Confidential Settlement Agreement Sample Contracts

WITNESSETH:
Confidential Settlement Agreement • November 14th, 2006 • Ipg Photonics Corp • Semiconductors & related devices • New York
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CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • November 29th, 2019
MODIFICATION OF CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • March 30th, 2005 • PLM Equipment Growth Fund V • Services-equipment rental & leasing, nec • Florida

This Modification of Confidential Settlement Agreement (this “Modification”) is dated as of the ____ day of September, 2004, by and between PLM WORLDWIDE LEASING CORP. (“PLM”), a California corporation, and VARIG S.A. (VIACAO AEREA RIO-GRANDENSE) also known as Varig Brazilian Airlines (“Varig”), a Brazilian corporation. PLM and Varig are collectively referred to herein as the “Parties.”

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • May 10th, 2010 • Hansen Medical Inc • Orthopedic, prosthetic & surgical appliances & supplies

This Confidential Settlement Agreement (“Agreement”) is entered into as of December 11, 2009, by and between Luna Innovations, Inc. (“Luna”) and Luna Technologies, Inc. (“Luna Technologies”) (collectively, the “Debtors”), and Hansen Medical, Inc. (“Hansen”) (together with the Debtors, the “Parties”).

CONFIDENTIAL SETTLEMENT AGREEMENT AND GENERAL RELEASE
Confidential Settlement Agreement • January 18th, 2017

This Confidential Settlement Agreement and Mutual Release of Claims and Exhibits (collectively, the “Settlement Agreement”) is entered into by and among (i) MGM Resorts International f/k/a MGM Mirage, MGM Grand Hotel, LLC, MGM Grand Condominiums, LLC, The Signature Condominiums, LLC, Signature Tower I, LLC, Signature Tower 2, LLC, Signature Tower 3, LLC, Turnberry/Harmon Ave., LLC and Turnberry West Realty, Inc. (collectively, the “Settling Defendants”); (ii) Turnberry/MGM Grand Towers, LLC, Turnberry/MGM Grand Tower B, LLC, Turnberry/MGM Grand Tower C, LLC (collectively, the “Debtors”) and (iii) the Plaintiff(s) whose name(s) and signature(s) are reflected on the signature page of this agreement (“Plaintiff”). Each Settling Defendant, each Debtor and Plaintiff shall be referred to as a “Party” and collectively as the “Parties.”

EX-10.23 2 a10-6415_1ex10d23.htm EX-10.23 CONFIDENTIAL SETTLEMENT AGREEMENT AND GENERAL MUTUAL RELEASE
Confidential Settlement Agreement • May 5th, 2020 • California

THIS CONFIDENTIAL AGREEMENT AND GENERAL MUTUAL RELEASE [sometimes, ‘this Agreement’] is entered into between ETELOS, INC., a Delaware corporation [‘Etelos’] and Jeffrey L. Garon and the Jeffrey and Alesia Garon Family Trust Dated August 22, 2002, Jeffrey L. Garon and Alesia Garon, Trustees [collectively, ‘Garon’][As used in this Agreement, Etelos and Garon are each a ‘Party’ or, collectively, the ‘Parties’].

SECOND AMENDMENT TO THE CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE AMONG CONGOLEUM CORPORATION,
Confidential Settlement Agreement • March 31st, 2008 • Congoleum Corp • Plastics products, nec

This Second Amendment (the “Second Amendment”) to that certain Confidential Settlement Agreement and Release Among Congoleum Corporation, the Plan Trust and Certain Underwriters at Lloyd’s, London, dated June 22, 2005 (the “Agreement”), is made this 8th day of November, 2007, by and between Congoleum and, upon its creation, the Plan Trust, on the one hand, and Lloyd’s Underwriters, on the other hand.

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • June 14th, 2021 • Codex DNA, Inc. • Laboratory analytical instruments • California

This Confidential Settlement Agreement ("Settlement Agreement") is entered into and effective as of the 20th day of September, 2017 (the "Effective Date"), by and between Synthetic Genomics, Inc. ("SGI") and New England BioLabs, Inc. ("NEB") (SGI and NEB are sometimes referred to herein individually as a "Party," and collectively as the "Parties").

EX-10.28 2 biol-ex1028_451.htm EX-10.28 Confidential Settlement Agreement
Confidential Settlement Agreement • May 5th, 2020 • California

This Confidential Settlement Agreement (this “Agreement”) is entered into as of the Effective Date (as that term is defined below) between CAO Group, Inc., a Utah corporation having a place of business at 4628 West Skyhawk Drive, West Jordan, Utah 84084 (“CAO”), and Biolase, Inc. f/k/a Biolase Technology, Inc., a Delaware corporation having a place of business at 4 Cromwell, Irvine, California 92618 (“Biolase”). CAO and Biolase are referred to in this Agreement collectively as the “Parties” and individually as a “Party”.

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • November 29th, 2019
ENTRY INTO A MATERIAL DEFINITIVE AGREEMENT, FINANCIAL STATEMENT CONFIDENTIAL SETTLEMENT AGREEMENT & RELEASE
Confidential Settlement Agreement • October 5th, 2007 • Rapid Link Inc • Telephone communications (no radiotelephone) • California

This Confidential Settlement Agreement & Release (“Agreement”) is entered into as of this 13th day of September, 2007, by and among Yahoo! Inc. (“Yahoo!”), and Rapid Link, Inc. formerly known as Dial-Thru International Corporation (“Rapid Link”), which are collectively referred to herein as the “Parties.”

BOARD ACTION ITEM SHEET
Confidential Settlement Agreement • May 6th, 2021

This action item presents settlement agreements concerning educational services for Eanes ISD students for approval. The background information and agreements are confidential by law, and the matter has been presented to the Board of Trustee in Closed Session, as allowed by Texas Government Code sections 551.071 and 551.0821.

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • March 14th, 2016 • Partner Communications Co LTD • Radiotelephone communications

This Confidential Settlement Agreement (“Agreement”) is made and entered into the 26th day of June 2015 (“Effective Date”) between and among Partner Communications Company Ltd., with offices at 8 Amal St., Afek Industrial Park, Rosh Ha’ayin, Israel, (“Partner”), and Orange Brand Services Ltd., whose registered office is at 3 More London Riverside, London SE1 2 AQ, UK, (“OBSL”) and its parent Orange SA, previously known as France Telecom, 78 Rue Olivier de Serres, 75015 Paris, France, (“Orange”), hereinafter collectively (“Orange Entities”). Partner, OBSL and Orange, are each referred to herein as “Party” and collectively referred to herein as “Parties.”

RECITALS
Confidential Settlement Agreement • April 22nd, 2005 • Commerce Energy Group Inc • Electric services • California
CONFIDENTIAL SETTLEMENT AGREEMENT AND GENERAL RELEASE
Confidential Settlement Agreement • December 13th, 2020 • New York

This Confidential Settlement Agreement and General Release of All Claims (the “Agreement”) is entered into by and between Brian Villanueva (“Villanueva”) on the one hand, and FFO Group, LLC, Philip Falcone, and Lisa Falcone (the “Defendants”) on the other hand (collectively with Villanueva referred to herein as the “Parties”), and is made with reference to the following:

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • January 7th, 2022 • California
CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE
Confidential Settlement Agreement • August 5th, 2020 • Washington

This Confidential Settlement Agreement and Release, (the “Agreement”), is entered by and between the Port of Seattle (the “Port,”) and the Port Entities, as defined in Paragraph 1.K), on one hand, and Great American Insurance Company and Great American Insurance Company of New York, formerly American National Fire Insurance Company (collectively, “Great American,”) and the Great American Entities, as defined in Paragraph 1.G), on the other hand, as of the Effective Date (as defined in Paragraph 1.D below). The Port and Great American may each be referred to as a “Party” and may be referred to collectively as the “Parties.”

AMENDED CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE‌
Confidential Settlement Agreement • May 23rd, 2022 • California

The Receiver, JOLs, the DLI Entities, the Party Investors, and the Deloitte Entities are individually referred to herein as a “Party” and, collectively, as the “Parties.”

CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Confidential Settlement Agreement • October 23rd, 2012 • Cancer Genetics, Inc • Services-medical laboratories • New Jersey

This Confidential Settlement Agreement and Release (the “Agreement”) is entered into as of this th day of May, 2012 (the “Date of Execution”), between and among Louis J. Maione, Esq., Cancer Genetics, Inc (“CGI”), John Pappajohn, Raju Chaganti, Andrew Pecora, Tommy Thompson, Edmund Cannon, Matthew Kinley, Panna Sharma, and GAP Partners, LLP (“GAP”) (collectively, the “Settling Parties”).

