Counsel for Defendant Sample Clauses

Counsel for Defendant. Xxxxxx X. Xxxxxxx and Xxxxx X. Xxxxxxxxxx of XxXxxxxxx Xxxx & Xxxxx, LLP.
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Counsel for Defendant. Xxxxxx X. Xxxxxxx Xxxxx Xxxxxxx Xxxxx & Xxxxxxx LLP 00000 Xx Xxxxxx Xxxx, Xxxxx 000 Xxx Xxxxx, XX 00000
Counsel for Defendant. Attorneys Xxxxx X. Xxxxxxx and Xxxxxxxx X. Xxxxxxxx of XXXXX XXXXX LLP.
Counsel for Defendant. Any notice to the Settlement Administrator shall be sent by email to the address of the claims administrator, which will be determined by the lowest bid for services. [SIGNATURE PAGES FOLLOW] Case 1:19-cv-00556-JEJ Document 41-1 Filed 01/31/20 Page 15 of 31 Case 1:19-cv-00556-JEJ Document 41-1 Filed 01/31/20 Page 16 of 31 Case 1:19-cv-00556-JEJ Document 41-1 Filed 01/31/20 Page 18 of 31 Case 1:19-cv-00556-JEJ Document 41-1 Filed 01/31/20 Page 19 of 31 EXHIBIT 1 Case 1If:1Y9ou-cPva-id00O5ve5r6d-rJafEt XXxxxXxxxxXxxxxxxxxxxx 00xx0X-0xxxxXxxxxXxxxxx0xx0X/0xx0x/x0X0xx XXxxxxxXx00 of 31 Eligible for a Payment from a Class Action Settlement. A $910,000 Settlement has been reached in a class action about APPSN fees (“Overdraft Fees”) charged on certain Point of Sale debit card transactions by Members 1st Federal Credit Union (“Members”) where there was a sufficient available balance at the time the transaction was authorized, but an insufficient available balance at the time the transaction was presented to Members for payment and posted to a customer’s account. Members denies the allegations in the case and deny that they engaged in any wrongdoing. Who’s Included? The Settlement Class includes former Members customers who were charged qualifying Overdraft Fees between March 29, 2015 and January 14, 2019, and who had closed their accounts prior to January 14, 2019. Excluded from the Settlement Class is Members 1st Federal Credit Union, its parents, subsidiaries, affiliates, officers and directors, all Settlement Class members who make a timely election to be excluded, and all judges assigned to this litigation and their immediate family members. What Are the Settlement Terms? Members has agreed to establish a Settlement Fund of $910,000 from which Settlement Class members will receive payments. If the Court approves the Settlement, each Settlement Class member will automatically receive a payment by check for his or her pro rata portion of the Settlement Fund based on the number of qualifying Overdraft Fees they paid during the period covered by the Settlement.
Counsel for Defendant. Xxxxxx X. Xxxxxxx and Xxxxx X. Xxxxxxxxxx of XxXxxxxxx Will & Xxxxx, LLP.
Counsel for Defendant. Attorneys Xxxxxxx X. XxXxxxx and Xxx X. Xxxxx of Xxxxx Lovells US LLP.
Counsel for Defendant. Attorneys Xxxxx X. Xxxxxxxxxxx and Xxxxxx X. Xxxxxxxx of Dentons US LLP O. Court: The State of California, Sacramento County Superior Court.
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Counsel for Defendant. Xxxx Xxxxxxxx of Xxxxxxxx Law Firm PC.
Counsel for Defendant. Public Employees Credit Union Counsel for Plaintiff and the Putative Class AGREED TO BY: XXXXXXX XXXXXXX XXXXXX XXXXXXXX XXXXXXXX, PLLC By: /s/ Xxxx X. Xxxxxxx, Esq. (Admitted PHV) XXXXXXX XXXXXXX XXXXXX XXXXXXXX XXXXXXXX PLLC Address: 000 X. Xxxxxx Street, Suite 2100 Chicago, IL 60606 Telephone: (000) 000-0000 Email: xxxxxxxx@xxxxxxx.xxx Xxx Xxxxxxx, Esq. Texas SBN: 11260700 Xxxxxxx Law Group PLLC Address: 0000 Xxxxxx Xxxxx Xxxx., Xxxxx 0000 Xxxxxx, XX 00000 Telephone: (000) 000-0000 Facsimile: (000) 000-0000 Email: xxxxxxxx@xxxxxxxxxxxxxxx.xxx XXXXX & XXXXXXXXX, LLP By: /s/ Xxxxxxxx X. Xxxxx, Esq. Texas SBN: 24087598 Xxxxx Xxxxxxxxx (Admitted PHV) Address: 0000 Xxxxxxxxxx Xx., Xxxxx 0000 Denver, CO 00000-0000 Telephone: 000.000.0000 Facsimile: 303.861.7805 E-mail: xxxxxxxxxx@xxxxxxxx.xxx
Counsel for Defendant. Public Employees Credit Union
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