Stipulation of Settlement Sample Contracts

RECITALS
Stipulation of Settlement • September 16th, 2002 • Taylor Capital Group Inc • State commercial banks
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UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK
Stipulation of Settlement • August 27th, 2024
STIPULATION OF SETTLEMENT
Stipulation of Settlement • July 13th, 2022 • Borgwarner Inc • Motor vehicle parts & accessories

This Stipulation of Settlement, dated May 19, 2022 (this "Stipulation"), is made and entered into by and among the following Settling Parties, by and through their respective counsel of record: (i) stockholders Don David Price, Maria Nyiradi, and Peter Wahler ("Stockholders"), individually and derivatively on behalf of nominal defendant BorgWarner Inc. ("BorgWarner" or the "Company"); (ii) Alexis P. Michas, Dennis C. Cuneo, Michael S. Hanley, Joseph F. Fadool, Brady D. Ericson, and Frederic B. Lissalde (collectively, the "Individual Defendants"); and (iii) nominal defendant BorgWarner (together with the Individual Defendants, "Defendants"). This Stipulation is intended by the Settling Parties1 to fully, finally, and forever resolve, discharge, and settle the Released Claims, subject to the terms and conditions set forth herein.

AMENDED STIPULATION OF SETTLEMENT
Stipulation of Settlement • January 6th, 2023

This Amended Stipulation of Settlement (“Settlement Agreement”) is reached by and between Plaintiffs Lucia Alvarez (“Alvarez”) and Alexandra M. Delgadillo (“Delgadillo”) (Alvarez and Delgadillo collectively referred to herein as “Plaintiffs”), individually and on behalf of all members of the Settlement Class (defined below), on one hand, and Defendant Social Vocational Services, Inc. (“Defendant”), on the other hand. Plaintiffs and Defendant are referred to herein collectively as the “Parties.” Plaintiffs and the Settlement Class are represented by Paul

STIPULATION OF SETTLEMENT
Stipulation of Settlement • June 30th, 2020 • New York

THIS STIPULATION OF SETTLEMENT (the “Stipulation”) dated June 10, 2020 (the “Execution Date”) is entered into between Furie Operating Alaska, LLC, a Delaware limited liability company (“Furie”) and Infinity Limited, trading as Infinity Alaska Limited, a corporation formed under the laws of Guernsey (“Infinity”). Each of Furie and Infinity are referred to from time to time as a “Party” and, collectively, as the “Parties”.

STIPULATION OF CLASS ACTION AND PAGA SETTLEMENT
Stipulation of Settlement • November 16th, 2022

This stipulation of class action and PAGA settlement (“Stipulation of Settlement”) is made and entered into by and between Plaintiff Martin Nolasco, individually and on behalf of the Settlement Class, and Defendant Mohawk ESV, Inc., subject to the terms and conditions hereof and the Court’s approval pursuant to California Rule of Court 3.769.

AMENDED STIPULATION OF SETTLEMENT
Stipulation of Settlement • April 5th, 2023

This Stipulation of Settlement (“Settlement Agreement”) is reached by and between Plaintiff Belia Ramirez (“Plaintiff” or “Class Representative”), individually and on behalf of all members of the Settlement Class (defined below), on one hand, and Defendant Rubbercraft Corporation of California, LTD (“Defendant”), on the other hand. Plaintiff and Defendant are referred to herein collectively as the “Parties.” Plaintiff and the Settlement Class are represented by Paul K. Haines, Fletcher W. Schmidt, and Alexandra R. McIntosh of Haines Law Group, APC (collectively, “Class Counsel”). Defendant is represented by Boris Sorsher and Rebecca S. King of Fisher & Phillips LLP.