CONFIDENTIAL SETTLEMENT AGREEMENT AND MUTUAL RELEASE
Confidential Settlement Agreement • October 2nd, 2015 • Alnylam Pharmaceuticals, Inc. • Pharmaceutical preparations • Massachusetts

This Confidential Settlement Agreement and Mutual Release (“Confidential Settlement Agreement”) is entered into as of the Effective Date by and between Max-Planck-Gesellschaft zur Förderung der Wissenschaften e.V. (“MPG”), Max-Planck-Innovation GmbH (“MI”) (collectively referred to herein as “Max Planck”), and Alnylam Pharmaceuticals, Inc. (“Alnylam”), on the one hand, and Whitehead Institute for Biomedical Research (“Whitehead”), Massachusetts Institute of Technology (“MIT”), and the University of Massachusetts (“UMass”), on the other hand.

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • December 15th, 2010 • Neomedia Technologies Inc • Services-computer integrated systems design

This Confidential Settlement Agreement (this “Agreement”) is entered into this 14th day of December, 2010 by and among Rothschild Trust Holdings, LLC, a Florida limited liability company (“Rothschild Trust”) and BP GBL Section 3.4, LLC, a Florida limited liability company (“BP GBL” and with Rothschild Trust, collectively the “Rothschild Parties”), first party and NeoMedia Technologies, Inc., a Delaware corporation (“NeoMedia”), second party. The Rothschild Parties and NeoMedia are referred to herein as the Parties.

CONFIDENTIAL SETTLEMENT AGREEMENT AND GENERAL RELEASE
Confidential Settlement Agreement • April 2nd, 2007 • Tasker Products Corp • Perfumes, cosmetics & other toilet preparations • Connecticut

Tasker Products Corp. (named as “Tasker Capital Corporation” in that certain lawsuit brought by James Collins styled James Collins v. Tasker Capital Corporation, Docket No. FST-CV-06-5001519-S, now pending in the Connecticut Superior Court, Judicial District of Stamford), its successors and assigns (hereafter “Tasker”) and James Collins, his heirs, executors, administrators, successors, and assigns and anyone claiming by or through any of them (collectively referred to throughout this Agreement as “Collins”), agree to the following provisions of this Confidential Settlement Agreement and General Release (“Agreement and General Release”):

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CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Confidential Settlement Agreement • March 30th, 2007 • Artes Medical Inc • Pharmaceutical preparations • California

This Confidential Settlement Agreement and Release of All Claims (“Agreement”) is made by and between Artes Medical, Inc.(the “Company”), a Delaware corporation and William von Brendel (“Mr. von Brendel”).

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • February 5th, 2009 • Home Solutions of America Inc • Services-management services • Texas

This Confidential Settlement Agreement (the “Agreement”) is entered into on this the 22nd day of September, 2008 (the “Effective Date”), by and between Texas Capital Bank, National Association, as Administrative Agent (the “Agent”) and Amegy Bank, N.A., Bank of Oklahoma, N.A., Texas Capital Bank, National Association, Compass Bank, and Amarillo National Bank (collectively, the “Lenders”) on the one hand, and Home Solutions of America, Inc., Cornerstone Marble & Granite, Inc., Fiber-Seal Systems, L.P., Fireline Restoration, Inc., Evenflow Funding, LLC, Home Solutions Restoration of Louisiana, Inc., Southern Exposure Unlimited of Florida, Inc., S.E. Tops of Florida, Inc., FSS Holding Corp., Southern Exposure Holdings, Inc., and Michael J. McGrath, Jr. (collectively, the “Credit Parties”) on the other hand (the Agent, the Lenders, and the Credit Parties, collectively the “Parties”) for the purposes and considerations set forth below:

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • March 14th, 2013 • Endologix Inc /De/ • Surgical & medical instruments & apparatus • Indiana

This Confidential Settlement Agreement dated and effective as of October 16, 2012, is entered into by and between Cook Group, Cook Medical Incorporated, and Cook Incorporated, and Endologix, Inc.

CONFIDENTIAL SETTLEMENT AGREEMENT AND RELEASE
Confidential Settlement Agreement • September 14th, 2022

This Confidential Settlement Agreement and Release (hereinafter referred to as the "Agreement") is made by and between (1) AMERICAN CAMPUS COMMUNITIES OPERATING LP ("Villas at Babcock") and ACC OP MANAGEMENT, LLC (collectively, "American Campus"), on the one hand, and (2) Ryan Gregurich ("Tenant") on the other hand. The foregoing parties may be collectively referred to herein as the "Parties."

