How Do I Get More Information?. For more information, including a more detailed Notice, a copy of the Settlement Agreement and other documents, go to xxx.Xxxxxxxxxxxxxxxxxx.xxx, contact the settlement administrator at 1- - _- or ExamSoft Settlement Administrator, [address], or call Class Counsel at 000-000-0000. EXHIBIT B COURT AUTHORIZED NOTICE OF CLASS ACTION AND PROPOSED SETTLEMENT ExamSoft Settlement Settlement Administrator P.O. Box 0000 City, ST 00000-0000 OUR RECORDS INDICATE YOU HAVE TAKEN AN ONLINE EXAM WITH EXAMSOFT AND MAY BE ENTITLED TO A PAYMENT FROM A CLASS ACTION SETTLEMENT. ||||||||||||||||||||||| Postal Service: Please do not mark barcode XXX—«ClaimID» «MailRec» «First1» «Last1» «C/O» «Addr1» «Addr2» «City», «St» «Zip» «Country» By Order of the Court Dated: [date] A settlement has been reached in a class action lawsuit claiming that Defendant, remote proctoring company ExamSoft Worldwide, LLC f/k/a ExamSoft Worldwide, Inc., collected, captured, received, or otherwise obtained and/or stored the biometric identifiers and biometric information (collectively, “biometric information”) of thousands of Illinois test takers without first establishing a retention and deletion schedule for permanently destroying the biometric information, and without informing the test-takers of the specific purpose and length of term for which the biometric information is being collected, stored, and used. It is alleged that Defendant’s acts violated the Illinois Biometric Information Privacy Act (“BIPA”), 740 ILCS 14/1, et seq. Defendant denies the allegations. Am I a Class Member? Our records indicate you may be a Class Member. Class Members are Illinois residents who used ExamSoft’s software to take an online exam between January 1, 2020 and May 5, 2021 and who had their facial geometry or other biometric information collected, captured, received, or otherwise obtained and/or stored by ExamSoft. What Can I Get? If approved by the Court, a Settlement Fund of $2,250,000.00 will be established to pay all Settlement Class Members, together with notice and administration expenses, approved attorneys’ fees and costs, and incentive awards. If you are entitled to relief, you will automatically receive a designated pro rata share of the Net Settlement Fund—which will be the remainder of the Settlement Fund after the deduction of attorneys’ fees, expenses, incentive awards, notice and settlement administration costs, and any other costs agreed to by the Parties and approved by the Court. Your pro rata s...
How Do I Get More Information?. This Notice summarizes the Action, the terms of the Settlements, and your rights and options in connection with the Settlements. More details are in the Settlement Agreements, which are available for your review at xxx.XxxxxxxxxXxxXxxxxxxxxXxxxxxxxxx.xxx. The Settlement Website also has the Second Amended Complaint and other documents relating to the Settlements. You may also call toll-free 0-000-000-0000 or write the Claims Administrator at: Financial Aid Antitrust Settlements, c/o Claims Administrator, 0000 Xxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxxxxx, XX 00000. EXHIBIT B To: Settlement Class Member Email Address From: Claims Administrator Subject: Notice of Proposed Class Action Settlement – Xxxxx, et al. x. Xxxxx University, et al. Please visit xxx.XxxxxxxxxXxxXxxxxxxxxXxxxxxxxxx.xxx for more information. • The Court has preliminarily approved proposed settlements (“Settlements”) with the following six schools: Brown University, the University of Chicago, the Trustees of Columbia University in the City of New York, Duke University, Emory University, and Yale University (collectively the “Settling Universities”). • The Court has also preliminarily approved a class of students who attended one or more of the Settling Universities during certain time periods. This is referred to as the “Settlement Class,” which is defined in more detail below.
How Do I Get More Information?. If you have general questions regarding the Settlement, you can visit this website: XXxxx000XXxxxxxxxxx.xxx, call 1-XXX-xxx-xxxx, or write to the Settlement Administrator at Univ. of Pennsylvania 403(b) Settlement Administrator, XXXXXXXX, XXXXXX XX XXXXX. XXXXXXXX XXXXX, ET AL., v. THE UNIVERSITY OF PENNSYLVANIA, ET AL., No. 2:16-cv-4329-GEKP Upon consideration of the Plaintiffs’ Unopposed Motion for Final Approval of the Settlement of the above-referenced litigation under the terms of a Class Action Settlement Agreement dated January 13, 2021, (the “Settlement Agreement”), the Court hereby orders and adjudges as follows:
1. For purposes of this Final Order and Judgment, capitalized terms used herein have the definitions set forth in the Settlement Agreement, which is incorporated herein by reference.
2. In accordance with the Court’s Preliminary Approval Order, Settlement Notice was timely distributed by electronic or first-class mail to all Class Members who could be identified with reasonable effort, and Settlement Notice was published on the Settlement Website maintained by Class Counsel. In addition, pursuant to the Class Action Fairness Act, 28 U.S.C. § 1711, et seq., notice was provided to the Attorneys General for each of the states in which a Class Member resides, the Attorney General of the United States, and the United States Secretary of Labor.
3. The form and methods of notifying the Settlement Class of the terms and conditions of the proposed Settlement Agreement met the requirements of Fed. R. Civ. P. 23(c)(2), any other applicable law, and due process, and constituted the best notice practicable under the circumstances; and due and sufficient notices of the Fairness Hearing and the rights of all Class Members have been provided to all people, powers and entities entitled thereto.
4. All requirements of the Class Action Fairness Act, 28 U.S.C. § 1711, et seq., have been met.
5. Class Members had the opportunity to be heard on all issues regarding the resolution and release of their claims by submitting objections to the Settlement Agreement to the Court.
