Settlement Agreement and Release of Claims Sample Contracts

RECITALS
Settlement Agreement and Release of Claims • October 24th, 2006 • Ns8 Corp • Services-computer programming services
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SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • January 4th, 2021 • New York

This Settlement Agreement and Release of all Claims (“Agreement”) is entered into as of March 9, 2020, between T-Mobile US, Inc. (“T-Mobile”) and Sprint Corporation (“Sprint”), including their respective affiliates (collectively, the “Companies”), on the one hand, and the State of California, on the other. “Parties” refers collectively to the Companies and the State of California, and “Party” refers to any one of the Parties, as the context requires.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • November 8th, 2022 • California

into on May 16, 2007, by and between California Council of the Blind (”CCB”); San Francisco LightHouse for the Blind and Visually Impaired (”The

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • February 6th, 2014 • Washington

This Settlement Agreement and Release of Claims (“Agreement”) is entered into by and between King County (“County”) and Shorelines Hearings Board Petitioners James T. Stenson, Greg & Karma Chapman, and Sammamish Homeowners (collectively “Petitioners”). The County and Petitioners are collectively referred to herein as the “Parties.” The Parties enter into this Agreement to resolve (1) an appeal filed with the Shorelines Hearings Board on January 17, 2014, namely Stenson, et al. v. King County, et al., SHB No. 14-001, and (2) other disputes associated with the construction of the North Sammamish segment of the East Lake Sammamish Trail, among other issues.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • March 21st, 2012 • Arizona

This Settlement Agreement and Release of Claims (hereafter referred to as “this Agreement”) is entered into as of March _ , 2012, by and between Dina R. Galassini, Gregory J. Larson and David Frederikson (hereinafter “Claimants”) and Gila County, a body politic. Claimants and Gila County are sometimes hereafter collectively referred to as "the Parties."

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • December 22nd, 2010 • Trimeris Inc • Biological products, (no disgnostic substances) • North Carolina

This Settlement Agreement and Release of Claims (the “Agreement”) is entered into by and between Michael A. Alrutz (the “Executive”) and Trimeris, Inc. (the “Company”). Collectively, the Executive and the Company are hereinafter referred to as the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • July 31st, 2018 • Marathon Patent Group, Inc. • Patent owners & lessors • California

This Settlement Agreement and Release of Claims (the “Agreement”) is entered into as of the Effective Date by and among Symantec Corporation (“Plaintiff”), on the one hand, and Marathon Patent Group, Inc. and Clouding Corp. (together, “Defendants”), on the other hand.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • July 17th, 2020 • California

is entered into as of the date of the last signature affixed to this Agreement, by and between the PLAINTIFFS CALIFORNIA SPORTFISHING PROTECTION ALLIANCE, AQUALLIANCE, and CALIFORNIA WATER IMPACT NETWORK, and DEFENDANTS CALIFORNIA STATE WATER RESOURCES CONTROL BOARD and THOMAS HOWARD, in his capacity

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • May 7th, 2014 • Washington

This Settlement Agreement and Release of Claims (“Agreement”) is entered into as of the last date of any signature below by and among:

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • March 28th, 2024 • Washington

This Settlement Agreement and Release of Claims (“Agreement”) is entered into as of the last date of any signature below (“Execution Date”) by and among:

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • March 8th, 2017 • BlackRock Capital Investment Corp

This Settlement Agreement and Release of Claims (“AGREEMENT”), made and entered into as of the day and date set forth below, by WILLIAM FISH, individually, to and in favor of BLACKROCK CAPITAL INVESTMENT CORPORATION, f/k/a BLACKROCK KELSO CAPITAL CORPORATION, AND 52ND STREET ADVISORS, LLC, f/k/a BLACKROCK KELSO CAPITAL ADVISORS, LLC (collectively, “BLACKROCK”), witnesseth that:

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • May 31st, 2018 • California
SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • February 6th, 2024 • Sophis Investments LLC • Guided missiles & space vehicles & parts • Delaware

This Settlement Agreement and Release of Claims (the “Agreement”) is entered into and made effective as of February 4, 2024 (the “Effective Date”) by and between Terran Orbital Corporation (together with its subsidiaries, “Terran Orbital” or the “Company”) and Austin Williams, Roland Coelho, Joseph Roos, Roark’s Drift, LLC, Jordi Puig-Suari, Sophis Investments LLC, Sophis GP LLC, and Tassos Recachinas (Sophis Investments LLC, Sophis GP LLC and Mr. Recachinas, “Sophis,” and together with Roark’s Drift and Messrs. Williams, Coelho, Roos and Puig-Suari, the “Sophis Group”). The parties to this Agreement may be referred to herein as a “Party,” or collectively, the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • August 28th, 2007 • Wisconsin

