Common use of Date of Execution Clause in Contracts

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXXXX X. XXXXXXXXXX, XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement Class, by their counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario Action

Appears in 1 contract

Samples: Canadian Forex Class Action National Settlement Agreement

AutoNDA by SimpleDocs

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXXXX X. XXXXXXXXXX, XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassXxxxxx Xxxxx, by their counselher counsel Name of Authorized Signatory: Xxxxxxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx & Company Ontario Counsel Xxxxxxxxx Xxx Xxxxxxxxx Xxxxxxx, by her counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement ClassOption Consommateurs, by her counsel: its counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Xxxxxxx Xxxxxxxx s.e.n.c.r.l Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., NSK Ltd. and BMO Capital Markets Limited, NSK Canada Inc. by their counsel: counsel Name of Authorized Signatory: Xxxx Signatory Xxxxxx Xxxxxxx Signature of Authorized Signatory: Xxxxx, Xxxxxxx Xxxxx & Xxxxxxxxx Xxxxxxx LLP Settling Defendant Counsel SCHEDULE “A” Proceedings – PROCEEDINGS Proceeding Plaintiff(s) Defendants Settlement Class Quebec Superior Court and (District of Montreal), File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement 500-06-000730- 156 (the “Quebec Action”) Option Consommateurs MinebeaMitsumi Inc. (formerly Minebea Co. Ltd.), NSK Ltd., NSK Canada All Persons in Quebec who purchased Ball Bearings or Ball Bearings Products during the Class Ontario Period, except for Excluded Persons. British Columbia Supreme Court (Vancouver Registry) Court File No. S-151049 (the “BC Action”) Xxxxxxxxx Xxx Xxxxxxxxx Xxxxxxx MinebeaMitsumi Inc. (formerly Minebea Co. Ltd.), NMB Korea, NMB (USA) Inc., NMB Technologies Corporation, NSK Ltd. And NSK Canada Inc. All Persons in British Columbia who purchased Ball Bearings or Ball Bearings Products during the Class Period, except for Excluded Persons.

Appears in 1 contract

Samples: Catherine Asquith and Sharon Clark

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Xxxx-Xxxx Xxxxxxx pp: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Xxxxx Xxxxx Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatorypp: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counselhis counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: pp: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel ALPS ELECTRIC CO., LTD., ALPS ELECTRIC (NORTH AMERICA), INC., and ALPS AUTOMOTIVE INC. by their counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants XXXXXX XXX on his own behalf and on behalf of the Quebec Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealALPS ELECTRIC CO., BMO Financial CorpLTD., BMO Xxxxxx Bank N.A.ALPS ELECTRIC (NORTH AMERICA), INC., and BMO Capital Markets Limited, ALPS AUTOMOTIVE INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Xxxxxxxxx Xxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario ActionAction Ontario Superior Court of Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Settlement Class are excluded from the Ontario Settlement Class. Justice Court Inc., Denso Sales Canada Inc., File No. CV- Tokai Rika Co., Ltd., TRAM, 12-449233- Inc., TRMI, Inc., TRIN, Inc., 00CP Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Electric Wintec America, Inc., Sumitomo Wiring Systems (U.S.A.) Inc., K&S Wiring Systems, Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps Automotive Inc. Quebec Action Superior Court of Quebec (district of Québec), File No. 200-06- 000144-124 Siskinds Desmeules s.e.n.c.r.l Xxxxxx Xxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada Inc., Denso Sales Canada Inc., Tokai Rika Co., Ltd., TRAM, Inc., TRMI, Inc., TRIN, Inc., Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Wiring Systems (U.S.A.) Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons are excluded from the Quebec Settlement Class. Automotive Inc. Court and File No. Plaintiffs’ Counsel Plaintiff Defendants Settlement Class BC Action British Columbia Supreme Court File No. S-132957 (Vancouver Registry) Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Xxxxxx Xxxxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada Inc., Denso Sales Canada Inc., Tokai Rika Co., Ltd., TRAM, Inc., TRMI, Inc., TRIN, Inc., Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Electric Wintec America, Inc., Sumitomo Wiring Systems (U.S.A.) Inc., K&S Wiring Systems, Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps All Persons in British Columbia who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons are excluded from the BC Settlement Class. Automotive Inc. SCHEDULE “B” Court File No. CV-12-449233-00CP ONTARIO SUPERIOR COURT OF JUSTICE THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2020 BETWEEN: SHERIDAN CHEVROLET CADILLAC LTD., THE PICKERING AUTO MALL LTD., and XXXX XXXXXX Plaintiffs - and - DENSO CORPORATION, DENSO INTERNATIONAL AMERICA INC., DENSO MANUFACTURING CANADA, INC., DENSO SALES CANADA, INC., TOKAI RIKA CO., LTD., TRAM, INC., TRMI, INC., TRIN, INC., CALSONIC KANSEI CORPORATION, CALSONIC KANSEI NORTH AMERICA, INC., SUMITOMO ELECTRIC INDUSTRIES LTD., SUMITOMO WIRING SYSTEMS LTD., SUMITOMO ELECTRIC WIRING SYSTEMS INC., SUMITOMO ELECTRIC WINTEC AMERICA, INC., SUMITOMO WIRING SYSTEMS (U.S.A.) INC., K & S WIRING SYSTEMS, INC., ALPS ELECTRIC CO., LTD., ALPS ELECTRIC (NORTH AMERICA), INC., and ALPS AUTOMOTIVE INC. Defendants Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - Heater Control Panels- - Alps Notice Approval and Consent Certification - THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps Automotive Inc. (collectively the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendants dated as of , 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants, the Non-Settling Defendants taking no position; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Heater Control

