SETTLEMENT AGREEMENT AND RELEASE Sample Clauses

SETTLEMENT AGREEMENT AND RELEASE. On the date you sign this Agreement, you will sign and deliver to the Company a Settlement Agreement and Release in the form attached as Exhibit A.
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SETTLEMENT AGREEMENT AND RELEASE. 2 This Settlement Agreement and Release (the “Agreement”) is entered into on September 13, 3 2019, by and among Plaintiffs, on their own behalves and on behalf of the Class and the Plan, on 4 the one hand, and Defendants, on the other hand, in consideration of the promises, covenants, and 5 agreements herein described, and for other good and valuable consideration acknowledged by each 6 of them to be satisfactory and adequate. 7 The capitalized terms used in the preceding sentence and in this Agreement are defined in 8 Part I, below.
SETTLEMENT AGREEMENT AND RELEASE. The Parties, by and through their respective counsel, in consideration for and subject to the promises, terms, and conditions contained in this Settlement Agreement, hereby warrant, represent, acknowledge, covenant, stipulate and agree, subject to Court approval pursuant to applicable federal and state law, as follows:
SETTLEMENT AGREEMENT AND RELEASE. This Settlement Agreement and Release (the “Agreement”) is made and entered into by and between the following parties on June 22, 2020: Plaintiffs Xxxx Xxxxxxx and Xxxx Xxxxxx, individually and on behalf of the Settlement Class (hereinafter “Plaintiffs” or “Class Representatives”), on the one hand, and Quincy Bioscience, LLC (“Defendant” or “Quincy”), Quincy Bioscience Holding Company, Inc., Prevagen, Inc., Quincy Bioscience Manufacturing, LLC, Xxxx Xxxxxxxxx, and Xxxxxxx Xxxxxx (collectively, with Defendant, the “Settling Defendants”), on the other hand, in the action entitled Xxxxxxx, et al. v.
SETTLEMENT AGREEMENT AND RELEASE. This Settlement Agreement and Release (the “Agreement” or the “Settlement”) is entered into, subject to approval of the Court consistent with the Federal Rules of Civil Procedure, by and between Plaintiffs, Xxxxxxx Xxxxxx Chiropractic Clinics, Inc. and Coastal Wellness Centers, Inc., on behalf of themselves and the Settlement Class Members (as defined below), and the GEICO COMPANIES (as defined below) in the Action (as defined below). The GEICO COMPANIES, Class Counsel (as defined below) and Plaintiffs stipulate and agree that, in consideration of the promises and covenants set forth in this Agreement, and upon the Effective Date (as defined below), all claims of Plaintiffs and the Settlement Class Members claims against the GEICO COMPANIES in the Action shall be settled, compromised, released, and dismissed on the merits and with prejudice, upon the terms and conditions contained in this Agreement. EXHIBIT 1
SETTLEMENT AGREEMENT AND RELEASE. Purchaser, Seller, Humboldt, ECX and Gordon shall all have fully executed and delivered the Release Agreemexx xx the form of in the form substantially similar to the attached EXHIBIT C hereto.
SETTLEMENT AGREEMENT AND RELEASE. This Settlement Agreement and Release is entered into between and among the following parties, by and through their respective counsel: Xxxxx Xxxxx (“Plaintiff” or “Class Representative”), on behalf of himself and the Settlement Class, and Freedom Franchise Systems, LLC (“Freedom Franchise”) and Freedom Adventures, LLC (“Freedom Adventures”; collectively, the “Defendants”). Plaintiff and the Defendants will sometimes be referred to together as the “Parties,” or, individually, as a “Party”.
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SETTLEMENT AGREEMENT AND RELEASE. 3. No later than thirty (30) days after the execution of this Settlement Agreement, Defendant shall pay Xx. Xxxxxxxx a total of $36,000.00 (“Settlement Payment”) in settlement of his aforementioned claims against Defendant and Respondent. The State will report this payment to the appropriate taxing authorities on IRS Form 1099 and any other appropriate forms. This payment shall be made by check and mailed to Xxxxxxxx Xxxxxxxxx, Johnson, Johnson, Xxxxxx & Xxxxxxxx, PC, 000 Xxx Xxxxxx Xxxxxxxx Xxxxxxxx, Xxxxx 0000, Xxxxxx, XX 00000. This payment shall not affect the terms or conditions of any employment with the State that Xx. Xxxxxxxx may have at any time, including but not limited to Xx. Xxxxxxxx’x ability to seek and receive insurance coverage for a hysterectomy and oophorectomy as a State employee.
SETTLEMENT AGREEMENT AND RELEASE. (Complainant) and the U.S. Department of the Interior (Agency), [identify Bureau], acting by and through its authorized representative, [Agency/Bureau Official title], mutually agree to the following terms and conditions, and knowingly and voluntarily enter into this written SETTLEMENT AGREEMENT AND RELEASE (Settlement Agreement), a document which fully and finally resolves all claims made by Complainant arising from and associated with the above-captioned complaint filed with the U.S. Equal Employment Opportunity Commission (the Complaint) or with the Department of the Interior. PREMISES/RECITALS
SETTLEMENT AGREEMENT AND RELEASE. Plaintiffs La Unión Del Pueblo Entero; Texas Senate Hispanic Caucus; Texas House of Representatives Mexican American Legislative Caucus; Southwest Voter Registration Education Project; California Latino Legislative Caucus; Coalition for Humane Immigrant Rights; Xxxxxxx Xxxxxx Foundation; Mi Familia Vota Education Fund; Somos Un Pueblo Unido; Georgia Association of Latino Elected Officials; Labor Council for Latin American Advancement; Promise Arizona; El Pueblo, Inc.; Maryland Legislative Latino Caucus; Asian Americans Advancing Justice-Chicago; Asian Services in Action, Inc.; Minkwon Center for Community Action Inc.; Chelsea Collaborative; Chicanos Por La Causa; Latino Community Fund of Washington; Arizona Legislative Caucus;
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