Settlement Class Member Sample Clauses

Settlement Class Member. (s) means a member of a Settlement Class.
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Settlement Class Member. A Class Member who is not properly excluded under the terms of the Settlement, as approved by the Court.
Settlement Class Member. (s) means a member of a Settlement Class. (yy) Settling Defendant means Nitsuko Electronics Corporation.
Settlement Class Member. Individuals who can show one of the below familial relationships with a Ms. L. Settlement Class member will be considered Qualifying Additional Family Members even if they cannot show that they are a member of the Ms.
Settlement Class Member being neither potentially subject to nor having been found to be subject to a statutory bar to asylum pursuant to 8 U.S.C. § 1158(b)(2)(A)(i)-(v), INA § 208(b)(2)(A)(i)-(v) due to information unknown to USCIS at the time of the parole adjudication or by the Ms. L. Settlement Class member’s actions after he or she was granted parole by USCIS. The immigration judge’s grant of a joint motion to dismiss or terminate shall not reflect an adjudication on the merits of the Ms. L. Settlement Class member’s removability.
Settlement Class Member. “Settlement Class Member” means any member of the Settlement Class who does not timely opt out of the Settlement under Paragraph 9.
Settlement Class Member. “Settlement Class Member” or “Class Member” means any member of the Settlement Class who has not submitted a valid Request for Exclusion.
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Settlement Class Member. (a) files with the Clerk of the Court a notice of intention to appear at the Final Approval Hearing by the Objection Deadline (“Notice Of Intention To Appear”); and (b) mails 27 copies of the Notice of Intention to Appear to all Counsel identified in Section 18 of this Agreement, 28 postmarked by the Objection Deadline. The Notice of Intention to Appear must include copies of any papers, exhibits, or other evidence that the objecting Settlement Class Member will present to the Court in connection with the Final Approval Hearing. Any Settlement Class Member who does not file a Notice of Intention to Appear in accordance with the deadlines and other specifications set forth in the Agreement and Class Notice shall not be entitled to appear at the Final Approval Hearing and raise any objections.
Settlement Class Member. All objections shall identify any lawyer that represents you as to your objection (if any) and provide that lawyer’s address and telephone number, but you do not have to have a lawyer. Any documents that you wish for the Court to consider must also be attached to the objection, and your objection should also be sent to Class Counsel and counsel for NutriBullet. For the Settlement Administrator: [address] For Class Counsel: Xxxxx Xxxxxxxxxxx Xxxxxxxxx Law Group, APC 000 Xxxxxxx Xxxxxx, Unit D1 Costa Mesa, CA 92626 Counsel for NutriBullet: Xxxxx X. Xxxx Xxxxxxxxx Xxxxxxxx Xxxx Xxxxxxx LLP 000 Xxxxx Xxxxxxxx Xxxxxx, 36th Floor Los Angeles, CA 90017-5406
Settlement Class Member. All residents of the United States who were sent notice that their personal information may have been accessed, stolen, or compromised as a result of the Data Incident. Excluded from the Settlement Class are: (i) Defendant and its respective officers and directors; (ii) any Person who would otherwise be a member of the Settlement Class but who timely and validly requests exclusion from the Settlement Class; (iii) the Judge and Magistrate Judge assigned to evaluate the fairness of this settlement, the Court’s staff, and the Court’s immediate family members; and (iv) any other Person found by a court of competent jurisdiction to be guilty under criminal law of initiating, causing, aiding, or abetting the Data Incident or who pleads nolo contendere to any such charge. • Documented Loss Payment: Each Settlement Class Member may submit a claim for a Settlement Payment of up to $5,000.00 for reimbursement in the form of a Documented Loss Payment. Documented Losses must be reasonably related to the Data Incident or to mitigating the effects of the Data Incident, and may include, but are not limited to: (i) unreimbursed losses relating to fraud or identity theft; (ii) professional fees including attorneys’ fees, accountants’ fees, and fees for credit repair services; (iii) costs associated with freezing or unfreezing credit with any credit reporting agency, and (iv) unreimbursed bank fees, long distance phone charges, postage, or gasoline for local travel. Cash Award: A Settlement Class Member may, instead of making a claim for a Documented Loss Payment as described above, make a claim for a pro rata Cash Award, which will be calculated based on the amount remaining in the Settlement Fund after Documented Loss Payments and other expenses are paid. The Cash Award payments are estimated to be $75.00. A Cash Award shall not exceed $5,000.00.
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