Contact with Class Members Sample Clauses

Contact with Class Members. GE may communicate with Settlement Class Members in the ordinary course of its business. GE will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator and Settlement Class Counsel. SIGNED AND AGREED For the Settlement Class Representatives, the Settlement Class and Settlement Class Counsel: Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxx Xxxx Dated: Xxxxx Xxxxxx Dated: Xxxxxx Xxxxxx Dated: Xxxxxx X. Xxxxxxxx Xxxx X. Xxxx Tycko & Zavareei, LLP 0000 X Xx., XX, Xxxxx 000 Xxxxxxxxxx, XX 00000 Dated: For GE: Print Name: Title: Dated: and Protective Order entered in this Civil Action on July 29, 2014, except that the parties further agree that Settlement Class Counsel may keep copies of all Class Counsel work product and all documents filed under seal with the Court in conjunction with pleadings filed by either party and copies of all deposition testimony. All other confidential documents produced by GE in the litigation (and not filed with the Court without being sealed) shall be returned to GE or destroyed. In addition to the requirements set forth in this paragraph, Settlement Class Counsel shall continue to comply with the Stipulated Confidentiality Agreement and Protective Order dated July 29, 2014 (Docket Entry No. 39).
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Contact with Class Members. St. Xxxxxxx may communicate with the Class Members in the ordinary course of its business. St. Xxxxxxx will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator.
Contact with Class Members. Xxxxxxx may communicate with Settlement Class Members in the ordinary course of its business. It may answer any question posed by a patient seeking medical treatment, guidance and/or counsel. Xxxxxxx will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator or Settlement Class Counsel. Class Counsel may respond to Class Member inquiries.
Contact with Class Members. Class Counsel consents to Teen Challenge communicating with any Class Member, including in connection with the subject matter of the Settlement Agreement, provided such communication is not to discourage participation in the settlement or claims process.
Contact with Class Members. Defendant may communicate with the Class Members in the ordinary course of its business. Defendant will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator.
Contact with Class Members. GE may communicate with Settlement Class Members in the ordinary course of its business. GE will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator and Settlement Class Counsel. SIGNED AND AGREED For the Settlement Class Representatives, the Settlement Class and Settlement Class Counsel: Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxx Xxxx Dated:8/20/2019 Case 3:13-cv-01799-WWE Document 358-1 Filed 12/05/19 Page 27 of 55 358-1 Filed 12/05/19 Page 28 of 55 Case 3:13-cv-01799-WWE Document Case 3:13-cv-01799-WWE Document 358-1 Filed 12/05/19 Page 29 of 55 Xxxxx Xxxxxx Dated: Xxxxxx Xxxxxx Dated: Xxxxxx X. Xxxxxxxx Xxxx X. Xxxx Tycko & Zavareei, LLP 0000 X Xx., XX, Xxxxx 000 Xxxxxxxxxx, XX 00000 Dated: 08/20/2019 For GE: Print Name: Title: Dated: Case 3:13-cv-01799-WWE Document 358-1 Filed 12/05/19 Page 30 of 55 Exhibit A
Contact with Class Members. GE may communicate with Settlement Class Members in the ordinary course of its business. GE will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator and Settlement Class Counsel. SIGNED AND AGREED For the Settlement Class Representatives, the Settlement Class and Settlement Class Counsel: Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxx Xxxx Dated:
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Contact with Class Members. GE may communicate with Settlement Class Members in the ordinary course of its business. GE will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator and Settlement Class Counsel. SIGNED AND AGREED For the Settlement Class Representatives, the Settlement Class and Settlement Class Counsel: Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxx Xxxx Dated: DocuSign Envelope ID: 13B4F690-EA45-4701-9957-1F772D73CEDD and Protective Order entered in this Civil Action on July 29, 2014, except that the parties further agree that Settlement Class Counsel may keep copies of all Class Counsel work product and all documents filed under seal with the Court in conjunction with pleadings filed by either party and copies of all deposition testimony. All other confidential documents produced by GE in the litigation (and not filed with the Court without being sealed) shall be returned to GE or destroyed. In addition to the requirements set forth in this paragraph, Settlement Class Counsel shall continue to comply with the Stipulated Confidentiality Agreement and Protective Order dated July 29, 2014 (Docket Entry No. 39).
Contact with Class Members. GE may communicate with Settlement Class Members in the ordinary course of its business. GE will refer inquiries regarding this Agreement and the administration of the Settlement to the Settlement Administrator and Settlement Class Counsel. SIGNED AND AGREED For the Settlement Class Representatives, the Settlement Class and Settlement Class Counsel: Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxx Xxxx Dated:8/20/2019 Xxxxx Xxxxxx Dated: Xxxxxx Xxxxxx Dated: Xxxxxx X. Xxxxxxxx Xxxx X. Xxxx Tycko & Zavareei, LLP 0000 X Xx., XX, Xxxxx 000 Xxxxxxxxxx, XX 00000 Dated: 08/20/2019 For GE: Print Name: Title: Dated: Exhibit A LEGAL NOTICE If you purchased or own a GE® microwave model XXX 1090, XXX 1095, ZMC 1090, or ZMC 1095, you may be entitled to benefits from a class action settlement. A federal court authorized this notice. This is not a solicitation from a lawyer.

