Stay of Litigation. The Parties agree that upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to CCP section 583.330 to extend the date to bring a case to trial under CCP section 583.310 for the entire period of this settlement process.
Stay of Litigation. The Parties agree upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to Code of Civil Procedure section
Stay of Litigation. The Parties agree that upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to Code of Civil Procedure section 583.330 to extend the date to bring a case to trial under Code of Civil Procedure section 583.310 for the entire period of this settlement process. KW INTERNATIONAL, INC. Dated: July , 2024 By: Its: Dated: July , 2024 XXXX X. XXXXX XXXX & XXXXXX, APC ATTORNEYS FOR DEFENDANT KW INTERNATIONAL, INC. Dated: July , 2024 PLAINTIFF, XXXXX XXXXXXXX Dated: July , 2024 XXXXXX XXXXXXXXX FALAKASSA LAW, P.C. ATTORNEYS FOR PLAINTIFF AND THE PUTATIVE CLASS Dated: July , 2024 XXXXXXX XXXXXXX XXXXXXX LAW GROUP, P.C. ATTORNEYS FOR PLAINTIFF AND THE PUTATIVE CLASS The proposed Settlement has two main parts: (1) a Class Settlement requiring KW International, Inc. to fund Individual Class Payments, and (2) a PAGA Settlement requiring KW International, Inc. to fund Individual PAGA Payments and pay penalties to the California Labor and Workforce Development Agency (“LWDA”). Based on KW International, Inc.’s records, and the Parties’ current assumptions, your Individual Class Payment is estimated to be $ (less withholding) and your Individual PAGA Payment is estimated to be $ . The actual amount you may receive likely will be different and will depend on a number of factors. (If no amount is stated for your Individual PAGA Payment, then according to KW International, Inc.’s records you are not eligible for an Individual PAGA Payment under the Settlement because you didn’t work during the PAGA Period.) The above estimates are based on KW International, Inc.’s records showing that you worked workweeks during the Class Period and you worked Pay Periods during the PAGA Period. If you believe that you worked more workweeks during either period, you can submit a challenge by the deadline date. See Section 4 of this Notice. The Court has already preliminarily approved the proposed Settlement and approved this Notice. The Court has not yet decided whether to grant final approval. Your legal rights are affected whether you act or not act. Read this Notice carefully. You will be deemed to have carefully read and understood it. At the Final Approval Hearing, the Court will decide whether to finally approve the Settlement and how much of the Settlement will be paid to Plaintiff and Plaintiff’s attorneys (“Class Counsel”). The Court will al...
Stay of Litigation. The Parties agree that upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to CCP section 583.330 to extend the date to bring a case to trial under CCP section 583.310 for the entire period of this settlement process. Xxxxxxxx Xxxxxxx Xxxxxxx (Jun 16, 2023 13:08 PDT) Plaintiff Xxxxxxxx Xxxxxxx Dated: 06/16 , 2023 Defendant MV Public Transportation, Inc. ________________ By:_ Its: EVP & General Counsel Dated: Defendant MV Transportation, Inc. Dated: June 20 , 2023 _______________ By:_ Its: EVP & General Counsel Dated: June 21 , 2023 XXXXXXX XXXXXXXXX, PC Xxxxxxx X. Xxxxxxxx Xxxxxxx X. Xxxxxx Attorneys for Defendants Dated: June 16 , 2023 XXXXXXX XXXXXXX HEEGER LLP Xxxxx X. Xxxxxxx Xxxxxxx X. Xxxxxxx Attorneys for Plaintiff Xxxxxxxx Xxxxxxx, individually and on behalf of all other similarly situated Dated: June 16 , 2023 XXXXXX & XXXXXXX Xxxxxx Xxxxxxx Attorneys for Plaintiff Xxxxxxxx Xxxxxxx individually and on behalf of all other similarly situated COURT APPROVED NOTICE OF CLASS ACTION SETTLEMENT AND HEARING DATE FOR FINAL COURT APPROVAL The proposed Settlement has two main parts: (1) a Class Settlement requiring MV to fund Individual Class Payments, and (2) a PAGA Settlement requiring MV to fund Individual PAGA Payments and pay penalties to the California Labor and Workforce Development Agency (“LWDA”). Based on MV’s records, and the Parties’ current assumptions, your Individual Class Payment is estimated to be $ (less withholding) and your Individual PAGA Payment is estimated to be $ . The actual amount you may receive likely will be different and will depend on a number of factors. The above estimates are based on MV’s records showing that you worked eligible workweeks during the Class Period and you worked eligible pay periods during the PAGA Period. If you believe that you worked more workweeks or pay periods during either period, you can submit a challenge by the deadline date. See Section 4 of this Notice. The Court has already preliminarily approved the proposed Settlement and approved this Notice. The Court has not yet decided whether to grant final approval. Your legal rights are affected whether you act or not act. Read this Notice carefully. You will be deemed to have carefully read and understood it. At the Final Approval Hearing, the Court will decide whether to finally approve the Settlement and h...
Stay of Litigation. All proceedings in the Litigation, other than those related to approval of the Settlement Agreement, are hereby stayed. Further, any actions brought by Settlement Class Members concerning the Released Claims are hereby enjoined and stayed pending Final Approval of the Settlement Agreement.