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXXXX X. XXXXXXXXXXGAZAREK REALTY HOLDINGS LTD. and 5045320 ONTARIO LTD., XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counselcounsel Name of Authorized Signatory: Xxxxx Xxxxxx for Xxxx-Xxxx Xxxxxxx Signature of Authorized Signatory: for: Sotos LLP Ontario Counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos Xxxxx Xxxxxx Siskinds LLP Ontario Counsel XXXXXX XXXXX by his counsel Name of Authorized Signatory: Char1es Wrighk Xxxxx Xxxxxx for Xxxxxxxx Xxxxx Signature of Authorized Signatory: for: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP BC Counsel SANOH INDUSTRIAL CO., LTD., SANOH AMERICA, INC., and SANOH CANADA, LTD., by their counsel Name of Authorized Signatory: Xxxxxx X. Xxxxxx Signature of Authorized Signatory: Xxxxxx Xxxxxx Xxxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of for the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP Settling Defendants SCHEDULE “A” Proceedings PROCEEDINGS Court and File No. Plaintiffs’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Ontario Action Ontario Siskinds LLP and Sheridan Maruyasu Industries Co., All Persons in Canada Superior Court Sotos LLP Chevrolet Ltd., Curtis-Maruyasu who, during the Class of Justice CV- Cadillac Ltd., and America, Inc., USUI Co., Period, (a) purchased, 17-582447- The Pickering Ltd. (F/K/A/ USAI directly or indirectly, 00CP (the Auto Mall Ltd. Kokusai Sangyo Kaisha Automotive Steel Tubes; “Ontario Ltd.), USUI International and/or (b) purchased or Action”) Corporation, Sanoh leased, directly or Industrial Co., Ltd., indirectly, a new or used Sanoh America, Inc., Automotive Vehicle Sanoh Canada, Ltd., containing Automotive JTEKT Corporation, Steel Tubes; and/or (c) JTEKT North America purchased for import into Corporation and JTEKT Canada, a new or used Automotive North Automotive Vehicle America, Inc. containing Automotive Steel Tubes. Excluded Persons are excluded from the Settlement Class. BC Action British Camp Xxxxxxxx Xxxxxx Xxxxx JTEKT Corporation; Not applicable. Columbia Mogerman JTEKT North America Supreme Court Xxxxxxxx LLP Corporation; JTEKT S-191335 Automotive North (Vancouver America, Inc., Maruyasu Registry) (the Industries Co., Ltd.; “BC Action”) Xxxxxx-Xxxxxxxx America, Inc.; Sanoh Industrial Co. Ltd.; Sanoh America, Inc.; Sanoh Canada, Ltd.; USUI Co.; Ltd. (F/K/A/ USAI Kokusai Sangyo Kaisha Ltd.); and USUI International Corporation SCHEDULE “B” Court File No. CV-17-582447-00CP ONTARIO SUPERIOR COURT OF JUSTICE THE HONOURABLE JUSTICE XXXXXXXX ) ) , THE OF DAY, BETWEEN: SHERIDAN CHEVROLET CADILLAC LTD., and THE PICKERING AUTO MALL LTD. Plaintiffs - and - MARUYASU INDUSTRIES CO., LTD., XXXXXX-MARUYASU AMERICA, INC., USUI CO. LTD. (F/K/A USAI KOKUSAI SANGYO KAISHA LTD.), USUI INTERNATIONAL CORPORATION, SANOH INDUSTRIES CO., LTD., SANOH AMERICA, INC., and SANOH CANADA, LTD. Defendants Proceeding under the Class Proceedings Act, 1992, S.O. 1992, c. 6 ORDER - Automotive Steel Tubes - - Sanoh Notice Approval and Consent Certification - THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication and long-form notices of settlement approval hearing and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against Sanoh Industrial Co., Ltd., Sanoh America, Inc., and Sanoh Canada, Ltd. the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendants. dated as of ⚫, attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Automotive Steel Tubes Class Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXXXX X. XXXXXXXXXXSHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement Class, by their counsel: counsel Name of Authorized Signatory: Xxxxxxx Xxxx for Xxxxx G.A. Xxxxx Signature of Authorized Signatory: Sotos LLP Ontario Counsel Siskinds LLP Ontario Counsel XXXXXX XXXXX on their own behalf and on behalf of the BC Settlement Class, by their counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Xxxxxxx Xxxx for Xxxxx G.A. Xxxxx Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX on her own behalf EBERSPÄCHER GRUPPE GMBH & CO. KG, EBERSPÄCHER EXHAUST TECHNOLOGY GMBH (formerly EBERSPÄCHER EXHAUST XXXXXXXXXX