STIPULATION AND AGREEMENT OF COMPROMISE AND SETTLEMENTStipulation and Agreement of Compromise and Settlement • October 5th, 2011
Contract Type FiledOctober 5th, 2011This Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated October 5, 2011, which is entered into by and among (i) Plaintiff NECA-IBEW Pension Fund (The Decatur Plan) (“Lead Plaintiff”), on its own behalf and on behalf of the Settlement Class (as defined herein); (ii) Kohlberg Kravis Roberts & Co. L.P. (“KKR”), Vestar Capital Partners (“Vestar”), Centerview Capital, L.P. (named in the Action (as defined below) as Centerview Partners, “Centerview”), Blue Acquisition Group, Inc., and Blue Merger Sub Inc. (collectively, the “Sponsors”); (iii) Barclays Capital Inc. (“Barclays”); (iv) Richard G. Wolford, Samuel H. Armacost, Timothy G. Bruer, Mary R. Henderson, Victor L. Lund, Terence D. Martin, Sharon L. McCollam, Joe L. Morgan, and David R. Williams (the “Director Defendants”); and (v) Del Monte Corporation, as successor-in-interest to Del Monte Foods Company (together, the “Del Monte Companies” and collectively, with the Sponsors, Barclays, and the Director Def
STIPULATION AND AGREEMENT OF COMPROMISE AND SETTLEMENTStipulation and Agreement of Compromise and Settlement • December 6th, 2017
Contract Type FiledDecember 6th, 2017This Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated December 6, 2017, is entered into by and among the following Parties in the Action: (i) Suhas Patel (“Plaintiff”), on behalf of himself and all other members of the Class, and (ii) Defendants Galena Biopharma, Inc. (“Galena” or the “Company”), William L. Ashton, Rudolph Nisi, Richard Chin, Irving Einhorn, Stephen Galliker, Sanford Hillsberg, Mary Ann Gray, Mark W. Schwartz and Stephen F. Ghiglieri (collectively, the “Defendants”). This Stipulation sets forth all of the terms of the settlement and resolution of this matter and is intended by Plaintiff and Defendants to fully and finally release, resolve, remise, compromise, settle and discharge the Released Plaintiff’s Claims against the Released Defendant Persons and the Released Defendants’ Claims against the Releasing Plaintiff Persons, subject to the approval of the Court of Chancery of the State of Delaware (the “Court”), without any admission or
ContractStipulation and Agreement of Compromise and Settlement • September 8th, 2018 • Massachusetts
Contract Type FiledSeptember 8th, 2018 Jurisdiction
STIPULATION AND AGREEMENT OF COMPROMISE AND SETTLEMENTStipulation and Agreement of Compromise and Settlement • August 2nd, 2019 • Medley Capital Corp • Delaware
Contract Type FiledAugust 2nd, 2019 Company JurisdictionThis Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated July 29, 2019, which is entered into by and among (i) FrontFour Capital Group LLC (“FFCG”) and FrontFour Master Fund, Ltd. (“FFMF”) (collectively, “Plaintiffs”), on their own behalf and on behalf of the Settlement Class (as defined herein); and (ii) Brook Taube, Seth Taube, Jeff Tonkel, Mark Lerdal, Karin Hirtler-Garvey, John E. Mack, Arthur S. Ainsberg, Medley Management Inc. (“MDLY”), Medley Capital Corporation (“MCC”), MCC Advisors LLC, Medley Group LLC, and Medley LLC (collectively, “Stipulating Defendants”), by and through their undersigned attorneys, states all of the terms of the settlement and resolution of this matter and is intended by the Parties (as defined herein) to fully and finally release, resolve, compromise, settle and discharge the Released Plaintiffs’ Claims (as defined herein) against the Released Defendant Parties (as defined herein) and the Released Defendants’ Claims (as defi
STIPULATION AND AGREEMENT OF COMPROMISE AND SETTLEMENTStipulation and Agreement of Compromise and Settlement • August 31st, 2011
Contract Type FiledAugust 31st, 2011This Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated August 30, 2011, which is entered into by and among (i) New Orleans Employees’ Retirement System, Local 542 International Union of Operating Engineers Pension Fund of Eastern Pennsylvania and Delaware, City of Orlando Police Pension Fund, Southeastern Pennsylvania Transportation Authority, City of Orlando Firefighters’ Pension Fund and Martin Vogel (collectively, “Lead Plaintiffs”), on their own behalf and on behalf of the Settlement Class (as defined herein); and (ii) J.Crew Group, Inc. (hereafter, “J.Crew” or the “Company”), Millard Drexler (“Drexler”), James Coulter (“Coulter”), David House (“House”), Heather Reisman (“Reisman”), Stuart Sloan (“Sloan”), Mary Ann Casati (“Casati”), Josh Weston (“Weston”), Steven Grand-Jean (“Grand-Jean”), Stephen Squeri (“Squeri”), James Scully (“Scully”), TPG Capital, L.P., TPG Partners, VI, L.P. (together with TPG Capital, L.P., “TPG”), Leonard Green & Partners,
ContractStipulation and Agreement of Compromise and Settlement • September 8th, 2018 • Massachusetts
Contract Type FiledSeptember 8th, 2018 Jurisdiction
STIPULATION AND AGREEMENT OF COMPROMISE AND SETTLEMENTStipulation and Agreement of Compromise and Settlement • October 30th, 2022 • Delaware
Contract Type FiledOctober 30th, 2022 JurisdictionThis Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated March 11, 2021, is entered into by and among the following parties in the above-captioned action (“Action”): (i) plaintiff Elizabeth Morrison (“Plaintiff”), on her own behalf and on behalf of the Class1; (ii) defendant Ray Berry (“Berry”); (iii) defendant Richard A. Anicetti (“Anicetti”); (iv) defendant Scott Duggan (“Duggan”); and (v) defendants JPMorgan Chase & Co. and J.P. Morgan Securities, LLC (collectively “JPMorgan” and, with Berry, Anicetti, and Duggan, “Defendants”).
STATE OF WISCONSIN CIRCUIT COURT MILWAUKEE COUNTY Buttonwood Tree Value Partners, LP, et al. Case No. 08-CV-002963 Plaintiff, Bruce M. Smith, et al., Defendant. The Allen Dragge Jr. Tr; , et al. Case No. 11-CV-001100 Plaintiffs,Stipulation and Agreement of Compromise and Settlement • July 13th, 2011 • Smith Family Voting Trust • Motors & generators
Contract Type FiledJuly 13th, 2011 Company IndustryThis Stipulation and Agreement of Compromise and Settlement (the “Stipulation”), dated July 6, 2011, which is entered into between (i) plaintiffs Buttonwood Tree Value Partners, LP (“Buttonwood”), (ii) I. Wistar Morris, III, I. Wistar Morris, III IRA, the Cotswold Foundation Trust, and I. Wistar Morris, III 401-K Plan (the “Morris Plaintiffs,” and together with Buttonwood, the “Class Representatives”), on their own behalf and on behalf of the Settlement