Separation and Release of Claims Agreement Sample Contracts

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • July 7th, 2023 • Nabriva Therapeutics PLC • Pharmaceutical preparations • Pennsylvania

This Separation and Release of Claims Agreement (the “Agreement”) is made as of the Agreement Effective Date (as defined below) between Nabriva Therapeutics US, Inc. (the “Company”) and J. Christopher Naftzger (the “Executive”) (together, the “Parties”).

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Standard Contracts

NPS PHARMACEUTICALS, INC. SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • March 17th, 2008 • NPS Pharmaceuticals Inc • Biological products, (no disgnostic substances) • Utah

This Separation and Release of Claims Agreement ("Agreement") documents the agreement between you, Val Antczak, and NPS Pharmaceuticals, Inc., its subsidiaries and affiliates ("NPS") concerning the termination of your status as an employee of NPS effective December 7, 2007.

RECITALS
Separation and Release of Claims Agreement • November 26th, 2008 • Td Ameritrade Holding Corp • Security brokers, dealers & flotation companies • New York
SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • April 1st, 2022 • Coeur Mining, Inc. • Gold and silver ores • Illinois

THIS SEPARATION AND RELEASE OF CLAIMS AGREEMENT (this “Agreement”) is entered into by and between Hans Rasmussen (“Employee” or “You”) and Coeur Mining, Inc. (“Company”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • January 22nd, 2025 • SpringBig Holdings, Inc. • Services-computer programming services • Florida

This letter agreement (this “Agreement”) sets forth the terms and conditions whereby you agree to provide certain services (as described in Schedule 1) to SpringBig, Inc., a Delaware corporation (the “Company”).

EX-10.12 2 tdoc-20181231ex10122254d.htm EX-10.12 Execution Version Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • May 5th, 2020 • New York

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between Teladoc Health, Inc., a Delaware corporation (the “Employer”), on behalf of itself, its subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners, shareholders and agents (collectively referred to herein as the “Employer Group”), and Mr. Mark Hirschhorn, a resident of the State of New York (the “Employee”) (the Employer and the Employee are collectively referred to herein as the “Parties”) as of December 16, 2018 (the “Execution Date”).

SEPARATION ANDRELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • May 15th, 2007 • Brandpartners Group Inc • Services-management consulting services

THIS SEPARATION AND RELEASE OF CLAIMS (“Agreement”) is made between SUZANNE VERRILL (“Verrill”) and BRANDPARTNERS GROUP, INC. and all of its subsidiaries and affiliated companies (collectively hereafter “Brand” or “the Company”) and shall become effective on the Effective Date as set forth herein.

EXECUTION COPY SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • May 5th, 2020 • New York

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between Net 1 UEPS Technologies, Inc., a Florida corporation (“Company”), and Serge C.P. Belamant (“Executive”), effective as May 24, 2017 (the “Effective Date”), with respect to Executive’s separation from the Company.

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • October 15th, 2021 • Point of Care Nano-Technology, Inc. • Biological products, (no disgnostic substances) • Nevada

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between Point of Care Nanotechnologies, Inc., a Nevada corporation (the “Company”), on behalf of itself, subsidiaries, and other corporate affiliates and each of their respective present and former directors, officers, directors, owners, shareholders, and agents, individually and in their official capacities (collectively referred to as the “Company Group”), and Aymen El Salhy (the “Director”), residing in STATE (the Company and the Director are collectively referred to as the “Parties” and each as a “Party”) as of April 15, 2021 (the “Execution Date”).

Hans Lidforss c/o Sensata Technologies, Inc. Attleboro, MA 02703 RE: SEPARATION AND RELEASE OF CLAIMS AGREEMENT BETWEEN HANS LIDFORSS AND SENSATA TECHNOLOGIES, INC.
Separation and Release of Claims Agreement • May 2nd, 2023 • Sensata Technologies Holding PLC • Industrial instruments for measurement, display, and control • Delaware

This letter agreement is a Separation and Release of Claims Agreement (“Separation and Release Agreement” or “Agreement”) between you (“Employee”) and Sensata Technologies, Inc., a Delaware corporation (“Sensata” or the “Company”), which amends your Amended and Restated Employment Agreement, dated as of March 5, 2020 (the “Employment Agreement”). Employee and the Company shall each be referred to herein as a “Party” and collectively herein as the “Parties”.