CAUSE NO. 2015-24531
Confidential Settlement Agreement • November 23rd, 2016 • Helmerich & Payne, Inc. • Drilling oil & gas wells • Texas
CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • February 4th, 2013 • Hillenbrand, Inc. • Miscellaneous manufacturing industries • Indiana

This Confidential Settlement Agreement (“Agreement”) is made and entered into between Batesville Casket Company, Inc. (“Batesville”), Hill-Rom Holdings, Inc. f/k/a Hillenbrand Industries, Inc., Service Corporation International (“SCI”) and Alderwoods Group, Inc. (collectively “Defendants”), on the one hand, and Funeral Consumer Alliance, Inc., Gloria Jaccarino Bender, Anthony J. Jaccarino, John Clark, Maria Magsarili, Tony Magsarili, Frances H. Rocha, Marsha Burger, Sandra Gonzalez, Deborah (Winch) Kidd, Anna Kain, and Gay Holtz (“Plaintiffs”), on the other hand, with reference to the following:

CONFIDENTIAL SETTLEMENT AGREEMENT, MUTUAL RELEASE AND COVENANT NOT TO SUE
Confidential Settlement Agreement • May 10th, 2004 • Critical Path Inc • Services-business services, nec • California

This Confidential Settlement Agreement and Mutual Release (the “Agreement”), effective February 4, 2004, is made and entered into by and between Max Limited, LLC, a California limited liability company (“Max” or “Plaintiff”) and Critical Path, Inc., a California corporation (“Critical Path”); Prince Acquisition Corp., a California corporation (“Prince”); PeerLogic, Inc., a California corporation (“PeerLogic”) (Critical Path, Prince and PeerLogic are hereinafter collectively referred to as “Defendants”). Plaintiff and Defendants are sometimes jointly referred to as the “Parties.”

SECOND AMENDED AND RESTATED CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • September 26th, 2017 • Avant Diagnostics, Inc • Services-miscellaneous equipment rental & leasing • Arizona

This Second Amended and Restated Confidential Settlement Agreement (“Agreement”) is made and entered into on September 19, 2017 (the “Settlement Effective Date”) by and between the undersigned parties, Memory DX, LLC (“Plaintiff”), Amarantus Bioscience Holdings, Inc. (the “Company”) and Avant Diagnostics, Inc. (“Avant”). Plaintiff, Avant and the Company are referred to individually as “Party” and collectively as “Parties” in this Agreement.

CONFIDENTIAL SETTLEMENT AGREEMENT AND GENERAL RELEASE
Confidential Settlement Agreement • January 12th, 2017

This Confidential Settlement Agreement and Mutual Release of Claims and Exhibits (collectively, the “Settlement Agreement”) is entered into by and among (i) MGM Resorts International f/k/a MGM Mirage, MGM Grand Hotel, LLC, MGM Grand Condominiums, LLC, The Signature Condominiums, LLC, Signature Tower I, LLC, Signature Tower 2, LLC, Signature Tower 3, LLC, Turnberry/Harmon Ave., LLC and Turnberry West Realty, Inc. (collectively, the “Settling Defendants”); (ii) Turnberry/MGM Grand Towers, LLC, Turnberry/MGM Grand Tower B, LLC, Turnberry/MGM Grand Tower C, LLC (collectively, the “Debtors”) and (iii) the Plaintiff(s) whose name(s) and signature(s) are reflected on the signature page of this agreement (“Plaintiff”). Each Settling Defendant, each Debtor and Plaintiff shall be referred to as a “Party” and collectively as the “Parties.”

CONFIDENTIAL SETTLEMENT AGREEMENT
Confidential Settlement Agreement • June 28th, 2018
CERTAIN CONFIDENTIAL INFORMATION CONTAINED IN THIS DOCUMENT, MARKED BY [***], HAS BEEN OMITTED BECAUSE IT IS NOT MATERIAL AND WOULD LIKELY CAUSE COMPETITIVE HARM TO MUSCLEPHARM CORPORATION IF PUBLICLY DISCLOSED FIRST AMENDMENT TO CONFIDENTIAL...
Confidential Settlement Agreement • November 17th, 2021 • MusclePharm Corp • Pharmaceutical preparations • California

THIS FIRST AMENDMENT TO CONFIDENTIAL SETTLEMENT AGREEMENT(“Amendment”) is entered into by and between NBF Holdings Canada Inc. (“Nutrablend”) and MusclePharm Corporation (“MusclePharm”). (Nutrablend and MusclePharm are referred to collectively as the “Parties,” or individually as a “Party.”) The Effective Date of this Amendment shall be the latest date shown on the fully executed signature page(s) (“Effective Date”).

Contract
Confidential Settlement Agreement • March 7th, 2017
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