Common Contracts

4 similar Settlement Agreement contracts by Paincare Holdings Inc

SETTLEMENT AGREEMENT
Settlement Agreement • August 28th, 2007 • Paincare Holdings Inc • Services-misc health & allied services, nec • Florida

This Settlement Agreement (“Settlement Agreement”) is entered into effective as of August 13, 2007, by and among PainCare Holdings, Inc. (“PainCare”) and PainCare Acquisition Company XIX, Inc. (“PainCare Sub”) (PainCare and PainCare Sub are hereinafter sometimes referred to as the “Sellers”) and DESERT PAIN CARE MEDICINE GROUP, INC., A MEDICAL CORPORATION, a California professional corporation (the “Practice”) and C. Edward Anderson, Jr., M.D. (“Dr. Anderson”)(the Practice and Dr. Anderson are hereinafter sometimes referred to as the “Purchasers”). Each of the Sellers and the Purchasers may be referred to herein as a “Party” or collectively, as the “Parties.”

AutoNDA by SimpleDocs
SETTLEMENT AGREEMENT
Settlement Agreement • August 28th, 2007 • Paincare Holdings Inc • Services-misc health & allied services, nec • Florida

This Settlement Agreement (“Settlement Agreement”) is entered into effective as of August 17, 2007, by and among PainCare Holdings, Inc. (“PainCare”) and PainCare Acquisition Company X, Inc. (“PainCare Sub”) (PainCare and PainCare Sub are hereinafter sometimes referred to as the “Sellers”) and DENVER PAIN MANAGEMENT, P.C., a Colorado professional corporation (the “Practice”) and Robert E. Wright, M.D. (“Dr. Wright”)(the Practice and Dr. Wright are hereinafter sometimes referred to as the “Purchasers”). Each of the Sellers and the Purchasers may be referred to herein as a “Party” or collectively, as the “Parties.”

SETTLEMENT AGREEMENT
Settlement Agreement • August 2nd, 2007 • Paincare Holdings Inc • Services-misc health & allied services, nec • Virginia

This Settlement Agreement (“Settlement Agreement”) is entered into as of July 31, 2007, by and among PainCare Holdings, Inc. (“PainCare”) and PainCare Acquisition Company XVIII, Inc. (“PainCare Sub”) (PainCare and PainCare Sub are hereinafter sometimes referred to as the “Sellers”) and Piedmont Centers for Spinal Disorders of Virginia, P.C. (the “Practice”) and Lawrence F. Cohen, M.D. (the “Dr. Cohen”)(the Practice and Dr. Cohen are hereinafter sometimes referred to as the “Purchasers”). Each of the Sellers and the Purchasers may be referred to herein as a “Party” or collectively, as the “Parties.”

SETTLEMENT AGREEMENT
Settlement Agreement • August 2nd, 2007 • Paincare Holdings Inc • Services-misc health & allied services, nec • Florida

This Settlement Agreement (“Settlement Agreement”) is entered into effective as of July 27, 2007, by and among PainCare Holdings, Inc. (“PainCare”) and PainCare Acquisition Company XXIII, Inc. (“PainCare Sub”) (PainCare and PainCare Sub are hereinafter sometimes referred to as the “Sellers”) and Rocky Mountain Pain Consultants, P.C. (the “Practice”) and Floyd O. Ring, Jr., M.D. (“Dr. Ring”) (the Practice and Dr. Ring are hereinafter sometimes referred to as the “Purchasers”). Each of the Sellers and the Purchasers may be referred to herein as a “Party” or collectively, as the “Parties.”

Time is Money Join Law Insider Premium to draft better contracts faster.