EXECUTION VERSION Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • May 5th, 2020 • Oregon

This Separation and Release of Claims Agreement (“Agreement”) is entered into, as of the last date both parties have signed this Agreement (the “Execution Date”), by and between Grow Capital, Inc., a Nevada corporation (the “Employer”), on behalf of itself, its subsidiaries, and other corporate affiliates, and each of their respective employees, officers, directors, owners, shareholders, and agents, individually and in their official capacities (collectively referred to as the “Employer Group”), and Wayne Zallen (the “Employee”), residing at 722 W. Dutton Road, Eagle Point, OR 97524 (the Employer and the Employee are collectively referred to as the “Parties”).

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • November 10th, 2021 • Carrols Restaurant Group, Inc. • Retail-eating places • New York

This Separation and Release of Claims Agreement (this "Agreement") is entered into to conclude all obligations arising from your employment with and separation from Carrols Restaurant Group, Inc. (“Carrols”). Your employment ceased on July 30, 2021 (the “Separation Date”). This Agreement will become effective on the date (the "Effective Date") that is the eighth (8th) calendar day after you have signed and accepted it. As used in this Agreement: (a) “Company" means Carrols and its subsidiaries and affiliated entities and their respective officers, directors, agents, representatives, employees, insurers, insurer employees, members, investors, and stockholders; and (b) “you” and “your” means Carl Hauch.

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • February 9th, 2015 • American Dg Energy Inc • Electric, gas & sanitary services • Massachusetts

This Separation and Release of Claims Agreement ("Agreement") is entered into by and between American DG Energy Inc., a Delaware Corporation, (the "Employer") on behalf of itself, its subsidiary EuroSite Power Inc., its related party Ilios Dynamics Inc, its related party Tecogen Inc and each of their respective employees, officers, directors, owners, shareholders and agents (collectively referred to herein as the "Employer Group"), and Barry Sanders (the "Employee") (the Employer and the Employee are collectively referred to herein as the "Parties") as of February 6, 2015 (the "Execution Date").

EX-10.1 2 d548946dex101.htm EX-10.1 NOTICE: YOU HAVE UP TO TWENTY-ONE (21) DAYS TO CONSIDER THIS AGREEMENT BEFORE DECIDING WHETHER TO SIGN IT. IN CONNECTION WITH YOUR CONSIDERATION OF THIS AGREEMENT, ADIENT US LLC HEREBY ADVISES YOU TO CONSULT WITH AN...
Separation and Release of Claims Agreement • May 5th, 2020 • Michigan

This Separation and Release of Claims Agreement (“Agreement”) is entered between ADIENT US LLC (“Adient”) and ERIC MITCHELL (“Employee”). Employee enters into this Agreement on behalf of himself, his spouse, heirs, successors, assigns, executors, and representatives of any kind, if any.

EX-10.1 2 c63520exv10w1.htm EX-10.1
Separation and Release of Claims Agreement • May 5th, 2020 • Maryland

Exhibit 10.1 SEPARATION AND RELEASE OF CLAIMS AGREEMENT This Separation and Release of Claims Agreement (“Agreement”) is made by and between David M. Kelley (“Employee”) and TD Ameritrade Holding Corporation (“Company”) (collectively referred to as the “Parties”). RECITALS WHEREAS, the Company and Employee have entered into Restricted Stock Unit Agreements, as detailed in the attached Schedule A, (collectively the “RSU Agreements”) pursuant to which Employee was eligible to participate in the Company’s 1996 Long-Term Incentive Plan (the “LTIP”); WHEREAS, the Company and Employee have entered into an Associate Agreement dated as of May 24, 2006 (the “Associate Agreement”); WHEREAS, Employee was employed by the Company; WHEREAS, Employee’s employment with Company will be terminated on or about January 28, 2011 (the “Termination Date”); WHEREAS, the Parties, and each of them, wish to resolve any and all disputes, claims, complaints, grievances, charges, actions, petitions and demands that

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • June 4th, 2020 • Sonoma Pharmaceuticals, Inc. • Pharmaceutical preparations • California

This Separation and Release of Claims Agreement ("Agreement") is entered into by and between Sonoma Pharmaceuticals, Inc., a Delaware corporation, its successors, assigns, employees, directors, and agents (the "Company") and Dr. Robert Northey (the "Employee"), (the Company and the Employee are collectively referred to as the "Parties") as of May 29, 2020 (the "Execution Date").

