WHO IS CLASS COUNSEL Sample Clauses

WHO IS CLASS COUNSEL. The law firm of Siskinds LLP represents Class Members in Ontario and the other provinces and territories, excluding British Columbia and Quebec: Telephone (toll-free): ⚫ Email: ⚫@xxxxxxxx.xxx Mail: 000 Xxxxxxx Xxxxxx – #000, Xxxxxxx, XX, X0X 0X0, Attn: CIBC Mortgage Prepayments Class Action The law firm of Branch XxxXxxxxx LLP represents Class Members in British Columbia: Telephone (toll-free): ⚫ Email: ⚫@xxxxxxx.xxx Mail: 000 Xxxxxx Xxxxxx – #0000, Xxxxxxxxx, XX, X0X 0X0, Attn: CIBC Mortgage Prepayments Class Action This notice was authorized by the Ontario Superior Court of Justice and the Supreme Court of British Columbia. APPENDIX E NOTICE OF SETTLEMENT APPROVAL IN THE CIBC MORTGAGE PREPAYMENT CHARGE CLASS ACTIONS Read this notice carefully as it may affect your legal rights This notice is directed to: Persons residing in Canada, except persons residing in the provinces of British Columbia and Quebec, who: (i) were or are mortgagors under mortgages issued by CIBC as mortgagee from 2005 onward on residential properties located in Canada; (ii) prepaid all or part of those mortgages; and (iii) in so doing paid a prepayment charge based on an Interest Rate Differential (“IRD”). An Interest Rate Differential compares the prevailing interest rates at the time of borrowing and the time of prepayment; (this group of individuals is known as the “Ontario Class”) -and- Persons resident in British Columbia who (i) were or are mortgagors under mortgages issued by the defendant as mortgagee, (ii) prepaid part or all of the principal amounts secured by those mortgages from 2005 onwards; and (iii) paid a prepayment charge; (this group of individuals is known as the “British Columbia Class”) The Ontario Class and the British Columbia Class are defined collectively as the “Class Members.” *Excluded Persons are the Defendant CIBC Mortgages Inc. (“CIBC”) and its subsidiaries, affiliates, officers, directors, senior employees, legal representatives, heirs, predecessors, successors, and assigns. READ THIS NOTICE CAREFULLY AS IT MAY AFFECT YOUR LEGAL RIGHTS. YOU MAY NEED TO TAKE PROMPT ACTION. Important Deadline Claims Bar Deadline (to file a claim for compensation): ⚫ Claims Forms may not be accepted after the Claims Bar Deadline. As a result, it is necessary that you act without delay.
AutoNDA by SimpleDocs
WHO IS CLASS COUNSEL. The Court has approved and appointed a law firm to represent all members of the Class. Class Counsel are Patrick J. Solomon, J. Nelson Thomas, and Peter J. Glennon of THOMAS & SOLOMON LLP, 693 East Avenue, Rochester, New York 14607. Class Counsel may be reached at 585-272-0540.
WHO IS CLASS COUNSEL. The Court has approved and appointed the following to represent all Class Members (“Class Counsel”): Walcheske & Xxxx, LLC 00000 Xxxx Xxxxxxxxx Xxxx, Xxxxx 000 Xxxxxxxxxx, Xxxxxxxxx 00000 Email: xxxxxxx@xxxxxxxxxxxxx.xxx Telephone: (000) 000-0000 Class Counsel has pursued the Class Action on a contingent fee basis and has not received any payment of fees or any reimbursement of its out-of-pocket expenses related to the recovery on behalf of all Class Members. As part of the Settlement Agreement, subject to final Court approval, Class Counsel will apply for fees and costs. Under this settlement, Class Counsel’s court-approved attorneys’ fees and costs will be covered by the Settlement Fund. Participating Class Members are not responsible for payment of any of Class Counsel’s attorneys’ fees or costs. Class Members may object to the terms of the Settlement and/or to Class Counsel’s request for attorneys’ fees and costs, as explained in Section 9. Please do not direct any questions related to the case or the settlement to Bank or Bank’s lawyers. Instead, you should direct any questions to Class Counsel, whose contact information is above.
WHO IS CLASS COUNSEL. Monkhouse Law represents the Plaintiff, and, if this action is certified for settlement purposes, the Class Members. If you want to be represented by or receive advice from another lawyer, you may hire one at your own expense.
