Interim Class Counsel definition

Interim Class Counsel means Xxxxxxx X. Xxxxxx and the law firm of Xxxxxxx & London, P.C., 00 Xxxxxx Xxxx, 0xx Xxxxx, Xxx Xxxx, XX 00000; Xxxxx Xxxxx and the law firm of Baron & Xxxx, P.C., 0000 Xxx Xxxx Xxxxxx, Xxxxx 0000, Xxxxxx, Xxxxx, 00000; and Xxxx
Interim Class Counsel means Xxxxxxx X. London and the law firm of Xxxxxxx & London, P.C., 00 Xxxxxx Xxxx, 0xx Xxxxx, Xxx Xxxx, XX 00000; Xxxxx Xxxxx and the law firm of Baron & Xxxx, P.C., 0000 Xxx Xxxx Xxxxxx, Xxxxx 0000, Xxxxxx, Xxxxx, 00000; Xxxx X. Xxxxxx and the law firm of Napoli Xxxxxxxx, 0000 Xxxxxxx Xxxxx xx Xxxx, San Xxxx, Puerto Rico 00907; and Xxxxxx X. Xxxx and the law firm of Motley Rice LLC, 00 Xxxxxxxxxx Xxxxxxxxx, Xx. Pleasant, South Carolina 29464.
Interim Class Counsel means Michael A. London and the law firm of Douglas & London, P.C., 59 Maiden Lane, 6th Floor, New York, NY 10038; Scott Summy and the law firm of Baron & Budd, P.C., 3102 Oak Lawn Avenue, Suite 1100, Dallas, Texas, 75219; and Paul J. Napoli and the law firm of Napoli Shkolnik, 1302 Avenida Ponce de Leon, San Juan, Puerto Rico 00907.

Examples of Interim Class Counsel in a sentence

  • Interim Class Counsel intend to file a motion for fees and costs that will request that amounts due under the Holdback Provisions set forth in CMO No. 3, private attorney/client contracts, and fees of Class Counsel all be paid from the Qualified Settlement Fund, but any such costs and fees of Class Counsel must be approved by the Court.

  • Likewise, consistent with Paragraph 4.2, Interim Class Counsel executing this Settlement Agreement represent and warrant that they have the power and authority to enter into this Settlement Agreement on behalf of Class Representatives and Class Members, as well as the power and authority to bind Class Representatives and Class Members to this Settlement Agreement.

  • To date, Interim Class Counsel has not received any payment for their services in conducting the Class Action, nor have they been reimbursed for their expenses.

  • Interim Class Counsel and counsel for the plaintiffs in the Related Actions engaged in multiple written and oral communications to reach consensus regarding the leadership of the MDL Action, and agreed, by way of joint motion to the Court, to (i) the reappointment of Xxxxx X.

  • In the event that the Court certifies the proposed Economic Class in connection with this Agreement, BP will not oppose the motion brought by Interim Class Counsel or Lead Class Counsel (or their designee) seeking to certify a litigation class against Transocean or Halliburton, but limited to the recovery of punitive damages and/or assigned rights from the BP Parties.

  • Xxxxxx of Xxxxxx Xxxxxx Xxxxx Xxxxxxx LLP and Xxxxxx Xxxxxx of Xxxxxx PC as Interim Class Counsel pursuant to Fed.

  • No. 10) is GRANTED IN PART AND DENIED IN PART consistent with the above discussion; and it is furtherORDERED, that Plaintiffs’ Co-Lead Interim Class Counsel, Weitz & Luxenberg, P.C. and Faraci Lange, LLP, will be responsible for and have plenary authority to prosecute any and all claims of the Plaintiffs and the putative class and to provide general supervision of all Plaintiffs’ Counsel in the Consolidated Actions.

  • Interim Class Counsel for TED Plaintiffs are experienced in handling class action antitrust and other complex litigation.

  • I further appoint Weitz & Luxenberg and Faraci Lang as Co-Lead Interim Class Counsel in this matter, and Powers & Santola as Liaison Counsel.

  • By way of the Motion, the Receiver requests final approval of the proposed settlement with Interim Class Counsel and Raymond James & Associates, Inc.


