Settlement Agreement and General Sample Contracts

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Settlement Agreement and General • April 23rd, 2018 • California

WHEREAS, on November 2, 2016, Plaintiff, through her counsel, the Mexican American Legal Defense and Educational Fund (“MALDEF”), made a “Demand for Compliance with California Voting Rights Act” (the “CVRA Demand”), alleging that, pursuant to the California Voting Rights Act of 2001 (California Elections Code § 14027 et seq.) (“CVRA”), the District was required to convert to a by-district election system on the basis of the District’s Latino voting age population and history of racially polarized voting; and

THIS SETTLEMENT AGREEMENT AND GENERAL RELEASE OF ALL CLAIMS is
Settlement Agreement and General • January 24th, 2012 • Connecticut

entered into this 9th day of January, 2012, by and between Marshall Segar (hereinafter "Segar” or "'Employee") and the City of New London (hereinafter "the City" or "Employer").

SETTLEMENT AGREEMENT AND GENERAL WAIVER OF ALL RIGHTS AND CLAIMS
Settlement Agreement and General • November 5th, 2009 • Tecumseh Products Co • Air-cond & warm air heatg equip & comm & indl refrig equip • Michigan

This Settlement Agreement and General Waiver of All Rights and Claims (the “Agreement”), by and between Tecumseh Products Company (the “Company”) and Edwin L. Buker (“Buker”), is made effective pursuant to the terms of this Agreement.

SETTLEMENT AGREEMENT AND GENERAL RELEASE OF CLAIMS
Settlement Agreement and General • July 13th, 2011

This Settlement Agreement and General Release of Claims (“Agreement”) is entered into by and between Plaintiffs Francisco Sanchez-Lopez (“Sanchez-Lopez”), Christyan Sonato-Vega (“Sonato-Vega”), and the Committee for Immigrant Rights of Sonoma County (“Committee”), collectively referred to herein as “Plaintiffs”, and Defendant the County of Sonoma (“County”), including its administrative subdivision the Sonoma County Sheriff’s Office (“Sheriff’s Office”). The effective date of this Agreement is July 15, 2011 (the “Effective Date”).

SETTLEMENT AGREEMENT AND GENERAL RELEASE OF ALL CLAIMS
Settlement Agreement and General • August 11th, 2014 • Truli Media Group, Inc. • Special industry machinery, nec • New York

This settlement agreement containing a release of all claims (the "Agreement") is entered into as of August 7, 2014 by and between Truli Media Group, Inc., an Oklahoma Corporation and its subsidiaries (“Truli”), Michael Jay Solomon, an individual and Chief Executive Officer of Truli (“Solomon”) (collectively, Truli and Solomon are known as the “Released Parties”), on the one hand, and the holders of Truli’s 12% convertible debentures (“Debentures”) who are signatories to this agreement and who are listed on Schedule A hereto, (the “Holders”) (the “Holders” shall also be known as the “Releasing Parties”), on the other hand. Collectively, the Released Parties and Releasing Parties are sometimes referred to collectively as the “Parties”.

SETTLEMENT AGREEMENT AND GENERAL RELEASE OF ALL CLAIMS
Settlement Agreement and General • December 8th, 2004 • Washington

(hereinafter the "Agreement") is entered into this day of December, 2004, by and among the City of Spokane (hereinafter "City"), Citizens Realty Company, Lincoln Investment Company of Spokane, RPS II, L.L.C., and River Park Square, L.L.C. (hereinafter sometimes referred to collectively as "the RPS Parties"), and Cowles Publishing Company (hereinafter “Cowles Publishing”).

SETTLEMENT AGREEMENT AND GENERAL RELEASE OF CLAIMS
Settlement Agreement and General • July 13th, 2011

This Settlement Agreement and General Release of Claims (“Agreement”) is entered into by and between Plaintiffs Francisco Sanchez-Lopez (“Sanchez-Lopez”), Christyan Sonato-Vega (“Sonato-Vega”), and the Committee for Immigrant Rights of Sonoma County (“Committee”), collectively referred to herein as “Plaintiffs”, and Defendant the County of Sonoma (“County”), including its administrative subdivision the Sonoma County Sheriff’s Office (“Sheriff’s Office”). The effective date of this Agreement is July 15, 2011 (the “Effective Date”).

THIS SETTLEMENT AGREEMENT AND GENERAL RELEASE OF ALL CLAIMS is
Settlement Agreement and General • January 24th, 2012 • Connecticut

entered into this 5th day of January, 2012, by and between William Dittman (hereinafter "Dittman" "Employee") and the City of New London (hereinafter "the City" or "Employer").

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