Workweeks and Pay Periods. Based on a review of their records to date, Defendants estimated that, as of June 23, 2023, there were 125 Class Members who worked a total of 17,722 Workweeks and 109 Aggrieved Employees who worked a total of 7,856 of PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 358 Class Members who worked a total of 17,722 Workweeks 7,500 Workweeks, and 109 approximately 249 Aggrieved Employees who worked a total of 7,856 of approximately 2,877 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated thatDefendant estimates there are approximately 739 Class Members, as of June 23whom approximately 551 are former employees, 2023, there were 125 Class Members who worked a total of 17,722 Workweeks approximately 56,215 Workweeks, and 109 approximately 433 Aggrieved Employees who worked a total of 7,856 of approximately 22,311 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 561 Class Members who worked a total of 17,722 Workweeks 33,000 Workweeks, and 109 250 Aggrieved Employees who worked a total of 7,856 6,088 of PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, estimate there were 125 are 136 Class Members who worked a total of 17,722 Workweeks 9,123 Workweeks, and 109 95 Aggrieved Employees who worked a total of 7,856 of 1,431 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 200 Class Members who worked a total of 17,722 Workweeks 12,705 Workweeks, and 109 82 Aggrieved Employees who worked a total of 7,856 of 207 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 44 Class Members who worked a total of 17,722 Workweeks approximately 7,000 Workweeks, and 109 32 Aggrieved Employees who worked a total of 7,856 of approximately 1,540 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their records to date, Defendants estimated that, as of June 23, 2023, estimate there were 125 are 957 Class Members who collectively worked a total of 17,722 Workweeks 72,500 Workweeks, and 109 approximately 531 Aggrieved Employees who worked a total of 7,856 of PAGA 12,638 Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 128 Class Members who worked a total of 17,722 Workweeks 10,991 Workweeks, and 109 64 Aggrieved Employees who worked a total of 7,856 1,632 of PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 165 Class Members who worked a total of 17,722 Workweeks 4,002.7 Workweeks, and 109 137 Aggrieved Employees who worked a total of 7,856 of 1,855 PAGA Pay Periods.
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Workweeks and Pay Periods. Based on a review of their its records to date, Defendants estimated that, as of June 23, 2023, Defendant estimates there were 125 are 589 Class Members who worked a total of 17,722 Workweeks 38,192 Workweeks, and 109 374 Aggrieved Employees who worked a total of 7,856 19,032 of PAGA Pay Periods.
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