STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement of Settlement • April 5th, 2017
Contract Type FiledApril 5th, 2017This stipulation and agreement of settlement (the “Stipulation”) is made and entered into by and between Arkansas Public Employees Retirement System (“APERS”) and the IBEW Local No. 58 / SMC NECA Funds (“IBEW Local No. 58”)1 (collectively, “Class Representatives” or “Lead Plaintiffs”), on behalf of themselves and all members of the certified Class (defined below) and KBR, Inc. (“KBR” or the “Company”) and William P. Utt, Susan K. Carter, Dennis S. Baldwin, and Brian K. Ferraioli (collectively, “Defendants” and together with Class Representatives, the “Parties”) and embodies the terms and provisions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the United States District Court for the Southern District of Texas (the “Court”) and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever compromise, settle, release, resolve, and dismiss with prejudice all claims asserted in the Action.
STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement of Settlement • April 5th, 2017
Contract Type FiledApril 5th, 2017This stipulation and agreement of settlement (the “Stipulation”) is made and entered into by and between Arkansas Public Employees Retirement System (“APERS”) and the IBEW Local No. 58 / SMC NECA Funds (“IBEW Local No. 58”)1 (collectively, “Class Representatives” or “Lead Plaintiffs”), on behalf of themselves and all members of the certified Class (defined below) and KBR, Inc. (“KBR” or the “Company”) and William P. Utt, Susan K. Carter, Dennis S. Baldwin, and Brian K. Ferraioli (collectively, “Defendants” and together with Class Representatives, the “Parties”) and embodies the terms and provisions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the United States District Court for the Southern District of Texas (the “Court”) and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever compromise, settle, release, resolve, and dismiss with prejudice all claims asserted in the Action.
STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement of Settlement • July 1st, 2015
Contract Type FiledJuly 1st, 2015This stipulation and agreement of settlement (the “Stipulation”) is made and entered into by and between Lead Plaintiffs Laborers Pension Trust Fund – Detroit and Vicinity (“Detroit”), Connecticut Carpenters Pension Fund and Connecticut Carpenters Annuity Fund (“Connecticut”), St. Paul Teachers’ Retirement Fund Association (“St. Paul”), and Universal Investment Gesellschaft m.b.H. (“Universal”) (collectively, “Class Representatives” or “Lead Plaintiffs”), on behalf of themselves and all members of the certified Class (defined below), and Conn’s, Inc. (“Conn’s” or the “Company”) and Theodore Wright and Michael J. Poppe (collectively, “Defendants” and together with Class Representatives, the “Parties”), and embodies the terms and provisions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the United States District Court for the Southern District of Texas (the “Court”) and the terms and conditions expressly provided herein, this Stipulation is in
STIPULATION AND AGREEMENT OF SETTLEMENTStipulation and Agreement of Settlement • July 1st, 2015
Contract Type FiledJuly 1st, 2015This stipulation and agreement of settlement (the “Stipulation”) is made and entered into by and between Lead Plaintiffs Laborers Pension Trust Fund – Detroit and Vicinity (“Detroit”), Connecticut Carpenters Pension Fund and Connecticut Carpenters Annuity Fund (“Connecticut”), St. Paul Teachers’ Retirement Fund Association (“St. Paul”), and Universal Investment Gesellschaft m.b.H. (“Universal”) (collectively, “Class Representatives” or “Lead Plaintiffs”), on behalf of themselves and all members of the certified Class (defined below), and Conn’s, Inc. (“Conn’s” or the “Company”) and Theodore Wright and Michael J. Poppe (collectively, “Defendants” and together with Class Representatives, the “Parties”), and embodies the terms and provisions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the United States District Court for the Southern District of Texas (the “Court”) and the terms and conditions expressly provided herein, this Stipulation is in