XXXX & XX. XX), XXXXXXXXXXX XXXXX AMERICA INC., and on behalf of the Quebec Settlement Class, EBERSPÄCHER CLIMATE CONTROL SYSTEMS CANADA INC. (formerly ESPAR PRODUCTS INC.) by her counsel: their counsel Name of Authorized Signatory: Xxxxx Xxxx Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec XxXxxxxx LLP Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP for the Settling Defendants SCHEDULE “A” Proceedings and Second Ontario Action Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario Actions Ontario Siskinds LLP Sheridan Tenneco Inc., Tenneco GmbH, All Persons in Canada who, Superior and Sotos LLP Chevrolet Tenneco Automotive Operating during the Class Period, (a) Court of Cadillac Ltd. Company Inc., Tenneco Canada Inc., purchased, directly or Justice Court and The Bosal International NV, Bosal indirectly, Exhaust Systems; File No. CV- Pickering Auto Nederland, B.V., Bosal Industries- and/or (b) purchased or 17-582446- Mall Ltd. Georgia, Inc. o/a Bosal International leased, directly or indirectly, 00CP (the North America, Bosal USA, Inc., a new or used Automotive “Ontario Eberspächer Gruppe GmbH & Co. Vehicle containing Exhaust Action”) KG, Eberspächer Exhaust Technology Systems; and/or (c) purchased GmbH & Co. KG, Eberspächer North for import into Canada, a new America, Inc., Espar Products Inc., or used Automotive Vehicle Faurecia SA, Faurecia Emissions containing Exhaust Systems. Control Technologies Canada, Ltd., Excluded Persons and Faurecia Emissions Control Persons who are included in Technologies USA LLC, Faurecia the BC Settlement Class are Exhaust Systems, Inc., Faurecia USA excluded from the Ontario Holdings, Inc., Meritor, Inc., Friedrich Settlement Class. Xxxxxx GmbH & Co. KG, and Xxxxxx USA, LLC Ontario Siskinds LLP Sheridan Faurecia Abgastechnik GmbH, Not Applicable. Superior and Sotos LLP Chevrolet Faurecia Systems D’Echappement, Court of Cadillac Ltd. NGK Spark Plug Co., Ltd., Xxxxxx Xxxxxxx Court and The Industry Co., Ltd., NGK Spark Plugs File No. CV- Pickering Auto (U.S.A.), Inc., NGK Spark Plugs 17-00584400- Mall Ltd. Canada Limited, Denso Corporation, 00CP (the Denso International Korea “Second Corporation, Denso Korea Automotive Ontario Corporation, Denso International Action”) America, Inc. Denso Manufacturing Canada, Inc., and Denso Sales Canada, Inc. Court and File No. Plaintiffs’ Counsel Plaintiff Defendants Settlement Class BC Action British Camp Xxxxxxxx Xxxxxx Xxxxx Bosal International NV, Bosal All Persons in British Columbia Xxxxxxxx Nederland, B.V., Bosal Industries- Columbia who, during the Supreme Mogerman Georgia, Inc. o/a Bosal International Class Period, (a) purchased, Court File No. LLP North America, Bosal USA, Inc., directly or indirectly, Exhaust S-192096 Xxxxxxxxx Xxxxxx GmbH & Co. KG, Systems s; and/or (b) (Vancouver Xxxxxx USA, LLC, Denso purchased or leased, directly Registry) (the Corporation, Denso International or indirectly, a new or used “BC Action”) Korea Corporation, Denso Korea Automotive Vehicle Automotive Corporation, Denso containing Exhaust Systems; International America, Inc. Denso and/or (c) purchased for Manufacturing Canada, Inc., Denso import into Canada, a new or Sales Canada, Inc., Eberspächer used Automotive Vehicle Gruppe GmbH & Co. KG, containing Exhaust Systems. Eberspächer Exhaust Technology Excluded Persons are GmbH & Co. KG, Eberspächer North excluded from the BC America, Inc. Espar Products Inc., Settlement Class. Faurecia SA, Faurecia Emissions Control Technologies Canada, Ltd., Faurecia Emissions Control Technologies USA LLC, Faurecia Exhaust Systems, Inc., Faurecia USA Holdings, Inc., Faurecia Abgastechnik GmbH, Faurecia Systems D’Echappement, Meritor, Inc., NGK Spark Plug Co., Ltd., Woojin Industry Co., Ltd., NGK Spark Plugs (U.S.A.), Inc., NGK Spark Plugs Canada Limited, Tenneco Inc., Tenneco GmbH, Tenneco Automotive Operating Company Inc., and Tenneco Canada Inc. SCHEDULE “B” ONTARIO Court File No. CV-17-582446-00CP SUPERIOR COURT OF JUSTICE THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2019 BETWEEN: SHERIDAN CHEVROLET CADILLAC LTD., and THE PICKERING AUTO MALL LTD. - and - Plaintiffs