Cause No. 2011-09567
Stipulation of Settlement • June 12th, 2012

IT IS HEREBY STIPULATED AND AGREED, by, between and among plaintiff shareholder Traci Warner, defendants David J. Lesar, Mark A. McCollum, S. Malcolm Gillis, Robert A. Malone, Nance K. Dicciani, J. Landis Martin, James R. Boyd, Alan M. Bennett, Debra L. Reed, Milton Carroll, James T. Hackett and Jay A. Precourt and nominal defendant Halliburton Company, through their respective duly authorized counsel, that all matters and claims, known and unknown, that were or could have been asserted in the derivative action are, subject to Court approval, settled, compromised, satisfied, dismissed and/or withdrawn with prejudice on the terms and conditions of this Agreement and the Release contained in this Agreement.

UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS
Stipulation of Settlement • September 6th, 2024

This Stipulation of Settlement dated as of September 6, 2024 (the “Stipulation”), is made and entered into by and among the following Settling Parties to the above-entitled Litigation: (i) lead plaintiff Public Employees’ Retirement System of Mississippi (“Lead Plaintiff”), on behalf of itself and each of the Settlement Class Members, by and through its counsel of record in the Litigation; and (ii) defendants Cerence Inc. (“Cerence”), Sanjay Dhawan, and Mark J. Gallenberger (collectively, “Defendants”), by and through their counsel of record in the Litigation. Subject to the approval of the Court, the Stipulation is intended by the Settling Parties to fully, finally, and forever resolve, discharge, and settle the Litigation and the Released Claims, upon and subject to the terms and conditions hereof.

14 I. FACTUAL BACKGROUND
Stipulation of Settlement • June 20th, 2011
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION
Stipulation of Settlement • June 3rd, 2016 • New York

This Stipulation of Settlement (the “Settlement Agreement”) is made by Mario Aliano (the “Class Plaintiff” or “Representative Plaintiff”), individually, and on behalf of all others similarly situated and the Settlement Class (as defined below), on the one hand, and CVS Pharmacy, Inc. (“CVS”), on the other hand, in this action pending in the United States District Court for the Northern District of Illinois, Eastern Division (the “Action” or “Class Action”), subject to and conditioned upon the approval of this Court or a transferee Court of the terms and conditions thereof.

Defendants.
Stipulation of Settlement • August 1st, 2017

This Stipulation of Settlement (the "Settlement") is made and entered into by and among: (i) the plaintiff representatives and the plaintiff class as defined below, (ii) Strategic Capital Group, LLC (“SCG”) and Craig D. Johnsen; (iii) the following defendants named in the lawsuits called Brown, et al. v. Price, et al., King County Superior Court No. 16-2-19544-0 SEA; and Brown, et al. v. Price, et al., U.S. District Court for Oregon, Case No. 3:17-CV-00869-HZ:

Contract
Stipulation of Settlement • October 13th, 2020
UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS
Stipulation of Settlement • September 6th, 2024

This Stipulation of Settlement dated as of September 6, 2024 (the “Stipulation”), is made and entered into by and among the following Settling Parties to the above-entitled Litigation: (i) lead plaintiff Public Employees’ Retirement System of Mississippi (“Lead Plaintiff”), on behalf of itself and each of the Settlement Class Members, by and through its counsel of record in the Litigation; and (ii) defendants Cerence Inc. (“Cerence”), Sanjay Dhawan, and Mark J. Gallenberger (collectively, “Defendants”), by and through their counsel of record in the Litigation. Subject to the approval of the Court, the Stipulation is intended by the Settling Parties to fully, finally, and forever resolve, discharge, and settle the Litigation and the Released Claims, upon and subject to the terms and conditions hereof.

AMENDMENT TO STIPULATION OF SETTLEMENT
Stipulation of Settlement • June 2nd, 2004 • Grand Toys International LTD • Wholesale-misc durable goods • New York

THIS AMENDMENT TO STIPULATION OF SETTLEMENT (“Amendment”) is entered into as of the day of June, 2003 among GRAND TOYS INTERNATIONAL, INC. (“GRAND”), and DANIEL ATKINS, MARK ATKINS, TERESA ATKINS, DOUGLAS ATKINS and BRUCE MINOR (collectively, the “Defendants”).

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