Common use of Schedule of Future Events Clause in Contracts

Schedule of Future Events. The following are the deadlines by which 7 certain events must occur: [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 days after filing the Settlement Agreement with the Court] Deadline to serve Class Action Fairness Act notice required by 28 U.S.C. § 1715 [DATE] [120 days from the date of the Order granting preliminary approval] Date for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness Hearing] Deadline for Settlement Administrator to provide a declaration to the Court attesting to the measures undertaken to provide notice as directed by CAFA [DATE] [30 days after Notice Date] Deadline for Plaintiffs’ Motion and Memorandum in Support of Final Approval, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED this day of , 2022. Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List of Related Actions HYUNDAI AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONS

Appears in 2 contracts

Samples: Settlement Agreement, Settlement Agreement

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Schedule of Future Events. The following are the deadlines by which 7 certain events must occur: 2019 [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 30 days after filing the Settlement Agreement with the CourtPreliminary Approval Date] Deadline to serve for Class Action Fairness Act notice required by 28 U.S.C. § 1715 Notice Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Incentive Payment , 2020 [DATE] [120 91 days from the date of the Order granting preliminary approval] Date for Commencement of Notice (“Notice after Preliminary Approval Date”) [DATE] [14 days before Fairness Hearing] Deadline for Settlement Administrator Class Members to provide a declaration file: a. any objection and basis therefor; b. notice of intent to appear at the Court attesting to the measures undertaken to provide notice as directed by CAFA fairness hearing, indicating with or without counsel; or c. request exclusion , 2020 [DATE] [30 91 days after Notice Preliminary Approval Date] Claim Period – Deadline for Settlement Class Members to Submit a Settlement Claim Form , 2020 [121 days after Preliminary Approval Date] Deadline for Plaintiffs’ Parties to file: a. List of persons who made timely and proper requests for exclusion; b. Proof of Class Notice; and c. Motion and Memorandum in Support of Final ApprovalApproval and related matter, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed objection. , 2020 [135] days after Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 IT IS SO ORDERED this day of , 2022ORDERED. Dated: Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 X. Marra United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List EXHIBIT 2 NOTICE OF CLASS ACTION LAWSUIT AND PROPOSED SETTLEMENT THE COURT AUTHORIZED THIS NOTICE. THIS IS NOT A SOLICITATION FROM A LAWYER. Xxxx v. ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC and Pizza Hut, Inc., Case 9:12-cv-80577-KAM USDC, Southern District of Related Actions HYUNDAI Florida, West Palm Beach Division YOU MAY BE ENTITLED TO RECEIVE MONETARY COMPENSATION. What is this? This is notice of a proposed settlement in a class action lawsuit. What is this lawsuit about? The settlement would resolve a lawsuit brought on behalf of a class alleging ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC and Pizza Hut, LLC (collectively “Defendants”) violated the Telephone Consumer Protection Act, 47 U.S.C. § 227 (“TCPA”) by sending automated text messages to cell phones without the prior express consent of the Settlement Class Members. Defendants deny these allegations. Why am I getting this notice? You were identified as someone who may have received one or more of these text messages based on Defendants’ records. What does the settlement provide? Defendants, through the franchise defendants, have agreed to pay up to a total of $6,000,000 (“Settlement Amount), which will pay for the cost of notice and administration of the settlement, Settlement Class members’ claims, attorneys’ fees incurred by counsel for Plaintiff and the Settlement Class (“Class Counsel”), and an Incentive Payment for the Named Plaintiff. A Settlement Class member who submits a valid and timely claim form (“Settlement Claim Form”) may receive a cash award of up to $400.00; the amount will depend on the number of valid claims received. Plaintiff will petition for an Incentive Payment not to exceed $10,000 for the Named Plaintiff’s work in representing the Class, and Class Counsel’s fees of up to one third of the Settlement Amount, not to exceed $2,000,000 (which is inclusive of all costs and expenses). How can I receive a payment from the settlement? To receive payment, you must complete and submit a valid Settlement Claim Form by << 60 days after Class Notice>>, 2020. A Settlement Claim Form is contained in this Postcard Notice. You can also obtain and submit a Settlement Claim Form online at xxx.XxxxxXXXXxxxxxxxxxx.xxx. You can also obtain a mail-in Settlement Claim Form, or make a claim, by calling <<Claims Admin IVR toll free #>>. Mail-in Settlement Claim Forms must be sent to the Settlement Administrator at the address below. Do I have to be included in the settlement? If you do not want monetary compensation from this settlement and you want to keep the right to sue, or continue to sue, any of the Defendants on your own, then you must exclude yourself from the settlement by sending a letter to the Claims Administrator at the address below, requesting exclusion by << 60 days after Class Notice>>. The letter must contain the specific information set forth on the Settlement Website (xxx.XxxxxXXXXxxxxxxxxxx.xxx) in the “Opt-Out Process” section. If I don’t like something about the settlement, how do I tell the Court? If you do not exclude yourself from the settlement, you can object to any part of the settlement. You must file your written objection with the Court by << 60 days after Class Notice>>. You must also mail a copy to both Class Counsel and Counsel for Defendants. Your written objection must contain the