Settlement Agreement, Waiver and Release Sample Contracts

SETTLEMENT AGREEMENT, WAIVER AND RELEASE
Settlement Agreement, Waiver and Release • June 23rd, 2017 • Calyxt, Inc. • Agricultural chemicals • Minnesota

This Settlement Agreement and Release [the “Agreement”] is executed by and between Gregory R. Smith [“Smith”], and Calyxt, Inc., f/n/a Cellectis Plant Sciences [“Calyxt”] [sometimes jointly referred to as “the Parties”].

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SETTLEMENT AGREEMENT, WAIVER AND RELEASE
Settlement Agreement, Waiver and Release • February 8th, 2018 • Arizona

This Agreement (“Agreement”) is made in the State of Arizona by and between Terri Rossi Owen, Shawn Thorson, Susan Krueger, Geoffrey Collins, Michelle Nichols, Chelsea Ruttman, and Traycee Dalebout (the “Named Plaintiffs”), individually, and on behalf of those individuals who have opted-in to this lawsuit (the “Collective Members”) on the one hand (the Named Plaintiffs and Collective Members are referred to herein as “Plaintiffs”), and Angry Crab Shack Corporation; Angry Crab Shack Franchise, LLC; Angry Crab Shack BBQ, LLC; AC Peoria, LLC; AC East Mesa, LLC; AC Goodyear, LLC; AC Ahwatukee, LLC; Ronald Lou and Ling Ngo Lou; Dan Sevilla and Autum Perry-Sevilla; Andrew Diamond; David Eng; and Jason Lopez and Angela Lambries-Lopez (collectively “ACS” or the “Company”) on the other hand. The Company and Plaintiffs are referred to collectively herein as the “Parties.”

SETTLEMENT AGREEMENT, WAIVER AND RELEASE
Settlement Agreement, Waiver and Release • April 18th, 2017 • Mohegan Tribal Gaming Authority • Hotels & motels • Connecticut

This Settlement Agreement, Waiver and Release (the “Agreement”) is voluntarily being entered into as of February 14, 2017, by and between Robert J. Soper of 27 Rocco Drive, East Lyme, Connecticut 06333, acting on behalf of himself, his heirs, executors, and administrators (hereinafter sometimes referred to as “Soper”), and the Mohegan Tribal Gaming Authority (“MTGA”), an instrumentality of the Mohegan Tribe of Indians of Connecticut, a federally recognized sovereign Indian Tribe (“Tribe”), of One Mohegan Sun Boulevard, Uncasville, Connecticut 06382, and its successors and assigns, acting on behalf of itself and on behalf of its former, present and future affiliates, tribal members, council members, board members, directors, officers, principals, agents, employees, and their respective successors and assigns for purposes of mutually exchanging the consideration set forth herein and mutually resolving fully and finally all claims and/or disputes that have arisen out of or during the cour

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