Stipulation of Settlement and Release Sample Contracts

IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION
Stipulation of Settlement and Release • April 8th, 2020

counsel, that subject to court approval as required by Rule 23(c) of the North Carolina Rules of Civil Procedure, this action is settled according to the terms and conditions as set forth in this

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STATE OF NORTH CAROLINA WAKE COUNTY UPRIGHT BUILDERS INC. and LEGACY CUSTOM HOMES, INC., Plaintiffs v. TOWN OF APEX, Defendant )))))))))) ) IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISIONCase No. 18-CVS-3720 and 18-CVS-4384 STIPULATION OF...
Stipulation of Settlement and Release • February 22nd, 2019

IT IS HEREBY STIPULATED AND AGREED, by and between Upright Builders Inc. and Legacy Custom Homes, Inc. on behalf of themselves and all others similarly situated (collectively, the “Plaintiffs”) and Defendant Town of Apex (“Town”), each through their duly authorized counsel, that subject to court approval as required by Rule 23(c) of the North Carolina Rules of Civil Procedure, the actions listed below are settled according to the terms and conditions as set forth in this Agreement:

AMENDED STIPULATION OF SETTLEMENT AND RELEASE
Stipulation of Settlement and Release • January 31st, 2024
Proposed Stipulation of Settlement and Release of Certain Class Action and Individual Claims
Stipulation of Settlement and Release • August 25th, 2006 • Anntaylor Stores Corp • Retail-women's clothing stores

This Stipulation of Settlement and Release of Certain Class Action and Individual Claims (“Stipulation” or “Settlement”) is made and entered into by and between Defendants AnnTaylor Retail, Inc. and AnnTaylor Stores Corporation (collectively, the “Defendants” or “AnnTaylor”), on one hand, and Plaintiffs Melissa Laykin, Naoko So, and Amanda Watson (collectively, the “Individual Plaintiffs”), on their own behalf and on behalf of a Class (as defined herein below) to be certified on a provisional basis for settlement purposes only, on the other hand. The Individual Plaintiffs and Defendants are collectively referred to as the “Parties.” (Capitalized terms shall have the meanings set forth in Section II or elsewhere in this Stipulation.)

FIRST AMENDED STIPULATION OF SETTLEMENT AND RELEASE
Stipulation of Settlement and Release • July 14th, 2022

This Stipulation of Settlement and Release (“Agreement”) is made and entered into by and between Plaintiff Michael Giebe (“Plaintiff” or “Class Representative”), individually and on behalf of all others similarly situated, and Defendant Bed Bath & Beyond of California Limited Liability Company (“BBB” or “Defendant”), and their respective counsel of record, with regard to the lawsuit filed by Plaintiff in the Superior Court of the State of California for the County of San Bernardino, styled Michael Giebe v. Bed Bath & Beyond, Inc., et al., Case No. CIVDS1924777, subject to the terms and conditions hereof and the Court’s approval pursuant to Section 382 of the California Code of Civil Procedure, Rule 3.769 of the California Rules of Court and Section 2699(l)(2) of the California Labor Code.

AMENDED STIPULATION OF SETTLEMENT AND RELEASE
Stipulation of Settlement and Release • March 30th, 2017

This Amended Stipulation of Settlement and Release (“Stipulation of Settlement”) is made and entered into by and between Plaintiff Omar Rodriguez (“Plaintiff”), individually and on behalf of others similarly situated, and Defendant HAWK II ENVIRONMENTAL CORP. (“Defendant”), subject to the terms and conditions hereof and the Court’s approval.

STIPULATION OF SETTLEMENT AND RELEASE
Stipulation of Settlement and Release • July 1st, 2010 • Elite Pharmaceuticals Inc /De/ • Pharmaceutical preparations • New York

This Stipulation of Settlement and Release (“Stipulation”), entered into as of June 25, 2010 (the “Effective Date”), is by and among Elite Pharmaceuticals, Inc., a Delaware corporation (“Elite”), and Midsummer Investment, Ltd., a Bermuda corporation (“Midsummer”) and Bushido Capital Master Fund, LP, a Cayman Islands limited partnership (“Bushido”, and collectively with Midsummer, the “Plaintiffs”), BCMF Trustees LLC (“BCMF”), Epic Pharma, LLC, a Delaware limited liability company, and Epic Investments, LLC, a Delaware limited liability company (Epic Pharma and Epic Investments collectively, “”Epic”). Elite, the Plaintiffs, BCMF and Epic (the “Parties” and each a “Party”) intending to be legally bound, covenant, agree and represent as follows:

EXHIBIT A
Stipulation of Settlement and Release • October 18th, 2021

This stipulation of settlement and release (‘Stipulation of Settlement’) is made and entered into by and between Plaintiff Jose Meza (‘Plaintiff’), individually and on behalf of all others similarly situated, and Defendants S.S. Skikos, Inc., S.S. Skikos Distribution, Inc., S.S. Skikos Enterprise, LLC, dba Skikos Trucking Inc. (‘Defendant’ or ‘Defendants’), and their respective counsel of record, subject to the terms and conditions hereof and the Court’s approval.

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