specific information set forth on the Settlement Website under the “Objecting to the Settlement” section. What if I do nothing? If you do nothing, you will not be eligible for a payment. But, you will still be a Settlement Class Member and bound by the Settlement, and you will release Defendants from liability. How do I get more information about the settlement? This notice contains limited information about the settlement. For more information, to view settlement documents, and to review information regarding your opt-out and objection rights and the final approval hearing, visit the Settlement Website at xxx.XxxxxXXXXxxxxxxxxxx.xxx. You can also obtain additional information, including a Settlement Claim Form by calling <<Claims Admin IVR toll free #>>. PIZZA TCPA SETTLEMENT <<INSERT CLAIMS ADMIN CONTACT INFO/ ADDRESS>> <<CLAIM ID IN DIGITS>> <<CLAIM ID IN 2D BARCODE>> Postal Service: Please Do Not Mark or Cover Barcode <<Class Member Name/Address>> POSTCARD WILL HAVE SETTLEMENT CLAIM FORM ATTACHED. EXHIBIT 3 Legal Notice of Class Action Lawsuit against ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC, and Pizza Hut, LLC If you received text messages on your cell phone beteween November 2010 and January 2013 promoting Pizza Hut products, and without your consent, you may be entitled to benefits under a class action settlement. A federal court authorized this Notice. This is not a solicitation from a lawyer. • A proposed settlement will provide a total of $6,000,000 (the “Settlement Amount”) to fully settle and release claims of Settlement Class Members who do not opt out: All persons in the United States who received a text message from Defendants wherein their cellular telephone number was provided by a third party and said text messages were sent using hardware and software owned or licensed to Songwhale or Cellit between November 2010 and January 2013. Excluded from the class are all persons who received a text message from Defendants wherein their cellular telephone number was provided by a subscriber of the calling plan. • The “Defendants,” ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC, and Pizza Hut, LLC, deny Plaintiff’s allegations and deny any wrongdoing. The Court has not ruled on the merits of Plaintiff’s claims or Defendants’ defenses. By entering into the settlement, Defendants have not conceded the truth or validity of any of the claims against them. • The Settlement Amount shall be used to pay all amounts related to the settlement, including awards to Settlement Class Members who submit a valid and timely claim form to receive payment (“Settlement Claim Payments”), attorneys’ fees (inclusive of expenses and costs) to attorneys representing Plaintiff and the Settlement Class (“Class Counsel”), any Incentive Payment for Plaintiff, and the costs of notice and administration of the settlement. Settlement Class Members who timely submit a valid Settlement Claim Form may receive up to $400.00, depending on the number of valid claims received. Should the Settlement Claim Payments, when combined with the remainder of the Settlement Payments, exceed the Settlement Amount, the Settlement Claim Payments will be reduced on a pro rata basis such that the Settlement Amount is not exceeded. • Your rights and options, and the deadlines to exercise them, are explained in this Notice. Your legal rights are affected whether you act or do not act. Read this Notice carefully. YOUR LEGAL RIGHTS AND KIA ABS MODULE LITIGATION OPTIONS IN THIS SETTLEMENT: SUBMIT A SETTLEMENT AGREEMENT LIST CLAIM FORM If you submit a valid Settlement Claim Form postmarked by << 60 days after Class Notice>>, 2020, you will receive a payment and will give up your rights to sue Defendants and any other released parties related to a released claim. Settlement Claim Forms may be submitted by mail to << >> or through the settlement website by clicking <<here>> or by calling <<Claims Admin IVR toll free #>>. EXCLUDE YOURSELF OR “OPT-OUT” OF RELATED ACTIONSTHE SETTLEMENT If you ask to be excluded, you will not receive a payment. This is the only option that allows you to pursue your own claims against Defendants or other released parties related to a released claim. The deadline for excluding yourself is << 60 days after Class Notice>>, 2020. Go to the “Opt-Out Process” section of this website by clicking <<here>> for specific information about what an opt-out letter must contain. OBJECT TO THE SETTLEMENT If you wish to object to the settlement, you must write to the Court about why you believe the settlement is unfair. The deadline for objecting is << 60 days after Class Notice>>, 2020. To obtain a benefit from this settlement, you must still submit a Settlement Claim Form. If you submit only an objection without a Settlement Claim Form, you will not receive any benefit from the settlement and you will give up your rights to sue Defendants or any other released parties related to a released claim. Go to the “Objecting to the Settlement” section of this website by clicking <<here>> for specific information about what an objection letter must contain. DO NOTHING If you do nothing, you will not receive any monetary award and you will give up your rights to sue Defendants or any other released parties related to a released claim. GO TO THE FINAL APPROVAL HEARING You may attend the Final Approval Hearing. At the Final Approval Hearing if you plan to raise an objection you must file a written objection no later than << 60 days after Class Notice>>, 2020. The objection must state whether you plan to appear at the Final Approval Hearing, either with or without counsel. Go to the “Objecting to the Settlement” section of this website by clicking <<here>> for specific information an objection letter must contain. • These rights and options—and the deadlines to exercise them—are explained in this Notice. • The Court in charge of this case still has to decide whether to approve the settlement. Payments (i.e., Settlement Claim Payments) will be disbursed if the Court approves the settlement and after any appeals are resolved. Please be patient. BASIC INFORMATION