TENNECO INC., TENNECO GMBH, TENNECO AUTOMOTIVE OPERATING COMPANY INC., TENNECO CANADA INC., BOSAL INTERNATIONAL NV, BOSAL NEDERLAND, B.V., BOSAL INDUSTRIES-GEORGIA, INC. x/x XXXXX XXXXXXXXXXXXX XXXXX XXXXXXX, XXXXX XXX, INC., EBERSPÄCHER GRUPPE GMBH & CO. KG, EBERSPÄCHER EXHAUST TECHNOLOGY GMBH & CO. KG, EBERSPÄCHER NORTH AMERICA, INC., ESPAR PRODUCTS INC., FAURECIA SA, FAURECIA EMISSIONS CONTROL TECHNOLOGIES CANADA, LTD., FAURECIA EMISSIONS CONTROL TECHNOLOGIES, USA, LLC, FAURECIA EXHAUST SYSTEMS, INC., FAURECIA USA HOLDINGS, INC., MERITOR, INC., XXXXXXXXX XXXXXX GMBH & CO. KG, and XXXXXX USA, LLC Defendants Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - Exhaust Systems - - Eberspächer Notice Approval and Consent Certification - THIS MOTION made by the Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against Eberspächer Gruppe GmbH & Co. KG, Eberspächer Exhaust Technology GmbH (formerly Eberspächer Exhaust Xxxxxxxxxx XxxX & Xx. XX), Xxxxxxxxxxx Xxxxx America Inc., and Eberspächer Climate Control Systems Canada Inc. (formerly Espar Products Inc.) (collectively, the “Settling Defendants”) was read this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendants dated as of , 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Plaintiffs and Counsel for the Settling Defendants, the Non-Settling Defendants taking no position; AND WHEREAS a parallel class proceeding relating to the pricing of Exhaust Systems was commenced under Court File No. CV-17-00584400-00CP (the “Second Ontario Action”) and is being case managed with the Ontario Action; AND ON BEING ADVISED that the Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXX, and XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., on their own behalf and on behalf of the Ontario Settlement Classes that they propose to represent, by their counsel Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counsel: his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealJTEKT CORPORATION, BMO Financial CorpJTEKT NORTH AMERICA CORPORATION, BMO Xxxxxx Bank N.A.JTEKT AUTOMOTIVE NORTH AMERICA, INC., KOYO DEUTSCHLAND GMBH, KOYO CORPORATION OF U.S.A. and BMO Capital Markets Limited, KOYO CANADA INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & SISKINDS DESMEULES s.e.n.c.r.l. Xxxx X. Xxxxxxxx Norton Xxxx Xxxxxxxxx Canada LLP Counsel for the Settling Defendants Xxxx X. Xxxxxxxx For: Xxxxxx Xxxx Xxxxxxxxx Canada LLP Counsel for the Settling Defendants Per: Name: Title: I have authority to bind the Partnership CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: I have authority to bind the Partnership SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario ActionActions Ontario Electric Sheridan JTEKT Corporation, JTEKT All Persons in Canada who, Did the Settling Defendants January 1, 2005 to August Superior Powered Chevrolet Automotive North America, during the Class Period, (a) conspire to fix, raise, 13, 2018 Court of Steering Cadillac Ltd., Inc., NSK Ltd., NSK Americas, purchased, directly or maintain, or stabilize the Justice Assemblies The Pickering Inc., NSK Canada Inc., NSK indirectly, Electric Powered prices of Electric Powered Court File Auto Mall Steering Systems Co., Ltd., NSK Steering Assemblies; and/or (b) Steering Assemblies in No. CV-14- Ltd., Fady Steering Systems America, Inc., purchased or leased, directly or Canada and/or elsewhere 506652- Xxxxxx, and Showa Corporation, American indirectly, a new or used during the Class Period? If 00CP Jordan Showa, Inc., Showa Canada Inc., Automotive Vehicle containing so, what damages, if any did Xxxxxx Xxxxxx Manufacturing Co., Electric Powered Steering Settlement Class Members Ltd., and Yamada North Assemblies; and/or (c) suffer? America, Inc. purchased for import into Canada, a new or used Automotive Vehicle containing Electric Powered Steering Assemblies. Excluded Persons are excluded from the Ontario Settlement Class. Ontario Superior Court of Justice Court File No. CV-13- 478644-CP Bearings Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx JTEKT Corporation, JTEKT North America Corporation, Koyo Corporation of U.S.A., Koyo Canada Inc., Koyo Deutschland GmbH, Nachi- Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., Nachi Europe GmbH, Nachi Technology Inc., NSK Ltd., NSK Corporation, NSK All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. Americas, Inc., NSK Canada Inc., NSK Europe Ltd., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA Inc., Schaeffler Canada Court and File No. Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period Inc., Schaeffler Technologies GmbH & Co. KG, FAG Kugelfischer GmbH, AB SKF, SKF USA Inc., SKF Canada Limited, SKF GmbH, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada Ltd., NTN Wälzlager (Europa) GmbH, NTN-SNR Roulements SA, MinebeaMitsumi Inc. and NMB Technologies Corporation Settlement Class are excluded from the Ontario Settlement Class. Quebec Action Quebec Superior Court of Justice Court File No. 200-06- 000159-130 Bearings Xxxxxx Xxx JTEKT Corporation, JTEKT North America Corporation, Koyo Canada, Inc., Nachi- Fujikoshi Corp., Nachi America, Inc., Nachi Canada, Inc., NSK Ltd., NSK Americas, Inc., NSK Canada, Inc., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA, Inc., Schaeffler Canada, Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada, Ltd., MinebeaMitsumi Inc. and NMB Technologies Corporation All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons are excluded from the Quebec Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. Court and File No. Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period BC Action British Columbia Supreme Court File No. S- 132958 (Vancouver Registry) Bearings Xxxxxx Xxxxx JTEKT Corporation, Koyo Canada Inc., Koyo Corporation of USA, Nachi-Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., NSK Ltd., NSK Americas, Inc., NSK Canada Inc., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA Inc., Schaeffler Canada Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, and NTN Bearing Corp. of Canada Ltd. All Persons in British Columbia who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons are excluded from the BC Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. SCHEDULE “B” ONTARIO SUPERIOR COURT OF JUSTICE Court File No. • THE HONOURABLE ) , THE DAY JUSTICE XXXXXXXX ) OF , 2020 BETWEEN: [INSERT NAMED PLAINTIFFS] [INSERT NAMED DEFENDANTS] Proceeding under the Class Proceedings Act, 1992, S.O. 1992, c. 6 ORDER - [INSERT NAME OF RELEVANT PART] - - JTEKT Notice Approval and Consent Certification - Plaintiffs Defendants THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against [NAMED SETTLING DEFENDANT(S)] (the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with JTEKT Corporation, JTEKT North America Corporation, JTEKT Automotive North America, Inc., Koyo Deutschland GmbH, Koyo Corporation of U.S.A. and Koyo Canada Inc. dated as of •, 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants, the Non- Settling Defendants taking no position; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel INOAC CORPORATION, INOAC USA, INC., INOAC INTERIOR SYSTEMS LLC, INOAC INTERIOR SYSTEMS LP, and INOAC CANADA LIMITED, by their counsel Name of Authorized Signatory: Char1es Wrighk Xxxxxxx Xx Xxxxxxxx Signature of Authorized Signatory: Xxxxxx Fasken Xxxxxxxxx XxXxxxxx LLP Koskie Ontario Counsel for the Settling Defendants SISKINDS DESMEULES s.e.n.c.r.l. Per: I have authority to bind the Partnership Name: Title: XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Plaintiffs Defendants Settlement Class Ontario ActionAction CV-16-549733-00CP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., INOAC Corporation, INOAC USA, Inc., INOAC Interior Systems LLC, Springfield Interior Trim, LLC, INOAC Interior Systems LP, Blenheim Interior Trim, LLP, INOAC Canada Limited, Intertec Systems, Adient Seating Canada LP, Adient PLC and Xxxxxxx Controls International PLC All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Plastic Interior Trim; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Plastic Interior Trim; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Plastic Interior Trim. Excluded Persons and Persons who are included in the BC Settlement Class are excluded from the Ontario Settlement Class.