Stay of Litigation. Stockholder and Company agree to stay all activities in the Lawsuits until the Termination Time, including, without limitation, refraining from seeking any discovery, filing any motions or amendments to pleadings or previous motions, and to further postpone any deadlines, discovery cut-offs, response dates, or similar matters which have not expired prior to the date of this Agreement. Stockholder and Company shall cooperate in taking all reasonable steps to ensure a stay of all activities in the Lawsuits and to ensure that the Lawsuits, to the extent within the control of Stockholder and Company, remain inactive in all respects involving Stockholder and Company. If not previously dismissed prior to the Effective Time, all Lawsuits will be dismissed with prejudice promptly following the Effective Time.
Stay of Litigation. The Parties agree that upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to CCP section 583.330 to extend the date to bring a case to trial under CCP section 583.310 for the entire period of this settlement process. MOUNT SAINT MARY’S UNIVERSITY Dated: June , 2023 By: Xxxxxx Xxxxxxxxx, Interim Vice President of Administration and Finance Dated: 6/30/2023 Xxxxx Xxxxxxx Dated: Dated: June 30, 2023 XXXXXXX BRANCH BELL + XXXXXXX LLP Xxxxxxx X. Xxxxx, Attorneys for Defendant HAMMONDLAW, P.C. Xxxxxx Xxxxxxx Xxx Xxxxxxxx Attorneys for Plaintiff You may be eligible to receive money from an employee class action lawsuit (“Action”) against Mount Saint Mary’s University ("MSMU") for alleged wage and hour violations. The Action was filed by former MSMU employee Xxxxx Xxxxxxx (“Plaintiff”) and seeks (1) unpaid wages (including without limitation, pay for all hours worked, premium pay resulting from failing to authorize and permit paid rest breaks, and, when applicable, payment for all wages due at termination), penalties, and unreimbursed remote work/business expenses, incurred by adjunct instructors (“Class Members”) who worked for MSMU during the Class Period (January 25, 2018 through ); and (2) penalties under the California Private Attorney General Act (“PAGA”) for adjunct employees who worked for MSMU during the PAGA Period (Octboer 26, 2020 through ) (“Aggrieved Employees”). The proposed Settlement has two main parts: (1) a Class Settlement requiring MSMU to fund Individual Class Payments, and (2) a PAGA Settlement requiring MSMU to fund Individual PAGA Payments and pay penalties to the California Labor and Workforce Development Agency (“LWDA”). Based on MSMU’s records, and the Parties’ current assumptions, your Individual Class Payment is estimated to be $ and your Individual PAGA Payment is estimated to be $ . The actual amount you may receive likely will be different and will depend on several factors. (If no amount is stated for your Individual PAGA Payment, then according to MSMU’s records you are not eligible for an Individual PAGA Payment under the Settlement because you did not work during the PAGA Period.) The above estimates are based on MSMU’s records showing that you worked pay periods during the Class Period and you worked pay periods during the PAGA Period. If you believe that you worked more pay period...
Stay of Litigation. The Parties agree that upon the execution of this Agreement the litigation shall be stayed, except to effectuate the terms of this Agreement. The Parties further agree that upon the signing of this Agreement that pursuant to Code of Civil Procedure section 583.330 to extend the date to bring a case to trial under Code of Civil Procedure section 583.310 for the entire period of this settlement process. // // // // // // // // // // Datxx: Xxril , 2024 MATERN LAW GROUP, PC By: Xxxxxxx X. Xaxxxx Xxxx X. Xxxxxx Xxxxxxx Xxxxxx Attorxxxx xxx Xxxxxxxxx XXXXXXXX XXXXXX XXXXXXX, individually, and on behalf of others similarly situated Datxx: Xxxxx , 2024 XXXXXX XXXXX, LLP By: Xxxx X. Xxxxxxld Xxxx X. Xxxxxxx, Xx. Dated: April ___, 0000 Xxxxxxxxx XXXMUNDO IBARRA GARIBAY Dated: April ___, 2024 Name: Title: By: Xxxxxxx X. Xxtxxx Xxxx X. Xxxxxx Xxxxxxx Xxxxxx Attorxxxx xxx Xxxxxxxxx XXXXXXXX XXXXXX XXXXXXX, individually, and on behalf of others similarly situated Dated: Xxxxx 00 , 2024 XXXXXX XXXXX, LLP By: Xxxx X. Xxxxxxld Xxxx X. Xxxxxxx, Xx. Dated: April ___, 0000 Xxxxxxxxx XXXXXXXX XXXXXX XXXXXXX Dated: April ___, 2024 Name: Title: Xxxxxxxx Xxxxxx Xxxxxxx v. El Pollo Inka Express, Inc. (Filed: Aug. 19, 2021) Los Angeles County Superior Court You may be eligible to receive money from an employee class action lawsuit (“Action”) against EL POLLO INKA for alleged wage and hour violations. The Action was filed by a former EL XXXXX XXXX xxxxxxxx XXXXXXXX XXXXXX XXXXXXX (“Plaintiff”) and seeks payment for claims under the Labor Code and Business and Professions Code for: (1) Meal Period Violations;
Stay of Litigation. The Parties agree to hold in abeyance all proceedings in the Action, except such proceedings necessary to implement and complete the Agreement.
Stay of Litigation. Litigation against the Canary Released Parties in this Sub-Track shall remain stayed, and neither Plaintiffs nor any Class Member shall commence, join or otherwise prosecute any Released Claim against any Canary Released Party in any other proceeding, pending approval of this Severed Settlement by the Court.