Common use of Right to Request Exclusion Clause in Contracts

Right to Request Exclusion. Any Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name Xxxxx, et al. v. ZoomInfo Technologies LLC, No. 21-cv-02032 (N.D. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person seeking exclusion; (e) be signed by the person(s) seeking exclusion; and (f) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement in Xxxxx, et al. v. ZoomInfo Technologies LLC, No. 21-cv-02032 (N.D. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member and shall be bound by this Settlement Agreement, if approved. Any person who elects to request exclusion from a Settlement Class shall not (a) be bound by any orders or the Final Approval Order, (b) receive a settlement payment under this Agreement, (c) gain any rights by virtue of this Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 2 contracts

Samples: Class Action Settlement Agreement, Class Action Settlement Agreement

AutoNDA by SimpleDocs

Right to Request Exclusion. Any Person in the Settlement Class Member or Damages Settlement Subclass may submit a request for exclusion from the Settlement or from either the class or subclass on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (ai) be in writing; (bii) identify the case name XxxxxXxxxxx Xxxxxxxxx v. AmSher Collection Services, et al. v. ZoomInfo Technologies LLCInc., United States District Court for the Northern District of Alabama, Case No. 212:15-cv-02032 (N.D. Ill.)cv-01175-JEO; (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (diii) state the full name name, address and current address telephone of the person Person in the Settlement Class or Damages Settlement Subclass seeking exclusion; (eiv) be physically signed by the person(sPerson(s) seeking exclusion; and (fv) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I I/We hereby request to be excluded from the settlement Settlement Class, the Damages Settlement Subclass, or both, in XxxxxXxxxxx Xxxxxxxxx x. XxXxxx Collection Services, et al. v. ZoomInfo Technologies LLCInc., United States District Court for the Northern District of Alabama, Case No. 212:15-cv-02032 (N.D. Ill.)cv-01175-JEO.” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall will be invalid and the persons Persons serving such a request shall will be deemed to remain a Settlement Class Member Members and/or Damages Settlement Subclass Members and shall will be bound by this Settlement Agreement, if approved. Any person Person who elects to request exclusion from a Settlement Class shall will not (ai) be bound by any orders or Final Judgment entered in the Final Approval OrderAction, (bii) receive a settlement payment be entitled to relief under this Agreement, (ciii) gain any rights by virtue of this Agreement, or (div) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval OrderAgreement. No person Person may request to be excluded from a either the Settlement Class Class, the Damages Settlement Subclass or both through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxxxxxxxxx x. iSolved HCM, et al. v. ZoomInfo Technologies LLC, No. 212019-cv-02032 CH-12932 (N.D. Cir. Ct. Cook Cty. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) person seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxVillagomez v. iSolved HCM, et al. v. ZoomInfo Technologies LLC, No2019-CH-12932 (Cir. 21-cv-02032 (N.D. Ct. Cook Cty. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class in compliance with this provision shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any Damages Settlement Class Subclass Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxxx, et al. v. ZoomInfo Technologies CheckPeople, LLC, No. 21-cv-02032 cv-1313 (N.D. C.D. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person seeking exclusion; (ed) be signed by the person(s) seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email address to receive exclusion requests electronically. Each request for exclusion must also contain a the statement to the effect that “I hereby request to be excluded from the settlement in XxxxxXxxx, et al. v. ZoomInfo Technologies CheckPeople, LLC, No. 21-cv-02032 21- cv-1313 (N.D. C.D. Ill.).,or words to that effect. A request for exclusion that does not include all of the foregoing information, that is sent to an address or email address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, specified shall be invalid invalid, and the persons serving such a request shall be deemed to remain a be Damages Settlement Class Member Subclass Members and shall be bound by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Damages Settlement Class Subclass shall not (a) be bound by any orders or the Final Approval Order, (b) receive a settlement payment under this Agreement, (c) gain any rights by virtue of this Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from the Damages Settlement Subclass through a Settlement Class through “mass” or “class” opt-outsout, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxNeals v. ParTech, et al. v. ZoomInfo Technologies LLCInc., No. 212019-cv-02032 cv-05660 (N.D. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The In light of the COVID-19 pandemic, the Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxNeals v. ParTech, et al. v. ZoomInfo Technologies LLCInc., No. 212019-cv-02032 cv-05660 (N.D. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class in compliance with this provision shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxxxxxxx v. Octapharma Plasma, et al. v. ZoomInfo Technologies LLCInc., No. 212019-cv-02032 cv-08402 (N.D. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The In light of the COVID-19 pandemic, the Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxXxxxxxxx v. Octapharma Plasma, et al. v. ZoomInfo Technologies LLCInc., No. 212019-cv-02032 cv-08402 (N.D. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxxxxx v. Xxxxxxx Xxxxxxxxxx Tan, et al. v. ZoomInfo Technologies LLCInc., Case No. 2116-cv-02032 CH-04945 (N.D. Cir. Ct. Cook Cty. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) person seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The In light of the COVID-19 pandemic, the Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxSekura v. Xxxxxxx Xxxxxxxxxx Tan, et al. v. ZoomInfo Technologies LLCInc., Case No. 2116-cv-02032 CH-04945 (N.D. Cir. Ct. Cook Cty. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class shall not (a) be bound by any orders or Final Judgment entered in the Final Approval OrderAction, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval OrderJudgment. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxxxxx x. BWAY Corporation, et al. v. ZoomInfo Technologies LLC, Case No. 2118-cv-02032 CH-09797 (N.D. Cir. Ct. Cook Cty. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) person seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxXxxxxx x. BWAY Corporation, et al. v. ZoomInfo Technologies LLC, Case No. 2118-cv-02032 CH-09797 (N.D. Cir. Ct. Cook Cty. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class in compliance with this provision shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.. If one