WHO IS CLASS COUNSEL. The Court has appointed the following lawyers to represent you and the Class: Xxxxxx X. Xxxxxxx, X. Xxxxxxx XxXxxxxxx, and Xxxxxx Xxxxxxxxx of Xxxxxxx Law, P.C. You are not personally responsible for payment of Attorneys’ Fees and Costs for Class Counsel. Class Counsel has worked for more than five years without pay or any guarantee of obtaining a recovery for the Ocwen customers who were harmed by the alleged consumer fraud described in this settlement. In a class action, it is customary for the attorneys representing the Class to request a legal fee and reimbursement of expenses. Thus, Class Counsel will ask the Court to approve a legal fee of up to one-third of the value of the monetary settlement recovery as updated at time of final court approval ($24,824,622 + $1,632,605.48), to be paid from the total settlement amount of $24,824,622, as well as reimbursement of litigation expenses not to exceed $600,000. Class Counsel will also ask the Court to authorize Service Awards ranging from $2,500 to $15,000 to be paid from the settlement amount to the Class Representatives who contributed in a significant way by, among other things, bringing this action, providing important information and documents used to achieve the settlement, and having their depositions taken by Defendants.
WHO IS CLASS COUNSEL. The Court appointed the named Plaintiffs’ attorneys in the Lawsuit as Counsel for the Class (“Class Counsel”). Class Counsel are Xxxxxxxxxxx X. Xxxxxxx and Xxxxx X. Xxxxxx of Xxxxxx Xxxxxxx & Associates LLC and Xxxxx X. Xxxxxxxx of Xxxxxx & Xxxxxxxxx, P.C. You are not required to hire your own lawyer because Class Counsel will be working on your behalf as a member of the Class. If you want to hire your own lawyer you are permitted to do so at your own expense.
WHO IS CLASS COUNSEL. In its Preliminary Approval Order, the Court appointed Xxxxxx Xxxxx of Xxx Xxxxxxxxx LLP; Xxxxxx X. Xxxxxx of Xxxxx Xxxxxx Xxxxxxx, LLP; X. Xxxxx Xxxx of XxXxxx Xxxxxx & Xxxxxxxx XXX; Xxxxxxx X. Xxxxxx of Xxxxxx Xxxxxxxx Xxxx; and Xxxxx X. Xxxxxx of Xxxxxx, Xxxxx & Xxxx, LLP, as Co-Lead Class Counsel to represent Plaintiffs and the Settlement Class Members. You will not be charged for these lawyers. If you wish to be represented by your own lawyer, you may hire one at your own expense. The contact information for Co-Lead Class Counsel is set forth below: Austin Xxxxx Xxx Xxxxxxxxx, LLP 0000 X. Xxxxxxx xx Xxxxx Xxxxxxx, Xxxxx X000 Xxxxxx, Xxxxx 00000 (512) 328-5333 xxxxxx@xxxxxx.xxx Xxxxxx X. Linkin Xxxxx Xxxxxx Mandala, LLP 0000 Xxx Xxxxxxx, Xxxxx 000 Xxxxxx, Xxxxx 00000 (737) 201-1616 xxxxxxx@xxxxxxxxxxx.xxx X. Xxxxx Xxxx XxXxxx, Xxxxxx 7 Xxxxxxxx, LLP 000 Xxxxxxxx Xxxxxx, Xxxxx 0000 Xxxxxx, Xxxxx 00000 (512) 457-8000 xxxxx@xxxxxx.xxx Xxxxx Xxxxxx Xxxxxx, Riley, & Pitt, LLP The Financial Center 000 00xx Xxxxxx X., Xxxxx 0000 Xxxxxxxxxx, Xxxxxxx 00000 xxxxxxx@xxxxxxxx.xxx
AutoNDA by SimpleDocs
WHO IS CLASS COUNSEL. The Court has appointed the named Plaintiffs’ attorneys in the Lawsuit as Counsel for the Class (“Class Counsel”). Class Counsel are Xxxxx X. Xxxxxx and Xxxxxxxxxxx X. Xxxxxxx of Xxxxxx Xxxxxxx & Associates LLC, Xxxx Xxxxx of Xxxxx Law, LLC and W. Xxxxx Xxxxxx. Class Counsel’s contact information is as follows: XXXXXX XXXXXXX & ASSOCIATES LLC 000 X. Xxxxxxxx Xxx., Xxxxx 000 Xxxxxxx (St. Xxxxx), MO 63105 Telephone: (000) 000-0000 Facsimile: (000) 000-0000 Email: Xxxxxx@XxxxxxXxxxxxx.xxx Email: XXxxxxxx@xxxxxxxxxxxxx.xxx Xxxxx Law, LLC 0000 Xxxxxxxx Xxx, #0000 Xx. Xxxxx, MO 63105 Telephone: (000) 000-0000 Facsimile: (000) 000-0000 Email: xxxx@xxxxxxxxxxx.xxx W. Xxxxx Xxxxxx 0000 Xxxxxxxx Xxx., Ste. 1300 St. Xxxxx, MO 63105 Telephone: 000-000-0000 Email: xxxxxxxx@xxxxxxxxx.xxx You are not required to hire your own lawyer because Class Counsel will be working on your behalf if you are a member of the class. If you want to hire your own lawyer, you are permitted to do so at your own expense.
WHO IS CLASS COUNSEL. The Court appointed the named Plaintiff’s attorneys in the Lawsuit as Counsel for the Settlement Class (“Class Counsel”). Class Counsel are Xxxxxxxxxxx X. Xxxxxxx and Xxxxx X. Xxxxxx of Xxxxxx Xxxxxxx & Associates LLC and Xxxxx X. Xxxxxx of The Law Offices of Xxxxx

