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