Appears in 1 contract

Samples: Settlement Agreement and Release

Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: , 201 [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 45 days after filing the Settlement Agreement date of this Order] Deadline for notice to be provided in accordance with the CourtAgreement and this Order (Notice Deadline) , 201 [30 days after the Notice Deadline] Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Costs and Service Award , 201 [90 days after the Notice Deadline] Deadline to serve file objections or submit requests for exclusion (Opt-Out and Objection Deadline) , 201 [90 days after the Notice Deadline] Deadline for Settlement Class Action Fairness Act notice required by 28 U.S.C. § 1715 Members to Submit a Claim Form (Claim Period) , 201 [DATE100 days after the Notice deadline] Deadline to File Motion for Final Approval , 201 [120 days from the date of the Order granting preliminary approval] Date 7 Days Prior to Filing Motion for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness HearingFinal Approval] Deadline for Settlement Administrator to provide a declaration Provide Class Counsel with Proof of Class Notice, Identifying the Number of Requests for Exclusion, and Number of Claims Received , 201 [10 Days Prior to Final Approval Hearing] Ocwen Shall File with the Court attesting to the measures undertaken to provide notice as directed by CAFA One or More Declarations Stating that Ocwen has Complied with its Notice Obligations , 2018 at _.m. [DATE] [30 No earlier than 120 days after Notice DateDeadline] Deadline for Plaintiffs’ Motion Final Approval Hearing DONE and Memorandum ORDERED in Support of Final ApprovalXxxxxxxx in Chicago, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED Illinois, this day of , 2022. Xxx2017. Xxxxxxx X. Xxxxxxxx UNITED STATES DISTRICT JUDGE cc: All Counsel of Record EXHIBIT F & F-1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION Xxxxx Xxxxxx and Xxxxx Xxxxxxxxxx, Jr. 10 United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List individually and on behalf of Related Actions HYUNDAI AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSall others similarly situated, Plaintiffs, v. Ocwen Loan Servicing, LLC, Defendant. ))))))))))))) Case No. 1:14-cv-08461 Xxxxxxxxx Xxxxxxx X. Kennelly Consolidated Xxxxxx X. Xxxxxxxx, on behalf of herself and all others similarly situated, Plaintiff, v. Ocwen Loan Servicing, LLC, Defendant. )))))))))))) Case No. 1:14-cv-08461 Xxxxxxxxx Xxxxxxx X. Kennelly Consolidated