WHEREAS, the City of Madison ("City") and David Denig-Chakroff (“Denig- Chakroff”), General Manager of the Madison Water Utility (“MWU”), do hereby desire to terminate the Employment Agreement executed between these parties July 10, 2006; and

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • July 19th, 2013 • Wisconsin

This Agreement, along with all exhibits hereto (collectively, the “Settlement Agreement”), is entered into by and between SSM Heath Care of Wisconsin, Inc. (Defendant) and Roberta Fosbinder-Bittorf (the “Class Representative” or the “Plaintiff”), for herself and on behalf of a class and collective class of all similarly- situated employees, in the case of Fosbinder-Bittorf v. SSM Health Care of Wisconsin, Inc., Case No. 11-cv-592, filed in the United States District Court for the Western District of Wisconsin (the “Lawsuit”).

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • August 7th, 2009 • Key Energy Services Inc • Drilling oil & gas wells • Texas

This Settlement Agreement and Release of Claims (“Settlement Agreement”) is entered into on this 3rd day of March, 2009 (“Effective Date”), by and between W. Phillip Marcum (“Marcum”) and Key Energy Services, Inc. (“Key”).

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • May 3rd, 2023

This Settlement Agreement and Release of Claims (“Settlement Agreement”) is made and entered into by and between Plaintiff Mary Gegax (“Plaintiff” or “Class Representative”), individually and on behalf of the Settlement Class (as defined in Paragraph 2, below), on the one hand, and Defendant Ann / Judith In Home Caregivers of Western Washington, LLC (“Defendant”), on the other hand, in Gegax v. Ann / Judith In Home Caregivers of Western Washington, King County Superior Court, Case No. 22-2-17728-4 (the “Litigation” or “Action”). This Settlement Agreement is subject to the terms and conditions hereof and the approval of the Court. For purposes of this Settlement Agreement, Plaintiff and Defendant are referred to individually as a “Party” and collectively as the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • December 9th, 2014 • California
SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • July 5th, 2021 • Ohio

This Settlement Agreement and Release of Claims (“Agreement”) is made and entered into by and between Steven Oluic (“Oluic” as defined below) and Lakeland Community College (“Lakeland” as defined below) (collectively, “the Parties”).

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • July 21st, 2019 • Washington

THIS AGREEMENT is entered into as of July , 2019, between Defendants CF Arcis VII LLC dba The Club at Snoqualmie Ridge, CF Arcis IV Holdings, LLC, and Arcis Equity Partners, LLC (collectively, “Defendants” or “Arcis”), on the one hand, and Plaintiffs Clyde Stephen Lewis, James Presti, and Michael Ralls (collectively, “Plaintiffs”), individually and as representatives of the Plaintiff Settlement Class, defined below, on the other hand.

Contract
Settlement Agreement and Release of Claims • October 6th, 2023
SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • March 8th, 2017 • BlackRock Capital Investment Corp

This Settlement Agreement and Release of Claims (“AGREEMENT”), made and entered into as of the day and date set forth below, by TINA BARTLEY, CATHY MAJORIS and MEGAN SWAIN, individually and as Co-Administratrices of the Estate of Steven M. Swain, (“RELEASORS”) to and in favor of BLACKROCK CAPITAL INVESTMENT CORPORATION, f/k/a BLACKROCK KELSO CAPITAL CORPORATION, AND 52ND STREET ADVISORS, LLC, f/k/a BLACKROCK KELSO CAPITAL ADVISORS, LLC (collectively, “BLACKROCK”), witnesseth that:

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SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • May 24th, 2010 • Florida

This Settlement Agreement and Release of Claims (this “Agreement”) is entered into as of the day of , 2009, by and among (“Plaintiff”), (“General Contractor”) and (“Subcontractor”).

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • June 1st, 2007 • Titan Global Holdings, Inc. • Communications equipment, nec

This SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS (the “Agreement”) is entered into by and between Oblio Telecom, Inc. (“Oblio”) and Sprint Communications Company, L.P. (“Sprint”) (collectively, the “Parties”).

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • December 1st, 2014 • California

This Settlement Agreement and Release of Claims (“Settlement Agreement”) is entered into by and between Defendants RSCR California, Inc. (a Delaware Corporation) and Res-Care, Inc., (a Kentucky corporation) (“Defendants” or “ResCare”), on one hand, and Plaintiffs Gloria Nelson and Julia Tellez (the “Named Plaintiffs” or, individually, “Tellez” or “Nelson”), on behalf of themselves and on behalf of the subclasses of ResCare employees described below, on the other. This Settlement Agreement is intended to fully, finally and forever resolve, discharge and settle the Released Claims, as defined below, upon and subject to the terms and conditions of this Settlement Agreement.