Related to WHO IS CLASS COUNSEL

  • To Class Counsel A Class Counsel Fees Payment of not more than %, which is currently estimated to be $ , and a Class Counsel Litigation Expenses Payment of not more than $ . XYZ will not oppose requests for these payments provided that do not exceed these amounts. Plaintiff and/or Class Counsel will file a motion for Class Counsel Fees Payment and Class Litigation Expenses Payment no later than [16 court] days prior to the Final Approval Hearing. If the Court approves a Class Counsel Fees Payment and/or a Class Counsel Litigation Expenses Payment less than the amounts requested, the Administrator will allocate the remainder to the Net Settlement Amount. Released Parties shall have no liability to Class Counsel or any other Plaintiff’s Counsel arising from any claim to any portion any Class Counsel Fee Payment and/or Class Counsel Litigation Expenses Payment. The Administrator will pay the Class Counsel Fees Payment and Class Counsel Expenses Payment using one or more IRS 1099 Forms. Class Counsel assumes full responsibility and liability for taxes owed on the Class Counsel Fees Payment and the Class Counsel Litigation Expenses Payment and holds XYZ harmless, and indemnifies XYZ, from any dispute or controversy regarding any division or sharing of any of these Payments.

  • Notice to Class Members 8.4.1 No later than three (3) business days after receipt of the Class Data, the Administrator shall notify Class Counsel that the list has been received and state the number of Class Members, PAGA Members, Workweeks, and Pay Periods in the Class Data.

  • Participating Class Members The Administrator will send, by U.S. mail, a single check to every Participating Class Member (i.e., every Class Member who doesn’t opt-out) including those who also qualify as Aggrieved Employees. The single check will combine the Individual Class Payment and the Individual PAGA Payment.

Time is Money Join Law Insider Premium to draft better contracts faster.