Appears in 1 contract

Samples: Settlement Agreement and Release

Schedule of Future Events. The following are the deadlines by which 7 certain events must occur: 2019 [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 30 days after filing the Settlement Agreement with the CourtPreliminary Approval Date] Deadline to serve for Class Action Fairness Act notice required by 28 U.S.C. § 1715 Notice Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Incentive Payment , 2020 [DATE] [120 91 days from the date of the Order granting preliminary approval] Date for Commencement of Notice (“Notice after Preliminary Approval Date”) [DATE] [14 days before Fairness Hearing] Deadline for Settlement Administrator Class Members to provide a declaration file: a. any objection and basis therefor; b. notice of intent to appear at the Court attesting to the measures undertaken to provide notice as directed by CAFA fairness hearing, indicating with or without counsel; or c. request exclusion , 2020 [DATE] [30 91 days after Notice Preliminary Approval Date] Claim Period – Deadline for Settlement Class Members to Submit a Settlement Claim Form , 2020 [121 days after Preliminary Approval Date] Deadline for Plaintiffs’ Parties to file: a. List of persons who made timely and proper requests for exclusion; b. Proof of Class Notice; and c. Motion and Memorandum in Support of Final ApprovalApproval and related matter, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed objection. , 2020 [135] days after Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 IT IS SO ORDERED this day of , 2022ORDERED. Dated: Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 X. Marra United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List EXHIBIT 2 NOTICE OF CLASS ACTION LAWSUIT AND PROPOSED SETTLEMENT THE COURT AUTHORIZED THIS NOTICE. THIS IS NOT A SOLICITATION FROM A LAWYER. Xxxx v. ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC and Pizza Hut, Inc., Case 9:12-cv-80577-KAM USDC, Southern District of Related Actions HYUNDAI Florida, West Palm Beach Division YOU MAY BE ENTITLED TO RECEIVE MONETARY COMPENSATION. What is this? This is notice of a proposed settlement in a class action lawsuit. What is this lawsuit about? The settlement would resolve a lawsuit brought on behalf of a class alleging ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC and Pizza Hut, LLC (collectively “Defendants”) violated the Telephone Consumer Protection Act, 47 U.S.C. § 227 (“TCPA”) by sending automated text messages to cell phones without the prior express consent of the Settlement Class Members. Defendants deny these allegations. Why am I getting this notice? You were identified as someone who may have received one or more of these text messages based on Defendants’ records. What does the settlement provide? Defendants, through the franchise defendants, have agreed to pay up to a total of $6,000,000 (“Settlement Amount), which will pay for the cost of notice and administration of the settlement, Settlement Class members’ claims, attorneys’ fees incurred by counsel for Plaintiff and the Settlement Class (“Class Counsel”), and an Incentive Payment for the Named Plaintiff. A Settlement Class member who submits a valid and timely claim form (“Settlement Claim Form”) may receive a cash award of up to $400.00; the amount will depend on the number of valid claims received. Plaintiff will petition for an Incentive Payment not to exceed $10,000 for the Named Plaintiff’s work in representing the Class, and Class Counsel’s fees of up to one third of the Settlement Amount, not to exceed $2,000,000 (which is inclusive of all costs and expenses). How can I receive a payment from the settlement? To receive payment, you must complete and submit a valid Settlement Claim Form by << 60 days after Class Notice>>, 2020. A Settlement Claim Form is contained in this Postcard Notice. You can also obtain and submit a Settlement Claim Form online at xxx.XxxxxXXXXxxxxxxxxxx.xxx. You can also obtain a mail-in Settlement Claim Form, or make a claim, by calling <<Claims Admin IVR toll free #>>. Mail-in Settlement Claim Forms must be sent to the Settlement Administrator at the address below. Do I have to be included in the settlement? If you do not want monetary compensation from this settlement and you want to keep the right to xxx, or continue to xxx, any of the Defendants on your own, then you must exclude yourself from the settlement by sending a letter to the Claims Administrator at the address below, requesting exclusion by << 60 days after Class Notice>>. The letter must contain the specific information set forth on the Settlement Website (xxx.XxxxxXXXXxxxxxxxxxx.xxx) in the “Opt-Out Process” section. If I don’t like something about the settlement, how do I tell the Court? If you do not exclude yourself from the settlement, you can object to any part of the settlement. You must file your written objection with the Court by << 60 days after Class Notice>>. You must also mail a copy to both Class Counsel and Counsel for Defendants. Your written objection must contain the specific information set forth on the Settlement Website under the “Objecting to the Settlement” section. What if I do nothing? If you do nothing, you will not be eligible for a payment. But, you will still be a Settlement Class Member and bound by the Settlement, and you will release Defendants from liability. How do I get more information about the settlement? This notice contains limited information about the settlement. For more information, to view settlement documents, and to review information regarding your opt-out and