Appears in 1 contract

Samples: Class Action Settlement Agreement

AutoNDA by SimpleDocs

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxXxXxxxx v. Ceridian HCM, et al. v. ZoomInfo Technologies LLCInc., No. 212019-cv-02032 CH-06489 (N.D. Ill.Cir. Ct. Xxxx Cty.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) person seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxXxXxxxx v. Ceridian HCM, et alInc., 2019-CH-06489 (Cir. v. ZoomInfo Technologies LLC, NoCt. 21-cv-02032 (N.D. Ill.Xxxx Cty.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class in compliance with this provision shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxIn re UKG Inc. Cybersecurity Litigation, et al. v. ZoomInfo Technologies LLC, Master Docket No. 213:22-cv-02032 cv-00346 (N.D. Ill.Cal.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The In light of the COVID-19 pandemic, the Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxIn re UKG Inc. Cybersecurity Litigation, et al. v. ZoomInfo Technologies LLC, Master Docket No. 213:22-cv-02032 cv-00346 (N.D. Ill.Cal.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. However, where a request for exclusion is missing information, the Settlement Administrator shall contact the person seeking exclusion and give them an opportunity to provide the missing information, which must be provided within twenty-eight (28) days of the Claims Deadline. Any person who elects to request exclusion from a the Settlement Class shall not (a) be bound by any orders or the Final Approval Order, (b) receive a settlement payment under this Agreement, (c) gain any rights by virtue of this Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.not

Appears in 1 contract

Samples: Settlement Agreement and Release

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name XxxxxSekura v. Krishna Schaumburg Tan, et al. v. ZoomInfo Technologies LLCInc., Case No. 2116-cv-02032 CH-04945 (N.D. Cir. Ct. Xxxx Cty. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ed) be signed by the person(s) person seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The In light of the COVID-19 pandemic, the Settlement Administrator shall create a dedicated email e-mail address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement proposed Settlement Class in XxxxxSekura v. Krishna Schaumburg Tan, et al. v. ZoomInfo Technologies LLCInc., Case No. 2116-cv-02032 CH-04945 (N.D. Cir. Ct. Xxxx Cty. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class shall not (a) be bound by any orders or Final Judgment entered in the Final Approval OrderAction, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval OrderJudgment. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Right to Request Exclusion. Any person in the Settlement Class Member may submit a request for exclusion from the Settlement on or before the Objection/Exclusion Deadline. To be valid, any request for exclusion must (a) be in writing; (b) identify the case name Xxxxx, et al. v. ZoomInfo Technologies LLC, No. 21-cv-02032 (N.D. Ill.); (c) identify if the person seeking exclusion is a member of the California Settlement Class, the Illinois Settlement Class, the Indiana Settlement Class, or the Nevada Settlement Class; (d) state the full name and current address of the person in the Settlement Class seeking exclusion; (ec) contain a statement to the effect that “I hereby request to be excluded from the proposed Settlement Class in Xxxxxx v. HP Property Management, LLC and Marcon International, Inc. d/b/a KEYper Systems, No. 2019 CH 14082 (Cir. Ct. Cook Cty.)”; (d) be signed by the person(s) seeking exclusion; and (fe) be postmarked or received by the Settlement Administrator on or before the Objection/Exclusion Deadline. The Settlement Administrator shall create a dedicated email address to receive exclusion requests electronically. Each request for exclusion must also contain a statement to the effect that “I hereby request to be excluded from the settlement in Xxxxx, et al. v. ZoomInfo Technologies LLC, No. 21-cv-02032 (N.D. Ill.).” A request for exclusion that does not include all of the foregoing information, that is sent to an address or email e-mail address other than that designated in the Notice, or that is not postmarked or electronically delivered to the Settlement Administrator within the time specified, shall be invalid and the persons serving such a request shall be deemed to remain a Settlement Class Member Members and shall be bound as Settlement Class Members by this Settlement Agreement, if approved. Any person who elects to request exclusion from a the Settlement Class shall not (a) be bound by any orders or the Final Approval OrderOrder entered in the Action, (b) receive a settlement payment Settlement Payment under this Settlement Agreement, (c) gain any rights by virtue of this Settlement Agreement, or (d) be entitled to object to any aspect of this Settlement Agreement or the Final Approval Order or Alternative Approval Order. No person may request to be excluded from a the Settlement Class through “mass” or “class” opt-outs, meaning that each individual who seeks to opt out must send an individual, separate request to the Settlement Administrator that complies with all requirements of this paragraph.

Appears in 1 contract

Samples: Class Action Settlement Agreement

Time is Money Join Law Insider Premium to draft better contracts faster.