Your Other Options. If you do nothing, your rights will be affected, and you won’t get a payment. If you file a Claim Form, object to the Settlement or do nothing, you are choosing to stay in the Settlement Class. You will be legally bound by all orders of the Court and you will not be able to start, continue or be part of any other lawsuit against Google about the allegations of the case or other Released Claims. If you don’t want to be legally bound by the Settlement or receive any benefits from it, you must exclude yourself by [OPT-OUT/OBJECTION DEADLINE]. If you do not exclude yourself, you may object to the Settlement by [OPT-OUT/OBJECTION DEADLINE]. The Long Form Notice available on the Settlement Website explains how to exclude yourself or object. FILED DATE: 4/14/2022 8:11 PM 2019CH00990 The Final Approval Hearing: The Court will hold a Final Approval Hearing on [FINAL APPROVAL DATE] to consider whether to approve the Settlement and award Service Payments of up to $5,000 to the Class Representatives, attorneys’ fees of up to 40% of the Settlement Fund, and, reimbursement of expenses, as well as consider any objections. Motions for these fees and expenses will be posted on the Settlement Website when they are filed with the Court. You may appear at the hearing, either yourself or through an attorney hired by you, but you don’t have to. The hearing may be held remotely at the Court’s discretion. For more information, call or visit the Settlement Website, xxx.XxxxxxXXXXXxxxxxxxxx.xxx.
Your Other Options. Even if you do nothing, you will be bound by the Court’s decisions. If you want to keep your right to xxx Comcast yourself, you must exclude yourself by <Month Day, Year>. If you stay in the Settlement, you may object to it by <Month Day, Year>. The Court will hold a hearing in the case on <Month Day, Year>, to consider whether to approve the Settlement, and a request by Settlement Class Counsel for up to $15 million for attorneys’ fees and expenses to be paid out of the Settlement. You or your own lawyer may ask to appear and speak at the hearing at your own cost, but you do not have to. For more information about the Settlement and your rights, call or go to the website shown below. xxx.XxxxxXxxxxxxxxx.xxx <Phone Number> UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA There is a Settlement in a class action lawsuit against Comcast claiming that certain business practices resulted in subscribers paying higher prices for cable TV services in the Philadelphia area. You are included in the Settlement if you 1) currently subscribe to or 2) had Comcast cable TV services (above and beyond basic cable) at any time from January 1, 2003 through December 31, 2008 in these counties: Bucks, Xxxxxxx, Delaware, Xxxxxxxxxx, or Philadelphia, PA. The Settlement offers credits for services or a one-time $15 xxxx credit to current Comcast Subscribers. Former Subscribers can get a $15 cash payment. Submit a Claim Form by Month 00, 2014 Submit a Claim Form for a cash payment and/or credits for certain Comcast services (see Question 11). Exclude Yourself by Month 00, 2014 Ask to be excluded and get no benefits from the Settlement. This is the only option that allows you to keep the right to xxx Comcast at your own expense (see Question 16). Object by Month 00, 2014 Write to the Court about why you do not like the Settlement (see Question 19). Go to a Hearing Ask to speak in Court about the fairness of the Settlement (see Question 19). Do Nothing Give up your rights to xxx Comcast for the legal claims resolved by this case. Current Subscribers who do nothing will automatically receive two free months of The Movie Channel®. Former Subscribers who do nothing will not get any benefits. The Court in charge of this case still has to decide whether to approve the Settlement. If it does, and after any appeals are resolved, payments and/or credits will be distributed to those who file a valid and timely Claim Form.
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude yourself by XXXXXXXX, 2020. If you do not exclude yourself, you will release any claims you may have, as more fully described in the Settlement Agreement, available at the settlement website. You may remain a Settlement Class Member and object to the Settlement by XXXXXXXX, 2020. You may choose to pay for and be represented by a lawyer who may send the objection for you. The website explains how to exclude yourself or object.
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude yourself by INSERT. If you do not exclude yourself, you may object to the Settlement by submitting a written objection by INSERT. The Notice of Settlement available at the website explains how to exclude yourself from or object to the Settlement. The Court will hold a Final Approval Hearing on INSERT to decide whether to approve the Settlement, whether to award Class Counsel attorneys’ fees and expenses up to $1.5 million paid separately from the class relief, and whether to award the Class Representatives service awards of up to $2,500. You may hire you own attorney at your own expense but you do not have to. If approved, these amounts, as well as all settlement administration costs, will be paid by Generac. For detailed information call +1- INSERT or visit INSERT. • A settlement has been proposed in a class action against Generac Power Systems, Inc. (“Generac”). • The case concerns an Inspection Notice Letter that was sent to owners of certain Generac air cooled home standby generators in specific regions of the United States for units that were manufactured between 2008 - 2016. • The Inspection Notice Letter offered inspections of generators’ fuel plenums for a discounted $80 fee that would be refunded if a plenum had significant corrosion (the “Inspection Program”). • The Plaintiffs allege that Generac should not have had fees associated with the inspections, and that doing so amounted to a breach of Generac’s express or implied warranties. • Generac denies any liability and has moved to dismiss the Plaintiffs’ claims. The parties subsequently settled the lawsuit in order to avoid the costs, uncertainty, and inconvenience of litigation. • The Settlement provides three kinds of potential benefits to Settlement Class Members: reimbursement, inspection, and, if necessary, replacement. • First, Settlement Class Members who paid for an inspection of their Class Generator pursuant to the Inspection Program and the Inspection Notice Letter can file a claim (a “Reimbursement Claim”) for a refund of their unreimbursed, out-of- pocket $80 inspection fee. • Second, Settlement Class Members who have not had their generator plenum inspected through the Inspection Program can submit a claim for a cost-free plenum inspection of their Class Generator by an Authorized Service Dealer (an “Inspection 1 The definition of any capitalized term not defined herein can be found in the Settlement Agreeme...
