Common use of Claims Covered and Released Clause in Contracts

Claims Covered and Released. 4.1 KASB’s Release of GALLS KASB, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, (collectively, the "Released Parties" and individually, a “Released Party”). KASB, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product with respect to exposures to DEHP.

Appears in 1 contract

Samples: Settlement Agreement

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Claims Covered and Released. 4.1 KASB’s Release of GALLS Puka Creations, LLC KASB, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS Puka Creations, LLC and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, (collectively, the "Released Parties" and individually, a “Released Party”). KASB, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based base on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product Products with respect to exposures to DEHP.

Appears in 1 contract

Samples: Settlement Agreement

Claims Covered and Released. 4.1 KASBCRC’s Release of GALLS KASBLAF CRC, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS LAF and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, including but not limited to Chedraui USA, Inc. (formerly Bodega Latina Corporation dba El Super) (“Downstream Releasee”) (collectively, the "Released Parties" and individually, a “Released Party”). KASBCRC, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product with respect to exposures to DEHPlead.

Appears in 1 contract

Samples: Settlement Agreement

Claims Covered and Released. 4.1 KASB’s Release of GALLS SUAVECITO KASB, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS SUAVECITO and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, licensees (collectively, the "Released Parties" and individually, a “Released Party”). KASB, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product with respect to exposures to DEHPDINP.

Appears in 1 contract

Samples: Settlement Agreement

Claims Covered and Released. 4.1 KASBCRC’s Release of GALLS KASBBMI CRC, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS BMI and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, including, but not limited to, Super Center Concepts, Inc., and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, (collectively, the "Released Parties" and individually, a “Released Party”). KASBCRC, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted up to and through the Compliance Date based on or related to the handling, use, sale, distribution distribution, or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product with respect to exposures to DEHPlead.

Appears in 1 contract

Samples: Settlement Agreement

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Claims Covered and Released. 4.1 KASBCRC’s Release of GALLS KASBOMG! CRC, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS OMG! and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, assigns, distributors (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, (collectively, the "Released Parties" and individually, a “Released Party”). KASBCRC, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based base on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulations, including without limitation any alleged failure to provide Proposition 65 warnings on the Product Products with respect to exposures to DEHPlead.

Appears in 1 contract

Samples: Settlement Agreement

Claims Covered and Released. 4.1 KASBCRC’s Release of GALLS KASBVIGO CRC, acting on its own behalf and not on behalf of the public, fully releases and discharges GALLS VIGO and its respective officers, directors, shareholders, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors distributors, successors, and assigns (the “Defendant Releasees”) and all entities to which Defendant Releasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, licensees (collectively, the "Released Parties" and individually, a “Released Party”). KASBCRC, on behalf of itself and its officers, directors, shareholders, employees, agents, attorneys, parent companies, successors, assigns, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based on or related to the handling, use, sale, distribution or consumption of the Product in California, as to any alleged violation of Proposition 65 or its implementing regulationsregulations or any other alleged violations of statutory or common law, including without limitation any alleged failure to provide Proposition 65 warnings on the Product with respect to exposures to DEHPlead.

Appears in 1 contract

Samples: Settlement Agreement

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