Scope of Settlement. The Settlement described herein will resolve fully and finally all Settlement Class Members’ Released Claims as described in paragraph 13, and all individual claims of Plaintiffs, as described in paragraph 14.
Scope of Settlement. The Agreement resolves all claims alleged in the Consolidated Master Class Action Complaint filed in the Northern District of Illinois on February 28, 2013, as amended on June 13, 2014. See In re Capital One Telephone Consumer Protection Act Litigation, MDL No. 2416, Master Docket No. 1:12-cv-10064, Dkts. 19, 120. The Consolidated Master Class Action Complaint superseded the complaints filed in the Xxxx, Amadeck, and Xxxxxxxxx Actions and, as amended, is the controlling Complaint.
Scope of Settlement. The compensation and benefits provided for in the Agreement are in full and complete settlement of all of Employee's Claims against Company Releasees and fully compensates Employee for any and all such Claims. Employee further acknowledges that he has received all wages and benefits due him through the last date of his employment with the Company, except as otherwise provided in Paragraph 5 of the Agreement. Employee specifically acknowledges that he has received the Lump Sum Payment and that the Company has fully complied with the provisions of Paragraph 5(a) of the Agreement.
Scope of Settlement. The Agreement resolves all released claims alleged in the Actions and related thereto, as set forth in greater detail in the Agreement.
Scope of Settlement. The Settlement includes both monetary and non-monetary components, as set forth in detail below. The Settlement described herein will effect a full and final settlement and resolution of: a) all claims brought against Defendant in the Litigation, as amended pursuant to this Agreement; and b) all Named Plaintiffs’ Released Claims and Settlement Class Members’ Released Claims as described in Sections III.17 and III.18.1
Scope of Settlement. Subject to Court approval, the Settlement Agreement shall cover all eligible members of the following "Settlement Plaintiffs”
Scope of Settlement. The Settlement Agreement resolves all Issues set forth in the March 17, 2023, Assigned Commissioner’s Scoping Memo and Ruling. The Settlement Agreement would resolve Issue 9 (adherence to the Commission’s environmental social justice policy) as applied to the aforementioned issues. The Settlement Agreement would resolve Issue 6 (amendment of ECAC filing requirements), by not authorizing any change to the ECAC tariff at this time (i.e., Issue 6). The Settlement Agreement is based on the Application as modified in the Amended Application served on parties on June 23, 2023, and as supported by a Motion to enter the aforementioned final testimony of Xxxxxxxxx Xxx and Xxxxxxx Xxxxxx filed contemporaneously with the Motion for this Settlement Agreement.1 Certain aspects of the Amended Application’s proposals and requests have been modified, withdrawn, or otherwise agreed to as addressed through the express terms of this Agreement.
Scope of Settlement. The Agreement resolves all Released Claims against Allstate and each of its present and former divisions, parents, subsidiaries, affiliates, predecessors, successors, assigns, investors, and parents, any direct or indirect subsidiary of Allstate and each of their present and former divisions, parents, subsidiaries, affiliates, predecessors, successors, assigns, investors, and parent companies, and all of their present and former officers, directors, employees, agents, insurers, members, attorneys, advisors, consultants, partners, joint venturers, independent contractors, wholesalers, resellers, distributors, retailers, brokers, distributors, representatives, predecessors, successors, and assigns of each of them.
Scope of Settlement. The Agreement resolves all Released Claims against DBNTC in all capacities, including individual and trustee capacities, and each of its respective divisions, parents, subsidiaries, predecessors, investors, parent companies, and Affiliates, whether past or present, any direct or indirect subsidiary of DBNTC and each of their respective divisions, parents, subsidiaries, predecessors, investors, parent companies, and Affiliates, whether past or present, and all of the officers, directors, employees, agents, brokers, distributors, representatives, and attorneys of all such entities. For the avoidance of doubt, Ocwen is not a Released Person with respect to claims for breach or indemnification that DBNTC has or may have. “Released Claims” relate to or arise out of Ocwen’s alleged use of equipment or methods to contact or attempt to contact Settlement Class Members by telephone for servicing or debt collection purposes during the Settlement Class Period, including but not limited to claims that relate to or arise out of Ocwen’s use of an “automatic telephone dialing system” or “artificial or prerecorded voice” as defined in the Telephone Consumer Protection Act.
Scope of Settlement. The compensation and benefits provided for in the Agreement are in full and complete settlement of all of Xxx'x Claims against Company Releasees and fully compensates Xxx for any and all such Claims. Xxx further acknowledges that he has received all wages and benefits due him through the last date of his employment with the Company, except as otherwise provided in Paragraph 3 of the Agreement.