Your Other Options. If you don’t want to be bound by the settlement, you must exclude yourself by sending a letter to the return address on the other side of this card by ADD DATE. Unless you exclude yourself you won’t be able to sue NAPG for any claim asserted in this lawsuit or released by the Settlement Agreement. If you stay in the settlement, you may object to it or ask for permission for you or your own lawyer to appear and speak at the hearing—at your own cost—but you don’t have to. Objections and requests to appear must be in writing and are due by Month Day, 2018. More information, including details on how to opt-out or object, is in the detailed notice and materials available on the settlement website, xxx.xxx.xxx. The Court will hold a hearing on ADD DATE TIME AND PLACE to consider whether to approve the settlement and to award attorneys’ fees in an amount not to exceed $3,669,000 and awards for each of the 8 Class Representatives in an amount not to exceed $5,000 each. The motion for attorneys’ fees and costs and plaintiff incentive awards will be posted on the website after they are filed. This is only a summary, for complete information, visit the website or call 0-000-XXX-XXXX. {00289757 } XXXX X. XXXXXXX, XXXXX XXXXXXXXXX, XXXXXX XXXXXXXXXX and XXXXX XXXXXXX, on behalf of themselves and all others similarly situated, Plaintiffs,
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude yourself by xxxxxxxxxx. If you do not exclude yourself, you will release any claims you may have, as more fully described in the Settlement Agreement, available at the Settlement Website. You may object to the Settlement by xxxxxxxxxx. The Court will hold a Final Approval Hearing on xxxxxxxxxx to consider whether to approve the Settlement, a request for attorneys’ fees of $1,450,000.00, and service awards of $2,500 to each Class Representative. You may appear at the hearing, either yourself or through an attorney you hire, but you don’t have to. For more information, call or visit the Settlement Website. þ 000004/00995239_1 XXXXXXX XXXX, individually and on behalf of all others similarly situated,
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude yourself by DATE. If you do not exclude yourself, you will release any claims you may have against Kia and the Released parties and be eligible to receive certain settlement benefits, as more fully described in the Settlement Agreement, available at the Settlement Website. You may object to the Settlement by DATE. You cannot both exclude yourself from, and object to, the Settlement. The Long Form Notice available on the website listed below explains how to exclude yourself or object. The Court will hold a hearing on DATE to consider whether to finally If you bought or leased certain 2006-2021 model year Hyundai or Kia vehicles you may benefit from a class action settlement.
Your Other Options. If you do not want to be legally bound by the Settlement, you must exclude yourself by [date]. If you do not exclude yourself, you will release any claims you may have against Hyundai and the Released parties and be eligible to receive certain settlement benefits, as more fully described in the Settlement Agreement, available at the Settlement Website. You may object to the Settlement by [date]. You cannot both exclude yourself from, and object to, the Settlement. The Long Form Notice available on the website listed below explains how to exclude yourself or object. The Court will hold a hearing on [date] to consider whether to finally approve the Settlement and a request for attorneys’ fees and costs of up to $12 million. You may appear at the hearing, either yourself or through an attorney hired by you, but you don’t have to. For more information, call [1-XXX-XXX-XXXX] or visit [website]. Who’s Included? Kia’s records indicate you may be a Class Member. You are a Settlement Class member if you owned or leased one of the vehicle models listed below in the United States, including those purchased while you were abroad on active U.S. military duty: 2008-2009 and 2014-2021 Kia Sportage; 2007-2009 and 2014- 2015 Kia Sorento; 2013-2015 Kia Optima; 2018-2021 Kia Stinger; 2006-2010 Xxx Xxxxxx; 2017-2019 Kia Cadenza; and 2016-2018 Kia K900.
Your Other Options. If you do nothing, your rights will be affected, and you won’t get a payment. If you file a Claim Form, object to the Settlement or do nothing, you are choosing to stay in the Settlement Class. You will be legally bound by all orders of the Court and you will not be able to start, continue or be part of any other lawsuit against Google about the allegations of the case or other Released Claims. If you don’t want to be legally bound by the Settlement or receive any benefits from it, you must exclude yourself by Month Day, 2022. If you do not exclude yourself, you may object to the Settlement by Month Day, 2022. The Long Form Notice available on the website explains how to exclude yourself or object.