RE: SEPARATION and RELEASE OF CLAIMS AGREEMENT BETWEEN PAUL CHAWLA AND SENSATA TECHNOLOGIES, INC.
Separation and Release of Claims Agreement • August 5th, 2020 • Sensata Technologies Holding PLC • Industrial instruments for measurement, display, and control • Delaware

This letter agreement is a Separation and Release of Claims Agreement (“Separation and Release Agreement” or “Agreement”) between you (“Employee”) and Sensata Technologies, Inc., a Delaware corporation (“Sensata” or the “Company”), which amends your Amended and Restated Employment Agreement, dated as of August 1, 2019 (the “Employment Agreement”). Employee and the Company shall each be referred to herein as a “Party” and collectively herein as the “Parties”.

SEPARATION AND RELEASE OF CLAIMS AGREEMENT RECITALS
Separation and Release of Claims Agreement • October 30th, 2007 • Mentor Corp /Mn/ • Orthopedic, prosthetic & surgical appliances & supplies • California

This Separation and Release of Claims Agreement ("Agreement") is made by and between Loren L. McFarland ("Employee") and Mentor Corporation ("Company") (collectively referred to as the "Parties"):

EX-10.7 5 mack-ex107_805.htm EX-10.7 SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • May 5th, 2020 • Massachusetts

This Separation and Release of Claims Agreement (the “Agreement”) is made as of the Effective Date (as defined below) between Merrimack Pharmaceuticals, Inc. (the “Company”) and Robert J. Mulroy (“Executive”) (together, the “Parties”).

IMARX THERAPEUTICS, INC. SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • June 12th, 2008 • Imarx Therapeutics Inc • Pharmaceutical preparations • Arizona

This Separation and Release of Claims Agreement (“Agreement”) documents the agreement between you, Greg Cobb and ImaRx Therapeutics, Inc. (“IMARX”) concerning the termination of your status as an employee of IMARX

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • October 21st, 2014 • MusclePharm Corp • Pharmaceutical preparations • Colorado

This Separation and Release of Claims Agreement (this “Agreement”) is dated as of October 10, 2014 (the “Execution Date”), by and between MusclePharm Corporation, a Nevada corporation (the “Company”), on behalf of itself, its subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners, shareholders and agents (collectively referred to herein as, the “Employer Group”), and Sydney Rollock (the “Employee”). The Company and the Employee are sometimes collectively referred to herein as the “Parties.”

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • May 8th, 2018 • Impinj Inc • Electronic components, nec • Washington

This Separation and Release of Claims Agreement (“Agreement”) is entered into as of March 30, 2018, hereinafter “Effective Date,” by and between Evan Fein, his marital community, heirs, and assigns (hereinafter “Employee”), and Impinj Inc., its affiliates (including, without limitation, and all of its subsidiaries), its successors and assigns (hereinafter the “Company”). Employee and the Company are sometimes collectively referred to as the “Parties.”

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SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • August 5th, 2020 • Net 1 Ueps Technologies Inc • Functions related to depository banking, nec • New York

This Separation and Release of Claims Agreement ("Agreement") dated August 5, 2020 is entered into by and between Net 1 UEPS Technologies, Inc., a Florida corporation ("Company"), and Herman G. Kotzé ("Executive"), effective as of August 5, 2020 (the "Effective Date"), with respect to Executive's separation from the Company.

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • March 23rd, 2017 • Payment Data Systems Inc • Functions related to depository banking, nec • Texas

This Separation and Release of Claims Agreement (“Agreement”) is made and entered into by and between Payment Data Systems, Inc., a Nevada corporation, having an office address at 12500 San Pedro Ave., Suite 120, San Antonio, Texas 78216, together with its affiliates, subsidiaries, attorneys, agents, officers and directors (“Payment Data Systems, Inc.” or the “Company”) and Habib Yunus (“Employee”) as of March 17, 2017 (the “Effective Date”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • September 4th, 2019 • Command Center, Inc. • Services-help supply services • Colorado

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between COMMAND CENTER, INC., a Washington corporation (the “Employer”), on behalf of itself, its subsidiaries, and other corporate affiliates, and each of their respective present and former employees, officers, directors, owners, shareholders, and agents, individually and in their official capacities (collectively referred to as the “Employer Group”), and RICHARD K. COLEMAN, JR. (the “Employee”), residing at _______________________________ (the Employer and the Employee are collectively referred to as the “Parties”) as of August 29, 2019 (the “Execution Date”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • October 30th, 2015 • Prima BioMed LTD • Pharmaceutical preparations • Oregon

