Support From The Parties Sample Clauses

Support From The Parties. After a full investigation, discovery and arms-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that the Settlement is in the best interest of the Settlement Class; (b) shall support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any Persons to Opt-Out or file Objections to the Settlement or this Agreement.
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Support From The Parties. After a full investigation, discovery and arm’s-length negotiations, and after considering the risks and costs of further litigation, Plaintiffs and Class Counsel are satisfied that the terms and conditions of this Agreement are fair, reasonable, adequate, and equitable, and that this Settlement is in the best interest of the Class Members. Defendants and their counsel agree that the settlement is fair, adequate, and reasonable in light of the merits and risks of the case. While continuing to deny all allegations of wrongdoing and disclaiming any liability with respect to any and all claims, Defendants consider it desirable to resolve the controversy on the terms stated herein and have therefore determined that this Settlement is in their best interests. The Parties further agree that they shall support motions for entry of the Preliminary Approval Order and Final Approval Order.
Support From The Parties. After a full investigation, discovery and arms-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Class; (b) shall support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any Persons to Opt- Out or file an Objection to the Settlement or this Agreement. (Signature pages follow) Case 3:14-cv-01714-VAB Document 116-1 Filed 01/16/18 Page 40 of 78 Case 3:14-cv-01714-VAB Document 116-1 Filed 01/16/18 Page 41 of 78 Case 3:14-cv-01714-VAB Document 116-1 Filed 01/16/18 Page 42 of 78 Case 3:14-cv-01714-VAB Document 116-1 Filed 01/16/18 Page 45 of 78 Xxxxx Xxxxxxxxxx On Behalf of Plaintiff and the Proposed Settlement Class Xxxxx Xxxxxxx On Behalf of Plaintiff and the Proposed Settlement Class
Support From The Parties. After a full investigation, discovery and arms-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Class; (b) will support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any Persons to Opt-Out or file an Objection to the Settlement or this Agreement. (Signature pages follow) Case 7:16-cv-03526-VB-JCM Document 125-1 Filed 03/29/19 Page 45 of 51
Support From The Parties. After a full investigation, discovery, and arm’s-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Settlement Class; and (b) shall support motions for entry of the Preliminary Approval Order and Final Approval Order, so long as there is no material modification of this Agreement. Case 1:21-cv-06850-PK Document 57-1 Filed 04/24/23 Page 51 of 127 PageID #: 508 Case 1:21-cv-06850-PK Document 57-1 Filed 04/24/23 Page 52 of 127 PageID #: 509 Case 1:21-cv-06850-PK Document 57-1 Filed 04/24/23 Page 53 of 127 PageID #: 510 Case 1:21-cv-06850-PK Document 57-1 Filed 04/24/23 Page 54 of 127 PageID #: 511 Exhibits to attach: Exhibit A – Claim Form Exhibit BLong Form Notice Exhibit C-1Direct Notice Exhibit C-2 – Publication Notice Exhibit DProposed Preliminary Approval Order Exhibit E – Stipulated Undertaking EXHIBIT A *6249000000000* CLAIM FORM INSTRUCTIONS If you purchased a CVS store-brand maximum strength lidocaine patch, cream, roll-on or spray product between December 11, 2017 and [DATE] you may complete this Claim Form to be eligible to receive a cash payment under the Settlement. Claim forms may be completed online at xxx.xxxxxxxxxxxxxxxxxxx.xxx or submitted by U.S. mail, postmarked no later than [DATE] to the following: Settlement Name c/x Xxxxx Settlement Administration PO Box New York, NY 10150-5391 NOTE: If you wish to receive payment electronically for an approved claim, you must complete the Claim Form online. All approved paper claims will receive checks mailed to the address you provide below. For a list of Products covered by this Settlement, please review the Product list at xxx.xxxxxxxxxxxxxxxxxxx.xxx. CLAIMANT INFORMATION First Name MI Last Name Street Address City State Zip ( ) _ - Phone Number @ . E-mail Address (e-mail address is optional if your claim is submitted by mail) *62490* *CF* *Page 1 of 3* *6249000000000* 62490 CF Page 1 of 3 CLAIM AND POTENTIAL CASH BENEFIT You may select one option below. If you select Option 2 but do not provide a Proof of Purchase, your claim will be treated as though submitted under Option 1. ☐Option 1: I purchased one or more of the CVS store-brand maximum strength lidocaine patch, cream, roll-on, or spray Products, but I do not have proof of purchase. Please provide how many Units of each Product(s) you purchased, along with the name of the Product(s) purchased (descriptions of the Product(s) will not...
Support From The Parties. After a full investigation, discovery, and arm’s-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Settlement Class; (b) shall support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any persons to Opt-Out or file an Objection to the Settlement or this Agreement. (Signature page follow) Dated this 19th day of March, 2020
Support From The Parties. After a full investigation, discovery and arms-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Class; (b) will support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any Persons to Opt-Out or file an Objection to the Settlement or this Agreement. (Signature pages follow) EXHIBIT 1 XXXXXX XXXXXXX, on behalf of himself and all others similarly situated, Plaintiff, v. ASTRAL ENERGY LLC, Defendant. SUPERIOR COURT OF NEW JERSEY LAW DIVISION: BERGEN COUNTY DOCKET NO.: BER-L-003724-18 NOTICE OF CLASS ACTION AND PROPOSED SETTLEMENT This Notice is to inform you of a proposed class action settlement of the above-captioned lawsuit. ASTRAL ENERGY LLC (“Astral Energy” or “Defendant”) customers in the following utility regions, who were residential Astral Energy customers charged a variable rate for residential electricity and/or natural gas services by Astral Energy from January 1, 2017 to December 31, 2019: PSE&G, JCP&L, Atlantic City Electric, New Jersey Natural Gas, and South Jersey Gas, may be eligible for a cash benefit. Astral Energy’s records indicate that you are a member of the Class. This Notice affects your legal rights and is given to you pursuant to Rule 4:32-2(b) of the New Jersey Rules of Court. Please read this document carefully. IF YOU ARE A MEMBER OF THIS CLASS OF PERSONS, YOU SHOULD READ THIS NOTICE CAREFULLY BECAUSE IT WILL AFFECT YOUR LEGAL RIGHTS AND OBLIGATIONS. SUBMIT A CLAIM FORM This is the only way to get a Settlement Payment under the Settlement. Submit an online Claim Form at xxx.xxxx.xxx by using the code on the front of the postcard mailed to you. You can also download a Claim Form to submit by mail at xxx.xxxx.xxx or receive one by calling 0-000-XXX-XXXX. You can also submit the postage prepaid claim form that was provided with the postcard notice you received. Deadline: EXCLUDE YOURSELF If you exclude yourself from the Settlement, you will not receive a Settlement Payment under the Settlement. Excluding yourself is the only option that allows you to ever bring or maintain your own lawsuit against Astral Energy regarding the allegations in the Action ever again. Deadline: OBJECT You may write to the Court about why you object to (i.e., do not like) the Settlement and think it should not be approved. Filing an objection does not exclude you from the Settlement. Deadline: DO NO...
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Support From The Parties. After a full investigation, discovery and arms-length negotiations, the Parties and their counsel agree that they: (a) have independently determined that this Settlement is in the best interest of the Settlement Class; (b) shall support motions for entry of the Preliminary Approval Order and Final Approval Order; and (c) will not encourage any Persons to Opt-Out or file Objections to the Settlement or this Agreement. Electronically Filed - Xxxxxx - June 15, 2018 - 02:02 PM Electronically Filed - Xxxxxx - June 15, 2018 - 02:02 PM Electronically Filed - Xxxxxx - June 15, 2018 - 02:02 PM Electronically Filed - Xxxxxx - June 15, 2018 - 02:02 PM Electronically Filed - Xxxxxx - June 15, 2018 - 02:02 PM Exhibits to attach~ Exhibit AClaim Form Exhibit BNotices to include: Publication Notice Media Plan Settlement Notice Exhibit C – List of UPC Codes for Product Exhibit DProposed Preliminary Approval Order
Support From The Parties. After a full investigation, discovery and arm’s-length negotiations, Plaintiffthe Parties and histheir counsel agree that they : (a) have independently determined that this Settlement is in the best interest of the Class.; and

