member desires the District Court to consider, ; (fe) the name and contact information of any and all attorneys representing, advising, or in any way assisting the objector in connection with the preparation or submission of the objection or who may profit from the pursuit of the objection, ; and (gf) a statement indicating whether the objector intends to appear at the Final Approval Hearing (either personally or through counsel, who must file an appearance or seek pro hac vice admission). All written objections must be filed with the District Court and postmarked, e-mailed, mailed or delivered to Class Counsel and Defendant’s Counsel no later than the Objection/Exclusion Deadline. Any Illinois Settlement Class Member or Ohio Settlement Class Member who fails to timely file a written objection with the District Court and notice of his or her intent to appear at the Final Approval Hearing in accordance with the terms of this Section and as detailed in the Notice, and at the same time provide copies to designated counsel for the Parties, shall not be permitted to object to this Settlement Agreement at the Final Approval Hearing, and shall be foreclosed from seeking any review of this Settlement Agreement or the Final Approval Order Judgment by appeal or other means, means and shall be deemed to have waived his or her objections and be forever barred from making any such objections in the Actions Action or in any other action or proceeding.

Appears in 2 contracts

Samples: Class Action Settlement Agreement, Class Action Settlement Agreement

Right to Object or Comment. Any Illinois Settlement Class Member or Ohio Settlement Class Member who intends to object to this Settlement Agreement must present the objection in writing, which must be personally signed by the objector, objector and must include: (a) the personSettlement Class Member’s full name and current address, ; (b) a statement that he or she believes himself or herself to be a member of the Illinois Settlement Class or the Ohio Settlement Class, ; (c) whether the objection applies only to the objector, to a specific subset of the Illinois Settlement Class or the Ohio Settlement Class, or to the entire Illinois Settlement Class or the Ohio Settlement Class, (d) the specific grounds for the objection, ; (ed) all documents or writings that the person Settlement Class Member desires the Court to consider, ; (fe) the name and contact information of any and all attorneys representing, advising, or in any way assisting the objector in connection with the preparation or submission of the objection or who may profit from the pursuit of the objection, ; and (gf) a statement indicating whether the objector intends to appear at the Final Approval Hearing (either personally or through counsel, who must file an appearance or seek pro hac vice admission). All written objections must be filed with the Court and postmarked, e-mailed, e- mailed or delivered to Class Counsel and Defendant’s Counsel no later than the Objection/Exclusion Deadline. Any Illinois Settlement Class Member or Ohio Settlement Class Member who fails to timely file a written objection with the Court and notice of his or her intent to appear at the Final Approval Hearing in accordance with the terms of this Section and as detailed in the Notice, and at the same time provide copies to designated counsel for the Parties, shall not be permitted to object to this Settlement Agreement at the Final Approval Hearing, and shall be foreclosed from seeking any review of this Settlement Agreement or Agreement, the Final Approval Order Order, or Alternative Approval Order, by appeal or other means, and shall be deemed to have waived his or her objections and be forever barred from making any such objections in the Actions Action or in any other action or proceeding.

Appears in 2 contracts

Samples: Class Action Settlement Agreement, Class Action Settlement Agreement

Right to Object or Comment. Any Illinois member of the Settlement Class Member or Ohio Damages Settlement Class Member Subclass who intends to intervene and object to this Settlement Agreement must present the objection in writing, which must be personally signed by the objector, objector and must include: (ai) the personSettlement Class Member’s or Damages Settlement Subclass Member’s full name and current address, (bii) the cellular telephone number the Settlement Class Member or Damages Settlement Subclass Member believes received the telephone call at issue, (iii) a statement that he or she believes himself or herself to be a member of either the Illinois Settlement Class or the Ohio and/or Damages Settlement ClassSubclass, (c) whether the objection applies only to the objector, to a specific subset of the Illinois Settlement Class or the Ohio Settlement Class, or to the entire Illinois Settlement Class or the Ohio Settlement Class, (div) the specific grounds for the objection, (ev) all documents or writings that the person Settlement Class Member and/or Damages Settlement Subclass Member desires the Court to consider, (fvi) the name and contact information of any and all attorneys representing, advising, or in any way assisting the objector in connection with the preparation or submission of the objection or who may profit from the pursuit of the objection, and (gvii) a statement indicating whether the objector intends to appear at the Final Approval Hearing (either personally or through counsel, who must file an appearance or seek pro hac vice admission). All written objections must be filed with the Court and postmarked, e-mailed, or delivered to Class Counsel and Defendant’s Counsel postmarked no later than the Objection/Exclusion Deadline. Any Illinois Settlement Class Member or Ohio Damages Settlement Class Subclass Member who fails to timely file a written objection with the Court and notice of his or her intent to appear at the Final Approval Hearing in accordance with the terms of this Section and as detailed in the Notice, and at the same time provide copies to designated counsel for the Parties, shall will not be permitted to object to this Settlement Agreement at the Final Approval Hearing, shall and will be foreclosed from seeking any review of this Settlement Agreement or the Final Approval Order by appeal or other means, means and shall will be deemed to have waived his or her objections and be forever barred from making any such objections in the Actions Action or in any other action or proceeding.

Appears in 1 contract

Samples: Class Action Settlement Agreement

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Right to Object or Comment. Any Illinois The Notice shall advise the Settlement Class Member of their rights under the Settlement, including the right to be excluded from or Ohio object to the Settlement Agreement or its terms. Any Settlement Class Member who intends to object to this Settlement Agreement must present the objection in writing, which must be personally signed by the objector, objector and must include: (a) the personSettlement Class Member’s full name and current address, (b) a statement that he or she believes himself or herself to be a member of the Illinois Settlement Class or the Ohio Settlement Class, (c) whether the objection applies only to the objector, to a specific subset of the Illinois Settlement Class or the Ohio Settlement Class, or to the entire Illinois Settlement Class or the Ohio Settlement Class, (d) the specific grounds for the objection, (e) all documents or writings that the person Settlement Class Member desires the Court to consider, (f) the name and contact information of any and all attorneys representing, advising, or in any way assisting the objector in connection with the preparation or submission of the objection or who may profit from the pursuit of the objection, and (g) a statement indicating whether the objector intends to appear at the Final Approval Hearing (either personally or through counsel, who must file an appearance or seek pro hac vice admission). All written objections must be filed with the Court and postmarked, e-mailed, or delivered mailed to Class Counsel and Defendant’s Counsel no later than the Objection/Exclusion Deadline. Any Illinois Settlement Class Member or Ohio Settlement Class Member who fails to timely file a written objection with the Court and notice of his or her intent to appear at the Final Approval Hearing in accordance with the terms of this Section and as detailed in the Notice, and at the same time provide copies to designated counsel for the Parties, shall not be permitted to object to this Settlement Agreement at the Final Approval Hearing, shall be foreclosed from seeking any review of this Settlement Agreement or the Final Approval Order by appeal or other means, and shall be deemed to have waived his or her objections and be forever barred from making any such objections in the Actions or Action in any other action or proceeding.

Appears in 1 contract

Samples: Class Action Settlement Agreement

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