Counter-Defendant definition

Counter-Defendant means Midland, and/or any or all of their past or present, direct or indirect, parents, subsidiaries, divisions, predecessors, successors, assigns, insurers, reinsurers, directors, officers, partners, shareholders, principals, owners, members, trustees, administrators, executors, managers, representatives, attorneys, accountants, financial and other advisors, investment bankers, underwriters, legal representatives, and successors in interest.
Counter-Defendant means Portfolio Recovery Associates, LLC, and/or any or all of their past or present, direct or indirect, parents, subsidiaries, divisions, predecessors, successors, assigns, insurers, reinsurers, directors, officers, partners, shareholders, principals, owners, members, trustees, administrators, executors, managers, representatives, attorneys, accountants, financial and other advisors, investment bankers, underwriters, legal representatives, and successors in interest.

Examples of Counter-Defendant in a sentence

  • Plaintiff and Counter-Defendant SITO seeks to dismiss with prejudice all claims as asserted by SITO against Zoove in this action; WHEREAS, Defendant and Counter-Claimant Zoove seeks to dismiss with prejudice all counterclaims as asserted by Zoove against SITO in this action; THEREFORE, Plaintiff and Counter-Defendant Single Touch Interactive, Inc.

  • Accordingly, the Parties agree not to assert in any forum that the Consolidated Actions were brought by Counter-Plaintiffs or defended by Counter-Defendant, or each or any of them, in bad faith or without a reasonable basis.

  • Plaintiff / Counter-Defendant Forest City is an Ohio corporation with its principal place of business in Cleveland, Ohio.

  • As set forth in Section XIV, Counter-Defendant shall have the right to withdraw from the Settlement Agreement if the Court does not approve the material aspects of the Agreement.

  • Within twenty eight (28) days after entry of the Preliminary Approval Order, Counter-Defendant shall create a Class List, based on readily available information already within its possession (the “Class List”) and provide the Class List to Counter-Plaintiffs’ Counsel and the Settlement Administrator.

  • Respectfully submitted, POLSINELLI ▇▇▇▇▇▇▇▇ PC By: /s/ ▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇▇▇ Attorneys for Plaintiff and Counter-Defendant Single Touch Interactive, Inc.

  • GREYSTONE BUSINESS CREDIT II, L.L.C., a Delaware limited liability company, and GBC FUNDING, LLC, a Delaware limited liability company, Counter-Defendant.

  • Counter-Defendant has, since October 1, 2018, filed all collection actions in Illinois in compliance with Illinois Supreme Court Rule 280 and will continue to file all collection actions in Illinois in compliance with Illinois law and Illinois Supreme Court Rules.

  • Prior to or at the same time as Counter-Plaintiffs seek final approval of the Settlement Agreement, Class Counsel shall move the Court for Service Awards for the Class Representatives in an amount not to exceed Five Thousand Dollars ($5,000.00) for ▇▇▇▇▇▇ ▇▇▇ and in an amount not to exceed Five Thousand Dollars ($5,000.00) for ▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇, and Counter-Defendant agrees that it will not oppose such requests.

  • Within 14 days after issuance of the Preliminary Approval Order, Counter-Defendants shall provide to Class Counsel a list of all class members, their contact information, the date(s) on which Counter-Defendant ▇▇▇▇▇▇▇ sent them collection letters and/or obtained judgments against them, and the amounts paid by class members and not allocated to principal.