S Ettlement Agreement and Release Sample Contracts

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF GEORGIA GAINESVILLE DIVISION
S Ettlement Agreement and Release • June 29th, 2017 • Georgia
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S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • April 29th, 2020 • Georgia

This Settlement Agreement and Release (the “Settlement Agreement”) is entered into by and between Plaintiffs Matthew Grogan (“Grogan”), Chad Severson, LaTia Bryant, and Serge Belozerov (together, “Plaintiffs”), for themselves and the Settlement Class members (as defined below), on the one hand, and Aaron’s, Inc. d/b/a Aaron’s Sales & Lease Ownership and Aarons.com (“Aaron’s” or “Defendant”), on the other hand. Plaintiffs and Defendant are referred to collectively in this Settlement Agreement as the “Parties.”

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • February 10th, 2020

This Settlement Agreement and Release (“Agreement” or “Settlement Agreement”) is entered into by Plaintiffs Associated Management Services, Inc. (“AMS”), and Charles D. Fuszner, D.M.D., P.C. (“Fuszner”) (collectively, “Plaintiffs”), individually and on behalf of the Settlement Class Members, and by Defendants Medical Waste Services, LLC d/b/a Medical Waste Services and Larry D. Casey (“Defendants”), the “Parties.”

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • December 16th, 2019 • Virgin Islands

This Settlement Agreement and Release (this “Agreement”) is hereby made by and between the Hovensa Liquidating Trust by and through Jay Borow, as Liquidating Trustee (the “Trustee”), on the one hand, and (a) Liberty Mutual Insurance Company (“Liberty Mutual”) and Liberty Surplus Insurance Corporation (“Liberty Surplus” and, together with Liberty Mutual, “Liberty”); (b) National Union Fire Insurance Company of Pittsburgh, Pa., Illinois National Insurance Company, and Lexington Insurance Company (collectively the “AIG Member Companies”); and (c) ACE American Insurance Company, Indemnity Insurance Company of North America, and Westchester Surplus Lines Insurance Company (collectively the “Chubb Insurers”), on the other hand. Liberty, the AIG Member Companies and the Chubb Insurers are referred to herein collectively as the “Settling Insurers.” The Trustee and each of the Settling Insurers may be referred to herein individually as a “Party,” or together as the “Parties.”

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • November 30th, 2018 • California

This Class Action Settlement Agreement and Release (the “Agreement”) is entered into as of August 13, 2018 by and between Vincente Salcedo, Gerald Linden, and Brian Mervin (collectively, “Plaintiffs” or “Representative Plaintiffs”), individually and as representatives of the Class (as defined below), and Subaru of America, Inc. (“SOA”) and Subaru Corporation (“SBR”) (collectively, with SOA, “Defendants” or “Subaru”). Collectively, Plaintiffs and Defendants shall be referred to as the “Parties.” This Agreement is intended to fully, finally, and forever resolve, discharge, and settle the consolidated lawsuits captioned Salcedo v. Subaru of America, Inc., No. 1:17-CV-08173-JHR-AMD and Augustine v. Subaru of America, Inc., No. 1:17-cv-13099-JHR-AMD, pending in

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • December 8th, 2020 • New York

Plaintiffs Bori Byun, Paulina Ceballos, Nathaniel Dearth, Lizzie Gordon, Nikia Lenef, Gavriel Reichman, Ronen Sartena, Isabel Strobing, Joseph Tull, and Alex White

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • August 1st, 2018 • Ohio

This Settlement Agreement and Release (the “Settlement Agreement”) is entered into by and between plaintiff Virginia Guiette (“Guiette” or “Plaintiff”), in her individual capacity and on behalf of the Settlement Class described below, on the one hand, and defendant U.S. Bank National Association (“U.S. Bank” or “Defendant”), on the other hand. Plaintiff, the unnamed class members she represents, and Defendant are referred to collectively in this Settlement Agreement as the “Parties.”

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • October 1st, 2020

This Settlement Agreement and Release (the “Agreement”) is made by and among Curtis Neal and Roy Campbell (collectively, “Plaintiffs”), on behalf of themselves and the Settlement Class (as defined below), on the one hand, and Synchrony Bank, formerly known as GE Capital Retail Bank (“Synchrony”), on the other hand (collectively, the “Parties”). Plaintiffs, Class Counsel (as defined below) and Synchrony hereby stipulate and agree that, in consideration of the promises and covenants set forth in this Agreement and upon entry by the Court (as defined below) of a Final Approval Order (as defined below), all Released Claims (as defined below) of Plaintiffs and the Settlement Class Members (as defined below) included in the actions entitled Curtis Neal,

S ETTLEMENT AGREEMENT AND RELEASE
S Ettlement Agreement and Release • July 1st, 2020

This Settlement Agreement and Release (the “Agreement” or “Settlement”) is made by and between plaintiff Benjamin Gero (“Plaintiff”) for himself and the Settlement Class (as defined below), on the one hand, and defendant ADT LLC d/b/a ADT Security Services (“ADT”), for itself and the Released Parties (as defined below), on the other hand. ADT, Class Counsel (as defined below), and Plaintiff hereby stipulate and agree that, in consideration of the promises and covenants set forth in this Agreement and upon entry by the Court of a Final Approval Order and Judgment (as defined below), all claims of Plaintiff and the Settlement Class Members (as defined below) in the action entitled Benjamin Gero v. ADT LLC d/b/a ADT Security Systems, Commonwealth of Massachusetts, Norfolk County Superior Court (the “Court”), Civil Action No. 1982-cv-01424 (the “Action”), shall be settled, compromised and released upon the terms and conditions contained herein.

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