6. Each and every objection to the Settlement is overruled with prejudice.
7. The Motion for Final Approval of the Settlement Agreement is hereby GRANTED, the Settlement of the Litigation is APPROVED as fair, reasonable, and adequate to the Plans and the Settlement Class, and the Settling Parties are hereby directed to take the necessary steps to effectuate the terms of the Settlement Agreem...
How Do I Get More Information?. If you have questions regarding the Settlement, you can visit [xxx.xxxxxxxxxxxxxxxxx.xxx], call [telephone number], or write to the Settlement Administrator at [mailing address]. All papers filed in this lawsuit are also available for review via the Public Access to Court Electronic Records System (PACER), at xxxx://xxx.xxxxx.xxx, and can be reviewed in person during regular business hours at the Office of the Clerk of the United States District Court for the Southern District of New York, 000 Xxxxx Xxxxxx, Xxxx 000, Xxx Xxxx, XX 00000-0000.
How Do I Get More Information?. If you have general questions regarding the Settlement, you can visit this website: Xxxxx000xXxxxxxxxxx.xxx, call 1- , or write to the Settlement Administrator at Emory 403(b) Settlement Administrator, . XXXXXX XXXXXXXXX et al.,
How Do I Get More Information?. You can inspect many of the court documents connected with this case on the Settlement Website at www _.com. Other papers filed in this lawsuit are available by accessing the Court docket in this case available through the Court’s website (www ). You can contact the Settlement Administrator at _. You can also obtain additional information by contacting Class Counsel:
How Do I Get More Information?. For more information, including a more detailed Notice, Claim Form, a copy of the Settlement Agreement and other documents, go to xxx.xxxxxxxxxxxxxxxxxxxxxxxx.xxx, contact the settlement administrator at 1- - - or Hearst Settlement Administrator, [address], or call Class Counsel at 0-000-000-0000. CCOaURsTeA1U:T1H5O-RcIZvE-D0N9O2T7IC9E-OAFTC-LJALSCS Do ACTION AND PROPOSED SETTLEMENT OUR RECORDS INDICATE YOU HAVE PURCHASED AND/OR HAD A SUBSCRIPTION TO A HEARST COMMUNICATIONS, INC. PUBLICATION AND MAY BE ENTITLED TO A PAYMENT FROM A CLASS ACTION SETTLEMENT. cHuemarsteSnetttle2m9en0t -1 Filed 07/12/18 Page 48 of 68 Settlement Administrator X.X. Xxx 0000 Xxxx, XX 00000-0000 ||||||||||||||||||||||| Postal Service: Please do not xxxx barcode XXX—«ClaimID» «MailRec» «First1» «Last1» «C/O» «Addr1» «Addr2» «City», «St» «Zip» «Country» By Order of the Court Dated: [date] THIS CLAIM FORM MUST BE SUBMITTED ONLINE OR POSTMARKED BY [CLAIMS DEADLINE] AND MUST BE FULLY COMPLETED, BE SIGNED, AND MEET ALL CONDITIONS OF THE SETTLEMENT AGREEMENT. Instructions: Fill out each section of this form and sign where indicated. Name (First, M.I., Last): Street Address: City: State: Zip Code: _ _ Email Address (optional): Contact Phone #: ( ) – _ (You may be contacted if further information is required.)
How Do I Get More Information?. This notice summarizes the proposed Settlement. You can find more details in the Settlement Agreement. You can obtain a copy of the Settlement Agreement at xxx.XxxxxXxxxxxxxxXxxxxxxxxx.xxx. You may also write with questions to Checking Account Overdraft Litigation, P.O. Box , [City, State, Zip] or call the toll-free number, 1-800- . Do not contact Amegy or the Court for information. IN THE UNITED STATES COURT FOR THE DISTRICT OF UTAH CENTRAL DIVISION XXXXXXX XXXXXX, XXXXXXX XXXXXXX, J. XXXXX XxXXX, XXXXX XXXXXXX, XXXXXX X. XXXXXX, XXXXXX X. XXXXX XX, and XXXXXXX XXXXXXXX XX., individually and on behalf of all others similarly situated, Plaintiffs, v. Consolidated Case No. 2:11-cv-00929-BSJ Judge Xxxxx X. Xxxxxxx ZIONS BANCORPORATION, a Utah corporation; ZIONS FIRST NATIONAL BANK, a federally chartered bank; AMEGY BANK NATIONAL ASSOCIATION, a national banking association; NATIONAL BANK OF ARIZONA, a national banking association; and VECTRA BANK COLORADO, N.A., a national banking association, Defendants.
How Do I Get More Information?. If you have general questions regarding the Settlement, you can visit this website: [WEBSITE], call 1- XXXXXXX, or write to the Settlement Administrator at Philips North America 401(k) Settlement Administrator, . XXXX XXXXXX,et al., vs. PHILIPS NORTH AMERICA LLC, No. 3:18-cv-01099-NJR-RJD All persons who participated in the Philips North America 401(k) Plan (f/k/a Philips Electronics North America Corporation Employee Savings Plan) at any time during the Class Period, including any Beneficiary of a deceased person who participated in the Philips North America 401(k) Plan at any time during the Class Period, and/or, Alternate Payee, in the case of a person subject to a Qualified Domestic Relations Order who participated in the Philips North America 401(k) Plan at any time during the Class Period. The Class Period is defined as December 4, 2009 through the date of the Final Order approving the Class Action Settlement. For purposes of this Notice, if not defined herein, capitalized terms have the Definitions in the Settlement Agreement, which is incorporated herein by reference.
How Do I Get More Information?. If you want more information, you can contact the lawyers who work for the deaf and hard of hearing inmates. They can answer your questions. They also can send you a copy of the Settlement Agreement. You can write to any of these lawyers: