STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement • March 3rd, 2022 • New York
Contract Type FiledMarch 3rd, 2022 JurisdictionThis Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Walleye Trading LLC and Walleye Opportunities Master Fund Ltd. (“Co-Lead Plaintiffs”), on behalf of themselves and all other members of the Settlement Class (defined below), on the one hand, and Mindbody, Inc. (“Mindbody” or the “Company”), Richard L. Stollmeyer, Brett White, and Eric Liaw (collectively, the “Individual Defendants” and, with Mindbody, “Defendants”), on the other, and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). This Stipulation is intended by Co-Lead Plaintiffs and Defendants (collectively, the “Parties”) to fully, finally, and forever resolve, discharge, and settle the Released Plaintiff’s Claims as against the Released Defendant Parties and the Released Defendants’ Claims as against the Released Plaintiff Parties (each of these capitalized terms is defined below), upon and subject to the terms and conditions her
STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement • March 3rd, 2022 • New York
Contract Type FiledMarch 3rd, 2022 JurisdictionThis Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Walleye Trading LLC and Walleye Opportunities Master Fund Ltd. (“Co-Lead Plaintiffs”), on behalf of themselves and all other members of the Settlement Class (defined below), on the one hand, and Mindbody, Inc. (“Mindbody” or the “Company”), Richard L. Stollmeyer, Brett White, and Eric Liaw (collectively, the “Individual Defendants” and, with Mindbody, “Defendants”), on the other, and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). This Stipulation is intended by Co-Lead Plaintiffs and Defendants (collectively, the “Parties”) to fully, finally, and forever resolve, discharge, and settle the Released Plaintiff’s Claims as against the Released Defendant Parties and the Released Defendants’ Claims as against the Released Plaintiff Parties (each of these capitalized terms is defined below), upon and subject to the terms and conditions her
STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement • March 1st, 2018
Contract Type FiledMarch 1st, 2018This Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Boston Retirement System (“Boston”), Si Nguyen, Hong-Luu Nguyen, John Nguyen, and the Si Tan Nguyen Trust (the “Nguyen Family”) (collectively, “Lead Plaintiffs”), on behalf of themselves, additional plaintiff Retail Wholesale Department Store Union Local 338 Retirement Fund (“Local 338”), and all other members of the Settlement Class (defined below), on the one hand, and PTC Therapeutics, Inc. (“PTC,” “PTC Therapeutics,” or “the Company”), Stuart Peltz, and Shane Kovacs (collectively, “Defendants”), on the other.