More Definitions of Interim Class Counsel

Interim Class Counsel means Nix, Patterson & Roach, LLP.
Interim Class Counsel s/ Xxxxxxx X. Xxxxxx Xxxxxxx X. Xxxxxx Xxxxxxx & London, P.C. 00 Xxxxxx Xxxx, 0xx Xxxxx Xxx Xxxx, Xxx Xxxx 00000 xxxxxxx@xxxxxxxxxxxxxxxx.xxx /s/ Xxxx X. Xxxxxx Xxxx X. Xxxxxx Napoli Xxxxxxxx 0000 Xxxxxxx Xxxxx xx Xxxx Santurce, Puerto Rico 00907 XXxxxxx@XXXXXxx.xxx /s/ Xxxxx Xxxxx Xxxxx Xxxxx Xxxxx & Xxxx, P.C. 0000 Xxx Xxxx Xxxxxx, Xxxxx 0000 Xxxxxx, Xxxxx 00000 xxxxxx@xxxxxxxxx.xxx 3M: /s/ Xxxxxx X. Xxxxx Xxxxxx X. Xxxxx Executive Vice President 3M Company 3M Center, 0220-00X-00 Xx. Xxxx, Minnesota 55144-1000
Interim Class Counsel s/ Xxxxxxx X. London Xxxxxxx X. London Xxxxxxx & London, P.C. 00 Xxxxxx Xxxx, 0xx Xxxxx Xxx Xxxx, XX 00000 xxxxxxx@xxxxxxxxxxxxxxxx.xxx /s/ Xxxxx Xxxxx Xxxxx Xxxxx Xxxxx & Xxxx, P.C. 0000 Xxx Xxxx Xxxxxx, Xxxxx 0000 Xxxxxx, XX 00000 xxxxxx@xxxxxxxxx.xxx /s/ Xxxx X. Xxxxxx Xxxx X. Xxxxxx Napoli Xxxxxxxx 0000 Xxxxxxx Xxxxx xx Xxxx San Xxxx, Puerto Rico 00907 XXxxxxx@XxxxxxXxx.xxx /s/ Xxxxxx X. Xxxx Xxxxxx X. Xxxx Xxxxxx Xxxx 00 Xxxxxxxxxx Xxxxxxxxx Xx. Pleasant, SC 29464 xxxxx@xxxxxxxxxx.xxx TYCO: ___/s/ Xxxxxx X. Xxxxx Xxxxxx X. Xxxxx Vice President & Secretary Tyco Fire Products LP 0000 Xxxxxxxxxx Xxxxxxx Xxxxx Xxxxxxxxx, XX 00000 A Allocation Procedures B1 – B5 Claims Forms C Escrow Agreement D Class Notice E Notice Plan F Summary Notice of Proposed Class Action Settlement and Court-Approval Hearing G Proposed Order -- Preliminary Approval Order H Tyco Payment Schedule I Opt Out Form J Bellwether Plaintiffs K Form Letter from Releasing Party L Form Dismissal With Prejudice M Confidential Letter Agreement – Opt Out Thresholds (Filed Under Seal) N Parties' Joint Interpretive Guidance on Interrelated Drinking Water Systems O Parties' Joint Interpretive Guidance on Entities That Own and/or Operate Multiple Public Water Systems P Parties’ Joint Interpretive Guidance on Federally Recognized Indian Tribes and Public Water Systems That They Own or Operate Q Parties’ Joint Interpretive Guidance on Certain Release Issues This Document describes the Allocation Procedures referred to in Section 6 of the Settlement Agreement. The Settlement Amount will be allocated between and among Qualifying Class Members as set forth in the Settlement Agreement and these Allocation Procedures. The Court will appoint a Special Master and Claims Administrator pursuant to Rule 53 of the Federal Rules of Civil Procedure to oversee the allocation of the Settlement Funds. They will adhere to their duties set forth herein and in the Settlement Agreement. The Special Master will generally oversee the Claims Administrator and make any final decision(s) related to any appeals by Qualifying Class Members or Tyco and any ultimate decision(s) presented by the Claims Administrator. The Claims Administrator will perform the actual modeling, allocation, and payment functions. The Claims Administrator will seek assistance from the Special Master when needed. The Claims Administrator may seek the assistance of Interim Class Counsel’s consultants who provided guidance in designing the Allocation Proc...
Interim Class Counsel or “Class Counsel” means Interim Liaison Class Counsel and Interim Co-Lead Class Counsel. The Preliminary Approval Motion shall include the proposed form of an order preliminarily approving this Agreement. No fewer than seven (7) business days before filing, Direct Purchaser Plaintiffs shall submit a draft of the Preliminary Approval Motion to Defendants for their review and approval, which approval shall not be unreasonably withheld.
Interim Class Counsel means Xxxx Xxxxxxxxx of Xxxxxx & Xxxxxx Complex Litigation Group and Xxxx X. Xxxxxxx of Xxxxxxx Xxxxxxx Xxxxxx Xxxxxxxx Xxxxxxxx, LLC (“Xxxxxxx”), who are appointed Co-Lead Counsel and Xxxx Xxxxxxx of Xxxxxx Xxxxxx XxXxxxxx, PLLC who is appointed to the Executive Committee.
Interim Class Counsel means Michael A. London and the law firm of Douglas & London, P.C., 59 Maiden Lane, 6th Floor, New York, NY 10038; Scott Summy and the

Related to Interim Class Counsel

  • Class Counsel means Xxxxxx X. Xxxxxx of Xxxxxx Xxxxxx Xxxxxx LLP, Xxxx Xxxxxx Xxxxxxxxxx of Xxxxxx Xxxxxxxx LLP, and Xxxxx X. Xxxxxxxxxx of Hausfeld LLP.