Related to Support From The Parties

  • Cooperation of the Parties Each Party agrees to cooperate fully in the preparation, filing, and prosecution of any Patent Rights under this Agreement. Such cooperation includes, but is not limited to:

  • By the Parties Except as specifically provided in this Grant, modifications of this Grant shall not be effective unless agreed to in writing by the Parties in an amendment to this Grant, properly executed and approved in accordance with applicable Colorado State law, State Fiscal Rules, and Office of the State Controller Policies, including, but not limited to, the policy entitled MODIFICATIONS OF CONTRACTS - TOOLS AND FORMS.

  • COOPERATION BETWEEN THE PARTIES The College and UFE shall supply each other with requested information reasonably needed to facilitate the processing of the grievance. Meetings to discuss any grievance shall be scheduled at mutually convenient times.

  • CONTACTS BETWEEN THE PARTIES 15.1 Each Party shall update its own contact information and escalation list and shall provide such information to the other Party for purposes of inquiries regarding the implementation of this Agreement. Each Party shall accept all inquiries from the other Party and provide a timely response. CenturyLink will provide and maintain its contact and escalation list on the CenturyLink Website, and any updates also will be provided on the Website. Information contained on the Website will include a single contact telephone number for CenturyLink’s CLEC Service Center (via an 800#) that CLEC may call for all ordering and status inquiries and other day-to-day inquiries at any time during the Business Day. In addition, the Website will provide CLEC with contact information for the personnel and/or organizations within CenturyLink capable of assisting CLEC with inquiries regarding the ordering, provisioning and billing of Interconnection, UNE and resale services. Included in this information will be the contact information for a person or persons to whom CLEC can escalate issues dealing with the implementation of the Agreement and/or for assistance in resolving disputes arising under the Agreement.

  • COMMUNICATION BETWEEN THE PARTIES A copy of all communications relating to the subject matter of this Agreement between the Issuer, the Guarantor and the Noteholders or Couponholders and any of the Paying Agents (other than the Agent) shall be sent to the Agent by the other relevant Paying Agent.

  • Access Toll Connecting Trunk Group Architecture 9.2.1 If CBB chooses to subtend a Verizon access Tandem, CBB’s NPA/NXX must be assigned by CBB to subtend the same Verizon access Tandem that a Verizon NPA/NXX serving the same Rate Center Area subtends as identified in the LERG.

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