EXHIBIT A
Settlement Agreement and Release of Claims • March 30th, 2021

and among (“Plaintiff”) and KPMG LLP (“Defendant” or “KPMG”). Defendant and Plaintiff are each a “Party” and together are the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • April 19th, 2019 • California

This Settlement Agreement and Release of Claims (“Agreement”) is entered into by plaintiffs, RONNEL CARTER, the estate of JUAN ESTRADA, the estate of JERRY GREEN, BURL MALMGREN, BILL McDONALD, and JOEL MORALES individually and on behalf of the Settlement Class, as defined below, and defendant, XPO LAST MILE, INC. This Agreement is subject to approval of the Court pursuant to Rule 23(e) of the Federal Rules of Civil Procedure, and is made for the sole purpose of attempting to consummate settlement of this Action on a classwide basis subject to the following terms and conditions. As detailed below, in the event the Court does not enter an order granting final approval of the Settlement for any reason, this Agreement shall be void and shall be of no force or effect.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • March 22nd, 2022

This Settlement Agreement and Release of Claims (“Agreement”) is entered into by and between Edward Si and Students for a National Health Program at Eastern Virginia Medical School (SNaHP), on the one hand, Eastern Virginia Medical School (“EVMS”), several of its employees including, Alfred Abuhamad, President, Stacy R. Purcell, Vice President and General Counsel, Shannon Morris, Assistant Professor, and Allison Knight, Assistant Vice Dean for Student Affairs, its Board of Visitors and the individual members of the Board of Visitors including, Sarah M. Bishop, Robert J. Bianchi, Betty B. Bibbins, Chester M. Hart, Jr., W. Ashton Lewis, Sr., T. Richard Litton, Jr., Lisa S. Chandler, Guy R. Fridell, III, Bruce Waldholtz, Phillip

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • June 30th, 2008 • Image Entertainment Inc • Services-allied to motion picture production • California

This Settlement Agreement and Mutual Release of Claims (“Settlement Agreement”) is made as of March 18, 2008, by and between Jeffrey Fink (“Fink”), on the one hand, and Image Entertainment, Inc. (“Image”), on the other hand. Fink and Image sometimes collectively will be referred to as the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • September 25th, 2019 • California

This Settlement Agreement and Release of Claims (“AGREEMENT”) is entered into by and between the Stop LAPD Spying Coalition (“Petitioner”) on the one hand, and the City of Los Angeles (“Respondent”), on the other hand. Petitioner and Respondent are together referred to as “the Parties.” This AGREEMENT settles any and all of Petitioner’s claims or causes of action, including those for mandamus relief and/or injunctive relief against Respondent as well as claims for monetary relief, damages, attorneys’ fees, expert witness fees and expenses, and any and all other expenses and costs that have been or will be incurred, in connection with the allegations raised in the below-defined Litigation. Therefore, this AGREEMENT will satisfy all of Petitioner’s claims against Respondent as set forth in the Litigation.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • June 4th, 2010 • Yasheng Eco-Trade Corp • Real estate • California

This Settlement Agreement and Release of Claims ("Agreement") is made and entered into by and between George A. Sharp ("Sharp”) on the one hand, and Yasheng Eco-­Trade Corporation, a Delaware corporation ("Yasheng"), on the other hand, as of June 2, 2010. All of the parties are collectively referred to as “Parties.”

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • November 13th, 2017 • Michigan

This Settlement Agreement and Release of Claims (“Agreement”) is entered into as of the last date of any signature below (“Execution Date”) by and among:

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • May 30th, 2008 • California

This Settlement Agreement and Release of Claims (“Agreement”), dated as set forth in the signature block of this Agreement, is by and between the San Joaquin Valley Power Authority (“SJVPA”), complainant, and Pacific Gas and Electric Company (“PG&E”), defendant. Hereinafter the word “Party” may refer individually to SJVPA or PG&E, and the word “Parties” will refer collectively to SJVPA and PG&E.

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • September 7th, 2017 • ADial Pharmaceuticals, L.L.C. • Pharmaceutical preparations • Virginia

This Settlement Agreement and Release Of Claims (this "Settlement Agreement") is made and entered into as of January 25, 2016 by and between Bankole Johnson ("Johnson") and ADial Pharmaceuticals, LLC ("ADial")(collectively, the "Parties").

SETTLEMENT AGREEMENT AND RELEASE OF CLAIMS
Settlement Agreement and Release of Claims • December 24th, 2019 • Washington

This SETTLEMENT AGREEMENT AND RELEASE (the “Agreement”) is entered into by and between Whitney Equipment Company, Inc., a Washington State corporation, (“Whitney”), and City of Bainbridge Island, a Washington State municipal corporation, (the “City”). Whitney and the City are collectively referred to as the “Parties”.

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