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between Prima Biomed Ltd., an Australian limited company (the “Employer”), on behalf of itself, its subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners, shareholders and agents (collectively referred to herein as the “Employer Group”), and Sharron Gargosky (the “Employee”) (the Employer and the Employee are collectively referred to herein as the “Parties”) as of September 18, 2015 (the “Execution Date”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • December 12th, 2014 • RE/MAX Holdings, Inc. • Real estate agents & managers (for others) • Colorado

This Separation and Release of Claims Agreement (this “Agreement”) is dated as of December 11, 2014 (the “Execution Date”), by and between RE/MAX Holdings, Inc., a Delaware corporation with its principal place of business at 5075 South Syracuse Street, Denver, CO 80237 (“Holdings”), RE/MAX, LLC, a Delaware limited liability company with its principal place of business at 5075 South Syracuse Street, Denver, CO 80237 (the “LLC”), RIHI, Inc., a Delaware Corporation formerly known as RE/MAX International Holdings, Inc. with its principal place of business at 5075 South Syracuse Street, Denver, CO 80237 (“RIHI” and collectively with Holdings and the LLC, the “Company”) and Margaret M. Kelly (the “Executive”), with her principal residence at 960 Westchester Circle, Castle Rock, CO 80108. The Company and the Executive are sometimes collectively referred to herein as (the “Parties”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • March 22nd, 2022 • Privia Health Group, Inc. • Services-health services

This Separation and Release of Claims Agreement ("Agreement") is entered into by and between Privia Health, LLC, a Delaware limited liability company, (the "Employer") on behalf of itself, its parent organizations, subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners, shareholders and agents (collectively referred to herein as "Privia"), and Jeffrey Sherman (the "Employee") (the Employer and the Employee are collectively referred to herein as the "Parties") as of the last signature date herein (the "Execution Date").

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • May 31st, 2019 • DENTSPLY SIRONA Inc. • Dental equipment & supplies • Pennsylvania

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between DENTSPLY SIRONA Inc., a Delaware corporation (“Employer”) and Nicholas W. Alexos (“Executive”) (the Employer and the Executive are collectively referred to as “Parties”) as of May 24, 2019 (“Execution Date”).

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • October 27th, 2017 • Flir Systems Inc • Search, detection, navagation, guidance, aeronautical sys • Oregon

This Separation and Release of Claims Agreement (“Agreement”) is made by and between Thomas A. Surran (“Employee”) and FLIR Systems, Inc. (the “Company”) (collectively referred to as the “Parties” or individually referred to as a “Party”).

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • August 21st, 2015 • American Residential Properties, Inc. • Real estate investment trusts • Arizona

This Separation and Release of Claims Agreement (this “Agreement”) is entered into as of August 19, 2015 (the “Execution Date”) by and between AMERICAN RESIDENTIAL PROPERTIES, INC., a Maryland corporation (“Employer”) on behalf of itself, its subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners and shareholders (collectively referred to herein as “Employer Group”), and CHRISTOPHER J. “JAY” BYCE (“Executive”) (Employer and Executive are collectively referred to herein as the “Parties”).

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • January 24th, 2025 • Carmell Corp • Surgical & medical instruments & apparatus • Nevada

This SEPARATION AND RELEASE OF CLAIMS AGREEMENT (this “Release”) is by and between Kendra Bracken-Ferguson (the “Executive”) and Carmell Corporation, a Delaware corporation, and its wholly owned subsidiaries (collectively, the “Company”).

Separation and Release of Claims Agreement
Separation and Release of Claims Agreement • August 1st, 2017 • Nicholas Financial Inc • Short-term business credit institutions

This Separation and Release of Claims Agreement (“Agreement”) is entered into by and between NICHOLAS FINANCIAL, INC., a British Columbia, Canada corporation, (the “Employer”) on behalf of itself, its subsidiaries and other corporate affiliates and each of their respective employees, officers, directors, owners, shareholders, and agents, individually and in their official capacities (collectively referred to herein as, the “Employer Group”), and RALPH T. FINKENBRINK (the “Employee”) (the Employer and the Employee are collectively referred to as the “Parties”) as of the date all signatories below have executed the Agreement (the “Execution Date”).

SEPARATION AND RELEASE OF CLAIMS AGREEMENT
Separation and Release of Claims Agreement • August 6th, 2020 • Adient PLC • Motor vehicle parts & accessories • Michigan

This Separation and Release of Claims Agreement (“Agreement”) is entered into between ADIENT US LLC (“Adient”) and CATHLEEN A. EBACHER (“Employee”). Employee enters into this Agreement on behalf of herself, her spouse, heirs, successors, assigns, executors, and representatives of any kind, if any.

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