Related to Contact with Class Members

  • Notice to Class Members 8.4.1 No later than three (3) business days after receipt of the Class Data, the Administrator shall notify Class Counsel that the list has been received and state the number of Class Members, PAGA Members, Workweeks, and Pay Periods in the Class Data.

  • Settlement Class Members “Settlement Class Members” shall mean all persons in the Class who do not exclude themselves pursuant to Section F, herein, and those who submit a Valid Claim.

  • Participating Class Members The Administrator will send, by U.S. mail, a single check to every Participating Class Member (i.e., every Class Member who doesn’t opt-out) including those who also qualify as Aggrieved Employees. The single check will combine the Individual Class Payment and the Individual PAGA Payment.

  • To Class Counsel A Class Counsel Fees Payment of not more than %, which is currently estimated to be $ , and a Class Counsel Litigation Expenses Payment of not more than $ . XYZ will not oppose requests for these payments provided that do not exceed these amounts. Plaintiff and/or Class Counsel will file a motion for Class Counsel Fees Payment and Class Litigation Expenses Payment no later than [16 court] days prior to the Final Approval Hearing. If the Court approves a Class Counsel Fees Payment and/or a Class Counsel Litigation Expenses Payment less than the amounts requested, the Administrator will allocate the remainder to the Net Settlement Amount. Released Parties shall have no liability to Class Counsel or any other Plaintiff’s Counsel arising from any claim to any portion any Class Counsel Fee Payment and/or Class Counsel Litigation Expenses Payment. The Administrator will pay the Class Counsel Fees Payment and Class Counsel Expenses Payment using one or more IRS 1099 Forms. Class Counsel assumes full responsibility and liability for taxes owed on the Class Counsel Fees Payment and the Class Counsel Litigation Expenses Payment and holds XYZ harmless, and indemnifies XYZ, from any dispute or controversy regarding any division or sharing of any of these Payments.

  • Notice to Settlement Class Members 5.1 The Parties agree that the following Notice Program provides reasonable notice to the Settlement Class.

  • SPECIALIZED JOB CLASSES Where there is a particular specialized job class in which the pay rate is below the local market value assessment of that job class, the parties may use existing means under the collective agreement to adjust compensation for that job class.

  • Payments to Settlement Class Members (a) Defendant shall pay into the Escrow Account the amount of the Settlement Fund ($1,000,000.00), specified in Paragraph 1.33 of this Agreement, within sixty (60) days after Final Approval.

  • Class Grievances Class grievances involving one or more supervisors and grievances involving an administrator above the building level may be initially filed by the Association at Step Two.

  • Class Grievance Class grievances involving one or more employees or one or more supervisors, and grievances involving an administrator above the building level may be initially filed by the Association at Step II.

  • No Class Actions Notwithstanding any language herein to the contrary, if you or we elect to arbitrate a Claim, neither you nor we will have the right to: (i) participate in a class action in court or in arbitration, either as a class representative, class member or class opponent; (ii) act as a private attorney general in court or in arbitration; or (iii) join or consolidate your Claims with claims of any other person, and the arbitrator shall have no authority to conduct any such class, private attorney general or multiple-party proceeding.

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