  • Settlement Class Counsel means the law firm of Xxxxxx Xxxxxx Xxxxx Xxxxxxx LLP.

  • Plaintiffs’ Counsel means Lead Counsel and all other legal counsel who, at the direction and under the supervision of Lead Counsel, performed services on behalf of the Settlement Class in the Action.

  • Class Counsel Fees means the fees of Class Counsel, and any applicable taxes or charges thereon, including any amounts payable as a result of the Settlement Agreement by Class Counsel or the Settlement Class Members to any other body or Person, including the Fonds d’aide aux actions collectives in Quebec.

  • Company U.S. Counsel means Xxxxxx Xxxxxx Xxxxxxxxx Xxxx and Xxxx LLP, with offices located at 00 Xxxxx Xxxxxx, Xxxxxx, Xxxxxxxxxxxxx 00000.

  • Settlement Class Members means any member of the Settlement Class.

  • Class Counsel Fees Payment and “Class Counsel Litigation Expenses Payment” mean the amounts allocated to Class Counsel for reimbursement of reasonable attorneys’ fees and expenses, respectively, incurred to prosecute the Action.

  • Lead Plaintiffs Counsel” means Elizabeth Cabraser of Lieff, Cabraser, Heimann

  • Lead Counsel means the law firm of Xxxxxxxxx Xxxxxxxx Xxxxxx & Xxxxxxxxx LLP.

  • Settlement Class Member means each person and entity who or which is a member of the Settlement Class.

  • Settlement Class means, in respect of each Proceeding, the settlement class defined in Schedule A.

  • Defense Counsel means Xxxxxx, Xxxxx & Xxxxxxx LLP.

  • Class Members means all individuals in the Settlement Class, including the Class Representatives.

  • Participating Class Members means all Class Members who do not submit valid

  • Co-Lead Counsel means the firms of Xxxxxx Xxxxxxx LLP, and Xxxxxxxxxx Xxxxxxx LLP.

  • Class Counsel Litigation Expenses Payment mean the amounts allocated to Class Counsel for reimbursement of reasonable attorneys’ fees and expenses, respectively, incurred to prosecute the Action.

  • Defendants’ Counsel means Xxxxxx X. Xxxxxxx and Xxxxxx X. Xxxxx of Xxxxxx Xxxxxx Xxxxxxxx LLP.

  • Unresolved Claims has the meaning set forth in Section 7.6(c).

  • Plaintiffs means the Class Representatives and the Class Members.

  • Released Class Claims means the claims being released as described in Paragraph 6.2 below.

  • Lead Plaintiff means Xxxxxxx Xxxxxxxx.

  • Participating Class Member means a Class Member who does not submit a valid and timely Request for Exclusion from the Settlement.

  • Professional Fee Claims means all Claims for accrued, contingent, and/or unpaid fees and expenses (including transaction and success fees) incurred by a Professional in the Chapter 11 Cases on or after the Petition Date and through and including the Confirmation Date that the Bankruptcy Court has not denied by Final Order. To the extent that the Bankruptcy Court or any higher court of competent jurisdiction denies or reduces by a Final Order any amount of a Professional’s fees or expenses, then those reduced or denied amounts shall no longer constitute Professional Fee Claims.

  • Unresolved Claim means a Claim, which at the relevant time, in whole or in part: (a) has not been Finally Determined to be a Proven Claim in accordance with the Amended Claims Procedure Order and this Plan; (b) is validly disputed in accordance with the Amended Claims Procedure Order; and/or (c) remains subject to review and for which a Notice of Allowance or Notice of Revision or Disallowance (each as defined in the Amended Claims Procedure Order) has not been issued to the Creditor in accordance with the Amended Claims Procedure Order as at the date of this Plan, in each of the foregoing clauses, including both as to proof and/or quantum;

  • Ad Hoc Committee means a special purpose committee of limited duration, appointed by Council to consider a specific matter and which is dissolved automatically upon submitting its final report to Council, unless otherwise directed by Council.

  • Settlement Classes means the Ontario Settlement Class and the Quebec Settlement Class.