SETTLEMENT AGREEMENT AND GENERAL RELEASE. In waiving and releasing the claims set forth in this Agreement, whether known or unknown, the Parties understand that this means that if any Party later discovers facts different from or in addition to those facts currently known by such Party, or believed by such Party to be true, the waivers and releases of this Agreement will remain effective in all respects despite such different or additional facts and such Party’s later discovery of such facts, even if such Party would not have agreed to this Agreement if such Party had prior knowledge of such facts.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. The undersigned Parties do hereby execute and enter into this Agreement on the date(s) set forth below.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. This Settlement Agreement and General Release (the “Agreement”) is entered into between Plaintiffs, Xxxxx Xxxxx Xxxxxx, and Xxxxx Xxxxx Xxxxx Xxxxxx, (“Plaintiffs”) and Defendant, N.S.G. Janitorial Inc. (“NSG”). Previous Defendant, Loews Atlanta Operating, LLC (“Loews”) and Defendant (“NSG”) are collectively referenced herein as the “Defendants.”
SETTLEMENT AGREEMENT AND GENERAL RELEASE. This Settlement Agreement and General Release (“Settlement Agreement” or “Agreement” or “Settlement”) is entered into on this 29th day of October, 2010, between Plaintiff, Xxxxxxxx Xxxxx (“Plaintiff” or “Class Plaintiff”) and CorVel Corporation (“CorVel”). The foregoing Plaintiff and CorVel shall be collectively referred to as the “Parties.”
SETTLEMENT AGREEMENT AND GENERAL RELEASE. This settlement and general release agreement (the “Agreement”) is entered into this day of November, 2011, by and between Savi Technologies, Inc., Vigna, Inc., Xxxx Xxxxxxxxxx, Xxxxx Xxxxxx, Xxxxxxxxx Xxxxxxxxx, and Xxxxxx Xxxxxxxx Xxxxxx (hereinafter referred to as the “Defendants”) and Xxxxxx Xxxxxx Xxxxxxx and Xxxxxxx Xxxxxxxxxx Xxxxx (herein referred to as the “Plaintiffs”). The Plaintiffs and the Defendants are involved in a lawsuit currently pending in the United States District Court for the Western District of Washington at Seattle, captioned, Naveen Mysore Prakash and Xxxxxxx Xxxxxxxxxx Xxxxx x. Xxxx Technologies, Inc., Vigna, Inc., Xxxx Xxxxxxxxxx, Xxxxx Xxxxxx, Xxxxxxxxx Xxxxxxxxx, and Xxxxxx Xxxxxxxx Xxxxxx Cause No. 01845-RSL (the “Lawsuit”). Plaintiffs and the Defendants enter into this Agreement in settlement of all claims, including but not limited to those asserted in the Lawsuit, on the terms described below.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. Please take notice that federal law provides criminal and civil immunity to federal and state claims for trade secret misappropriation to individuals who disclose a trade secret to their attorney, a court, or a government official in certain, confidential circumstances that are set forth at 18 U.S.C. §§ 1833(b)(1) and 1833(b)(2), related to the reporting or investigation of a suspected violation of the law, or in connection with a lawsuit for retaliation for reporting a suspected violation of the law.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. The Department of Energy (DOE), Rocky Flats Field Office (RFFO) (DOE, RFFO and/or Employer) and the American Federation of Government Employees, AFL-CIO, Local 1103 (AFGE, Local 1103 and/or the Union) at the DOE, RFFO address of Golden, Colorado, also jointly referred to as the parties, stipulate to and enter into the terms and conditions to mutually agree as follows:
SETTLEMENT AGREEMENT AND GENERAL RELEASE. A Settlement Agreement and General Release in the form of Exhibit "I" executed by Seller and Alpha Micro.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. A Settlement Agreement and General Release in the form of Exhibit "I" executed by the ATI Group.
SETTLEMENT AGREEMENT AND GENERAL RELEASE. This Supplemental Confidential Settlement Agreement and General Release ("Supplemental Agreement") is entered into by and between St. Xxxx Park Refining Co., LLC d/b/a Andeavor ("Respondent") and Xxxxx Xxxx ("Charging Party"), collectively referred to as "the Parties," and is incorporated into the XXXX Settlement Agreement that is being executed by the Parties and the Minnesota Department of Human Rights ("Department") with respect to the full settlement and resolution of MDHR File No. 68478 and EEOC File No. 26ee201800141 (the "MDHR Settlement Agreement"). In addition to the provisions contained in the XXXX Settlement Agreement, and for good and valuable consideration provided, the Parties further agree as follows: