The Xxxxx Action Sample Clauses

The Xxxxx Action. On May 3, 2017, the case of Xxxxxxx Xxxxx v. DG Hospitality Van Nuys, LLC; The Spearmint Rhino Companies Worldwide, Inc.; Spearmint Rhino Consulting Worldwide, Inc.; Dames N’ Games; Xxxx Does #1-10; and XYZ Corporations #1-10 was filed in the United States District Court for the Central District of California, Case No. 5:17- cv-00854. Plaintiff Xxxxx purports to represent a nationwide class of entertainers for alleged violations of the FLSA. In the interim, Xxxxxxx Xxxxxxxx (Xxxxx Xxxxx Xxx. #23) “opted in” to the Xxxxx Action. On July 24, 2017, the Xxxxx Action was transferred to Judge Xxxxxx for all purposes. The Court entered a stipulation to stay the Xxxxx Action until October 31, 2017.
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The Xxxxx Action. 1.17. On December 23, 2022, Xxxxxxxxx Xxxxx filed a class action complaint in the Western District of Washington against Defendants, entitled Xxxxx x. Travel Guard Group Inc. et al., No. 3:22-cv-06005. In the Xxxxx Action, Plaintiff Xxxxx alleges that Defendants violate Washington law by unlawfully, unfairly, and/or deceptively requiring consumers to pay a fee for “non-insurance assistance services” on top of the authorized insurance premium to obtain the insurance they seek with each Travel Guard Plan. In the Xxxxx Action, Plaintiff Xxxxx asserted two claims on behalf of herself, those similarly situated, and the general public: (a) for violation of Washington’s Consumer Protection Act (the “CPA”), RCW 19.86.010 et seq.; and (b) for breach of Defendants’ duty of good faith in insurance matters. 1.18. On February 2, 2023, Defendants filed a motion to compel arbitration of Plaintiff Xxxxx’x claims, which Plaintiff Xxxxx opposed. The Washington Court denied Defendants’ motion to compel arbitration of Plaintiff Xxxxx’x claims on July 24, 2023. 1.19. Defendants appealed the denial of their motion to compel arbitration. Defendants’ appeal of that order was pending as case number 23-35513 in the Ninth Circuit Court of Appeals, but has been administratively closed (subject to reopening) pending this Settlement. The proceedings in the Washington Court were automatically stayed as a result of Defendants’ appeal, and remain stayed.

Related to The Xxxxx Action

  • SOMEC XXXXX XXXXX XXXXX XXXXX XXXXX UNBUNDLED LOCAL SWITCHING, PORT USAGE End Office Switching (Port Usage) End Office Switching Function, Per MOU 0.0010519 End Office Trunk Port - Shared, Per MOU 0.0002136 Tandem Switching (Port Usage) (Local or Access Tandem) Tandem Switching Function Per MOU 0.0001634 Tandem Trunk Port - Shared, Per MOU 0.0002863 Tandem Switching Function Per MOU (Melded) 0.00004951 Tandem Trunk Port - Shared, Per MOU (Melded) 0.000086749 Melded Factor: 30.30% of the Tandem Rate Common Transport Common Transport - Per Mile, Per MOU 0.0000045 Common Transport - Facilities Termination Per MOU 0.0004095

  • Xxxx Xxxxx Where the parties cannot agree on an arbitrator, one of the above named will be chosen at random.

  • Xxxx-Xxxxx-Xxxxxx Notwithstanding any other provision in this Agreement, in the event the Xxxx Xxxxx Xxxxxx Antitrust Improvements Act of 1976, as amended (the “HSR Act”), is applicable to any Member by reason of the fact that any assets of the Company will be distributed to such Member in connection with the dissolution of the Company, the distribution of any assets of the Company shall not be consummated until such time as the applicable waiting periods (and extensions thereof) under the HSR Act have expired or otherwise been terminated with respect to each such Member.

  • Xxx Xxxxx Chairman

  • Xxxxx Xxxxx Associates is a specialist foreign direct investment practice, providing corporate establishment, business advisory, tax advisory and compliance, accounting, payroll, due diligence and financial review services to multinationals investing in emerging Asia.

  • Xxxx Xxxx Purchase Order and Sales Contact Email 2 2 Purchase Order and Sales Contact Phone 2 3 Company Website 4 Entity D/B/A's and Assumed Names 5 Primary Address 2 6 Primary Address City 7 Primary Address State 2 8 Primary Address Zip 9 Search Words Identifying Vendor Certification of Vendor Residency (Required by the State of Texas)

  • Xxxxx Xxxx Purchase Order and Sales Contact Email 2 Purchase Order and Sales Contact Phone 2 3 Company Website 2 4 Entity D/B/A's and Assumed Names 5 Primary Address 2 6 Primary Address City 7 Primary Address State 2 8 Primary Address Zip 9 Search Words Identifying Vendor Certification of Vendor Residency (Required by the State of Texas)

  • Xxxx-Xxxxx-Xxxxxx Act The waiting period (and any extension thereof) applicable to the consummation of the transactions contemplated hereby under the HSR Act shall have expired or been terminated.

  • Xxxxxx Xxxxxx Xxxx Xx Day, 3rd Monday in January;

  • Force Xxxxxx The Escrow Agent shall not be responsible for any failure or delay in the performance of its obligations under this Agreement arising out of or caused, directly or indirectly, by circumstances beyond its reasonable control, including without limitation, acts of God, earthquakes, fires, floods, wars, civil or military disturbances, sabotage, epidemics, riots, interruptions, loss or malfunctions of utilities, computer (hardware or software) or communication service, accidents, labor disputes, acts of civil or military authority, or governmental actions.

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