Settlement Claims Administrator Sample Clauses

Settlement Claims Administrator. Pursuant to the Agreement, BrownGreer PLC (“BrownGreer”) is hereby appointed as Claims Administrator and shall be required to perform all the duties of the Claims Administrator as set forth in the Agreement and this Order.
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Settlement Claims Administrator. KCC is hereby appointed as the Claims Administrator and shall be required to perform all the duties of the Claims Administrator as set forth in the Agreement and this Order.
Settlement Claims Administrator. The “Settlement Claims Administrator” means RG/2 Claims Administration LLC. The Settlement Claims Administrator will be responsible for locating Class Members; mailing the Notices to Class Members; emailing notices to class members; creating and maintaining a website for settlement administration; responding to inquiries from Class Members; calculating Class Members’ settlement allocations; reporting on the state of the Settlement to the Parties; establishing and administering the QSF; distributing settlement payments; calculating and withholding Class Members’ shares of applicable payroll taxes (including, without limitation, federal, state, and local income tax withholding, FICA, Medicare and any state or local employment taxes); remitting such withheld funds to the appropriate taxing authorities and providing any related tax reporting; preparing and filing all tax returns necessary for the Settlement and the QSF; preparing a declaration regarding its due diligence in the claims administration process; and performing such other duties as the Parties may jointly direct or as are specified herein, including, without limitation, such duties as are specifically set forth in Sections 2 and 3 hereof. All settlement administration amounts, including but not limited to, the Settlement Claims Administrator’s fees and costs, shall be paid from the Gross Settlement Amount in the QSF. If the Settlement is not given final approval by the Court and does not become Effective, the any settlement administration fees and costs incurred shall be deducted from the QSF.
Settlement Claims Administrator. Angeion Group is hereby appointed as the Claims Administrator and shall be required to perform all the duties of the Claims Administrator as set forth in the Agreement and this Order.
Settlement Claims Administrator is hereby appointed as Claims Administrator and shall be required to perform all the duties of the Claims Administrator as set forth in the Agreement and this Order.
Settlement Claims Administrator. The Parties have agreed to and request that the Court appoint ILYM Group, Inc. as Settlement Claims Administrator for this Settlement.
Settlement Claims Administrator. “Settlement Claims Administrator” means the qualified administrator referred to in Section 2.1
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Settlement Claims Administrator. The NSTAR Entities will use CCS, of Newton, Massachusetts, as a claims administrator to obtain relevant information from non-identified claimants and assist the NSTAR Entities in processing and resolving such claims for settlement benefits. Class Counsel will work cooperatively with the NSTAR Entities to review disputed claims and to seek informal resolutions of disputes. The claims process will request that customers contact the claims administrator by telephone or in writing within 75 days.
Settlement Claims Administrator. ⚫ If you have questions about how to complete or file a Claim Form, the documentation required to support a claim, or whether you are a Settlement Class Member, please contact the Administrator. OBJECTING TO, OR COMMENTING ON, THE SETTLEMENT Settlement Class Members who wish to comment on, or make an objection to, the approval of the Gatos Settlement Agreement, the Class Counsel Fees or the Plan of Allocation should deliver (by email or mail) a written submission to Class Counsel, at the email address or mailing address provided below, postmarked or received by no later than ⚫. Any objections delivered by that date will be filed with the Court. These objections must be directed to: ⚫ MORE INFORMATION? Go to ⚫ or contact Class Counsel at: Xxxxx Xxxxxxx Siskinds LLP (000) 000-0000 xxxxx.xxxxxxx@xxxxxxxx.xxx Xxxxx Xxxxxxxxx CFM Lawyers LLP (000) 000-0000 xxxxxxxxxx@xxxxxxxxxx.xx INTERPRETATION Xxxxxxxx Xxxxx Eighty-One West Law PC (000) 000-0000 xxxx@xxxxxxxxxxxxx.xxx If there is a conflict between the provisions of this notice and the Settlement Agreements, the terms of the Settlement Agreements will prevail. DISTRIBUTION OF THIS NOTICE HAS BEEN AUTHORIZED BY THE ONTARIO SUPERIOR COURT OF JUSTICE APPENDIX ESECOND ORDER Court File No. CV-22-00676682-00CP ONTARIO SUPERIOR COURT OF JUSTICE THE HONOURABLE ) , THE _ JUSTICE X.X. XXXXXX ) DAY OF , B ETW EEN : XXXXXXX XXXXXXXXXX Plaintiff GATOS SILVER, INC., XXXXXXX XXX, XXXXX XXXXXXX, XXXXXX XXXX, THE ELECTRUM GROUP LLC, ELECTRUM SILVER US LLC, and ELECTRUM SILVER US II LLC Defendants Proceeding under the Class Proceedings Act, 1992 ORDER THIS MOTION, made by the Plaintiff for an order, among other things, (i) approving the settlement of the action as against Gatos Silver, Inc., Xxxxxxx Xxx, Xxxxx Xxxxxxx, Xxxxxx Xxxx (collectively, “Gatos Defendants”), The Electrum Group LLC, Electrum Silver US LLC, and Electrum Silver US II LLC (collectively, “Electrum Defendants” and together with the Gatos Defendants, “Settling Defendants”); (ii) approving the form, method of publication and dissemination of the Notices of Settlement; and (iii) approving the Plan of Allocation was heard at the Courthouse located at 000 Xxxxxxxxxx Xxxxxx, Xxxxxxx, Xxxxxxx or virtually on June 28, 2024. ON READING the materials filed, including the Settlement Agreement dated January ⚫, 2024 attached hereto as Schedule “1” (“Settlement Agreement”) and on hearing the submissions of Counsel for the Plaintiff, Counsel for the Gatos Defendants, Co...
Settlement Claims Administrator. ⚫ If you have questions about how to complete or file a Claim Form, the documentation required to support a claim, or whether you are a Settlement Class Member, please contact the Administrator.
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