objection rights and the final approval hearing, visit the Settlement Website at xxx.XxxxxXXXXxxxxxxxxxx.xxx. You can also obtain additional information, including a Settlement Claim Form by calling <<Claims Admin IVR toll free #>>. PIZZA TCPA SETTLEMENT <<INSERT CLAIMS ADMIN CONTACT INFO/ ADDRESS>> <<CLAIM ID IN DIGITS>> <<CLAIM ID IN 2D BARCODE>> Postal Service: Please Do Not Xxxx or Cover Barcode <<Class Member Name/Address>> POSTCARD WILL HAVE SETTLEMENT CLAIM FORM ATTACHED. EXHIBIT 3 Legal Notice of Class Action Lawsuit against ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC, and Pizza Hut, LLC If you received text messages on your cell phone beteween November 2010 and January 2013 promoting Pizza Hut products, and without your consent, you may be entitled to benefits under a class action settlement. A federal court authorized this Notice. This is not a solicitation from a lawyer. • A proposed settlement will provide a total of $6,000,000 (the “Settlement Amount”) to fully settle and release claims of Settlement Class Members who do not opt out: All persons in the United States who received a text message from Defendants wherein their cellular telephone number was provided by a third party and said text messages were sent using hardware and software owned or licensed to Songwhale or Cellit between November 2010 and January 2013. Excluded from the class are all persons who received a text message from Defendants wherein their cellular telephone number was provided by a subscriber of the calling plan. • The “Defendants,” ADF Midatlantic, LLC, American Huts, Inc., ADF Pizza I, LLC, ADF PA, LLC, and Pizza Hut, LLC, deny Plaintiff’s allegations and deny any wrongdoing. The Court has not ruled on the merits of Plaintiff’s claims or Defendants’ defenses. By entering into the settlement, Defendants have not conceded the truth or validity of any of the claims against them. • The Settlement Amount shall be used to pay all amounts related to the settlement, including awards to Settlement Class Members who submit a valid and timely claim form to receive payment (“Settlement Claim Payments”), attorneys’ fees (inclusive of expenses and costs) to attorneys representing Plaintiff and the Settlement Class (“Class Counsel”), any Incentive Payment for Plaintiff, and the costs of notice and administration of the settlement. Settlement Class Members who timely submit a valid Settlement Claim Form may receive up to $400.00, depending on the number of valid claims received. Should the Settlement Claim Payments, when combined with the remainder of the Settlement Payments, exceed the Settlement Amount, the Settlement Claim Payments will be reduced on a pro rata basis such that the Settlement Amount is not exceeded. • Your rights and options, and the deadlines to exercise them, are explained in this Notice. Your legal rights are affected whether you act or do not act. Read this Notice carefully. YOUR LEGAL RIGHTS AND KIA ABS MODULE LITIGATION OPTIONS IN THIS SETTLEMENT: SUBMIT A SETTLEMENT AGREEMENT LIST CLAIM FORM If you submit a valid Settlement Claim Form postmarked by << 60 days after Class Notice>>, 2020, you will receive a payment and will give up your rights to xxx Defendants and any other released parties related to a released claim. Settlement Claim Forms may be submitted by mail to << >> or through the settlement website by clicking <<here>> or by calling <<Claims Admin IVR toll free #>>. EXCLUDE YOURSELF OR “OPT-OUT” OF RELATED ACTIONSTHE SETTLEMENT If you ask to be excluded, you will not receive a payment. This is the only option that allows you to pursue your own claims against Defendants or other released parties related to a released claim. The deadline for excluding yourself is << 60 days after Class Notice>>, 2020. Go to the “Opt-Out Process” section of this website by clicking <<here>> for specific information about what an opt-out letter must contain. OBJECT TO THE SETTLEMENT If you wish to object to the settlement, you must write to the Court about why you believe the settlement is unfair. The deadline for objecting is << 60 days after Class Notice>>, 2020. To obtain a benefit from this settlement, you must still submit a Settlement Claim Form. If you submit only an objection without a Settlement Claim Form, you will not receive any benefit from the settlement and you will give up your rights to xxx Defendants or any other released parties related to a released claim. Go to the “Objecting to the Settlement” section of this website by clicking <<here>> for specific information about what an objection letter must contain. DO NOTHING If you do nothing, you will not receive any monetary award and you will give up your rights to xxx Defendants or any other released parties related to a released claim. GO TO THE FINAL APPROVAL HEARING You may attend the Final Approval Hearing. At the Final Approval Hearing if you plan to raise an objection you must file a written objection no later than << 60 days after Class Notice>>, 2020. The objection must state whether you plan to appear at the Final Approval Hearing, either with or without counsel. Go to the “Objecting to the Settlement” section of this website by clicking <<here>> for specific information an objection letter must contain. • These rights and options—and the deadlines to exercise them—are explained in this Notice. • The Court in charge of this case still has to decide whether to approve the settlement. Payments (i.e., Settlement Claim Payments) will be disbursed if the Court approves the settlement and after any appeals are resolved. Please be patient. BASIC INFORMATION

Appears in 1 contract

Samples: Settlement Agreement and Release

Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: Date Deadline [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 45 days after filing the Settlement Agreement with the Court] Deadline to serve Class Action Fairness Act notice required by 28 U.S.C. § 1715 [DATE] [120 days from the date of the Order granting preliminary approval] Date for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness Hearingthis order] Deadline for Settlement Administrator notice to provide a declaration to be provided in accordance with the Court attesting to the measures undertaken to provide notice as directed by CAFA [DATE] Agreement and this Order (Notice Deadline) [30 days after Notice DateDeadline] Deadline for Plaintiffs’ Motion and Memorandum in Support filing of Final Approval, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Plaintiff’s Motion for Attorneys’ Fees and Costs and Service Award Awards [DATE] [30 60 days after Notice Deadline] Deadline to file Motion objections or submit requests for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] exclusion (Opt-Out and Objection Deadline) [75 days after Notice Deadline] Deadline [DATE] for Settlement Class Members to Submit a Claim Form (Claim Deadline) [14 days before Final Approval Hearing] Deadline for Parties to file the following: (1) List of persons who made timely and proper requests for exclusion (under seal); and (2) Motion and memorandum in support of final approval, including responses to any objections. [No earlier than 30 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary deadline] Final Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED ORDERED. Dated this day of , 2022. 202 Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 Xxxxxx X. Simon United States District Court EXHIBIT 7 FINAL APPROVAL ORDER UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF INDIANA HAMMOND DIVISION AT XXXXXXXXX XXXXXX BEAR XXXX XXXXX, on behalf of ) herself and all others similarly situated, ) ) Plaintiff, ) ) vs. ) ) SYNCHRONY BANK, ) ) Defendant. ) CAUSE NO. 4:21-cv-00070-PPS-JEM Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List Xxxxxx X. Xxxxx Magistrate Judge Xxxx X Xxxxxx [PROPOSED] FINAL JUDGMENT AND ORDER OF DISMISSAL This matter is before the Court on the Plaintiff’s Motion for Attorneys’ Fees, Costs, Expenses, and Incentive Awards [DE ] and Unopposed Motion for Final Approval of Related Actions HYUNDAI AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSClass Action Settlement [DE ]. The Court held a Final Approval Hearing on , 202 , after notice of the Final Approval Hearing was given in accordance with this Court’s Order (1) Conditionally Certifying a Settlement Class, (2) Preliminarily Approving Class Action Settlement, (3) Approving Notice Plan, and (4) Setting Final Approval Hearing. (Doc. No. 116) (“Preliminary Approval Order”). The Court has carefully considered all matters submitted to it at the Final Approval Hearing and otherwise and will grant the motions. The Court hereby finds, concludes, and orders as follows:

Appears in 1 contract

Samples: Settlement Agreement and Release

Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: , 2020 [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 45 days after filing the Settlement Agreement date of this Order] Deadline for notice to be provided in accordance with the CourtAgreement and this Order (Notice Deadline) , 2020 [30 days after the Notice Deadline] Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Costs and Service Award , 2020 [90 days after the Notice Deadline] Deadline to serve file objections or submit requests for exclusion (Opt-Out and Objection Deadline) , 2020 [90 days after the Notice Deadline] Deadline for Settlement Class Action Fairness Act notice required by 28 U.S.C. § 1715 Members to Submit a Claim Form (Claim Period) , 2020 [DATE100 days after the Notice deadline] Deadline to File Motion for Final Approval , 2020 [120 days from the date of the Order granting preliminary approval] Date 7 Days Prior to Filing Motion for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness HearingFinal Approval] Deadline for Settlement Administrator to provide a declaration Provide Class Counsel with Proof of Class Notice, Identifying the Number of Requests for Exclusion, and Number of Claims Received , 2020 [10 Days Prior to Final Approval Hearing] Wilmington Trust Shall File with the Court attesting to One or More Declarations Stating that Wilmington Trust has Complied with its Notice Obligations under the measures undertaken to provide notice as directed by CAFA Class Action Fairness Act. , 2020 at _.m. [DATE] [30 No earlier than 120 days after Notice DateDeadline] Deadline for Plaintiffs’ Motion Final Approval Hearing DONE and Memorandum ORDERED in Support of Final ApprovalXxxxxxxx in Chicago, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED Illinois, this day of , 2022. Xxx2020. Xxxxxxx XxxxxxxxxxX. Xxxxxxxx UNITED STATES DISTRICT JUDGE cc: All Counsel of Record IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION XXXXX XXXXXX, Jr. 10 United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List XXXXX XXXXXXXXXX, and XXXXXX X. XXXXXXXX, individually and on behalf of Related Actions HYUNDAI AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSall others similarly situated, Plaintiffs,

Appears in 1 contract

Samples: Settlement Agreement and Release

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Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: [DATE] March 6, 2015 Placeholder date for Order granting grant of preliminary approval (provided for the Court's ease in calculating dates) [DATE] motion March 6, 2015 [10 days after February 25 filing of motion for preliminary approval, adjusted for the Settlement Agreement with the Courtweekend] Deadline to serve Class Action Fairness Act notice required by 28 U.S.C. § 1715 April 3, 2015 [DATE] [120 28 days from after the date of the Order granting preliminary approvalapproval order] Settlement Notice Date for Commencement of Notice (“Notice Date”) May 1, 2015 [DATE] [14 days before Fairness Hearing] Deadline for Settlement Administrator to provide a declaration to the Court attesting to the measures undertaken to provide notice as directed by CAFA [DATE] [30 28 days after the Settlement Notice Date] Deadline for Plaintiffs’ Motion for Attorneys’ Fees and Service Awards June 2, 2015 [60 days after the Settlement Notice Date] Opt-Out and Objection Deadline July 2, 2015 [90 days after the Settlement Notice Date] Claims Deadline July 9, 2015 [14 days before the Final Approval Hearing] Deadline for Parties to file the following: (1) List of Persons who submitted timely and proper Requests for Exclusion; (2) Proof of CAFA Notice and Class Notice; and (3) Motion and Memorandum in Support of Final Approval, including responses to any objections Objections July 23, 2015, or later [DATE] [30 21 days after Notice DateClaims Deadline] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Final Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 IT IS SO ORDERED this day of ORDERED. Dated: , 2022. 2015 Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 Xxxx X. Ericksen United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List EXHIBIT D UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MINNESOTA In re: Life Time Fitness, Inc., Telephone Consumer Protection Act (TCPA) Litigation Case No. 14-md-02564 (JNE-SER) MDL No. 2564 This document relates to: All Actions [PROPOSED] ORDER APPROVING CLASS ACTION SETTLEMENT The Court having held a Final Approval Hearing on [DATE], and having considered all matters submitted to it at the Final Approval Hearing and otherwise, and finding no just reason for delay in entry of Related Actions HYUNDAI this Order, and good cause appearing therefore, It is hereby ORDERED AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSDECREED as follows:

Appears in 1 contract

Samples: www.baillonthome.com

Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: [DATE] Placeholder , 2021 Target date for Order granting preliminary approval (provided for the Court's ease in calculating dates) Tribune to effectuate CAFA Notice , 2021 [DATE] [10 30 days after filing the Settlement Agreement date of this Order] Deadline for notice to be provided in accordance with the CourtAgreement and this Order (Notice Deadline) , 2022 [15 days after the Notice Deadline] Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Costs and Incentive Award , 2022 [45 days after the Notice Deadline] Deadline to serve Class Action Fairness Act notice required by 28 U.S.C. § 1715 file objections or submit requests for exclusion (Opt-Out and Objection Deadline) , 2022 [DATE70 days after the Notice deadline] Deadline to File Motion for Final Approval , 2022 [120 days from 10 Days Prior to Final Approval Hearing] Defendant Shall File with the date of the Order granting preliminary approval] Date Court a Declaration Stating that It Complied with Its CAFA Notice Obligations , 2022 [7 Days Prior to Filing Motion for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness HearingFinal Approval] Deadline for Settlement Administrator to provide a declaration to Provide Class Counsel with Proof of Class Notice, Identifying the Court attesting to the measures undertaken to provide notice as directed by CAFA Number of Requests for Exclusion, and Number of Claims Received , 2022, at _.m. [DATE] [30 approximately 85 days after Notice DateDeadline] Deadline for Plaintiffs’ Motion and Memorandum in Support of Final Approval, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED this day of , 2022ORDERED. Dated: Xxx. Xxxxxxx Xxxxxxxxxx, Jr. 10 X. Kennelly United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION XXXXXX XXXXX, individually and on behalf of Related Actions HYUNDAI others similarly situated, Plaintiff, v. TRIBUNE PUBLISHING COMPANY, Defendant. ) ) Case No. 1:20-cv-07666 ) ) ) ) ) Hon. Judge Xxxxxxx X. Xxxxxxxx ) Hon. Mag. Judge Xxxxxxx X. Xxxxxxx ORDER GRANTING FINAL APPROVAL OF CLASS ACTION SETTLEMENT AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSDISMISSING CLASS PLAINTIFF’S CLAIMS This Court, having held a Final Approval Hearing on , 2022, having provided notice of that hearing in accordance with the Preliminary Approval Order, and having considered all matters submitted to it in connection with the Final Approval Hearing and otherwise, and finding no just reason for delay in entry of this Order Granting Final Approval of Class Action Settlement and Dismissing Class Plaintiff’s Claims (the “Final Approval Order” or this “Order”) and good cause appearing therefore,

Appears in 1 contract

Samples: Settlement Agreement and Release

Schedule of Future Events. The Accordingly, the following are the deadlines by which 7 certain events must occur: , 2020 [DATE] Placeholder date for Order granting preliminary approval (provided for the Court's ease in calculating dates) [DATE] [10 45 days after filing the Settlement Agreement date of this Order] Deadline for notice to be provided in accordance with the CourtAgreement and this Order (Notice Deadline) , 2020 [30 days after the Notice Deadline] Deadline for filing of Plaintiff’s Motion for Attorneys’ Fees and Costs and Service Award , 2020 [90 days after the Notice Deadline] Deadline to serve file objections or submit requests for exclusion (Opt-Out and Objection Deadline) , 2020 [90 days after the Notice Deadline] Deadline for Settlement Class Action Fairness Act notice required by 28 U.S.C. § 1715 Members to Submit a Claim Form (Claim Period) , 2020 [DATE100 days after the Notice deadline] Deadline to File Motion for Final Approval , 2020 [120 days from the date of the Order granting preliminary approval] Date 7 Days Prior to Filing Motion for Commencement of Notice (“Notice Date”) [DATE] [14 days before Fairness HearingFinal Approval] Deadline for Settlement Administrator to provide a declaration Provide Class Counsel with Proof of Class Notice, Identifying the Number of Requests for Exclusion, and Number of Claims Received , 2020 [10 Days Prior to Final Approval Hearing] DBNTC Shall File with the Court attesting to One or More Declarations Stating that DBNTC has Complied with its Notice Obligations under the measures undertaken to provide notice as directed by CAFA Class Action Xxxxxxxx Xxx , 0000 at _.m. [DATE] [30 No earlier than 120 days after Notice DateDeadline] Deadline for Plaintiffs’ Motion Final Approval Hearing DONE and Memorandum ORDERED in Support of Final ApprovalXxxxxxxx in Chicago, including responses to any objections [DATE] [30 days after Notice Date] Deadline to file Motion for Attorneys’ Fees and Service Award [DATE] [30 days after Deadline to file Motion for Attorneys’ Fees and Service Award] Deadline for Opposition to Motion for Attorneys’ Fees and Service Award [DATE] [45 days after the Notice Date] Opt-Out and Objection Deadline [DATE] [14 days after the Opt- Out and Objection Deadline Deadline for Plaintiffs’ response to any objections 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit D- Proposed Preliminary Approval and Class Certification Order [DATE] [14 days prior to Fairness Hearing] Deadline for Settlement Administrator to provide the Opt-Out List to Class Counsel and counsel for Defendants [DATE][at least 90 days after Notice Date] Fairness Hearing 4 5 6 SO ORDERED Illinois, this day of , 2022. Xxx2017. Xxxxxxx XxxxxxxxxxX. Xxxxxxxx UNITED STATES DISTRICT JUDGE cc: All Counsel of Record IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION XXXXX XXXXXX, Jr. 10 United States District Judge 11 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Exhibit E Exhibit E – List XXXXX XXXXXXXXXX, and XXXXXX X. XXXXXXXX, individually and on behalf of Related Actions HYUNDAI AND KIA ABS MODULE LITIGATION SETTLEMENT AGREEMENT LIST OF RELATED ACTIONSall others similarly situated, Plaintiffs,

Appears in 1 contract

Samples: Settlement Agreement and Release

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