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Classes that he proposes to represent, XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX PICKERING AUTO MALL LTD. on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Classes that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXX XXXXXXX and XXXX-XXXX XXXXXX on her their own behalf and on behalf of the Quebec Settlement ClassClass that they propose to represent, by her counsel: their counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealMARUYASU INDUSTRIES CO., BMO Financial CorpLTD. and XXXXXX-MARUYASU AMERICA, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Xxxxx X. Xxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Fasken Xxxxxxxxx XxXxxxxx LLP Counsel for the Settling Defendants CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: I have authority to bind the Partnership Per: Name: Title: I have authority to bind the Partnership SISKIND DESMEULES s.e.n.c.r.l. SCHEDULE “A” Proceedings PROCEEDINGS, SETTLEMENT CLASSES AND COMMON ISSUES Court and File No. Plaintiffs’ Counsel Plaintiff Named Part Plaintiff(s) Defendants Settlement Classes Common Issues Class Period Ontario ActionActions

Appears in 1 contract

Samples: National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel INOAC CORPORATION, INOAC USA, INC., INOAC INTERIOR SYSTEMS LLC, INOAC INTERIOR SYSTEMS LP, and INOAC CANADA LIMITED, by their counsel Name of Authorized Signatory: Char1es Wrighk Xxxxxxx Xx Xxxxxxxx Signature of Authorized Signatory: Xxxxxx Fasken Xxxxxxxxx DuMoulin LLP Koskie Ontario Counsel for the Settling Defendants SISKINDS DESMEULES s.e.n.c.r.l. Per: Name: Title: I have authority to bind the Partnership XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Plaintiffs Defendants Settlement Class Ontario ActionAction CV-16-549733-00CP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., INOAC Corporation, INOAC USA, Inc., INOAC Interior Systems LLC, Springfield Interior Trim, LLC, INOAC Interior Systems LP, Blenheim Interior Trim, LLP, INOAC Canada Limited, Intertec Systems, Adient Seating Canada LP, Adient PLC and Xxxxxxx Controls International PLC All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Plastic Interior Trim; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Plastic Interior Trim; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Plastic Interior Trim. Excluded Persons and Persons who are included in the BC Settlement Class are excluded from the Ontario Settlement Class.

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Classes that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Class Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Class Counsel MIKUNI CORPORATION and MIKUNI AMERICAN CORPORATION, by their counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Blake, Xxxxxxx Xxxxx & Xxxxxxxxx Xxxxxxx LLP Counsel for the Settling Defendants SISKINDS DESMEULES s.e.n.c.r.l. Per: Name: Title: I have authority to bind the Partnership CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: I have authority to bind the Partnership SCHEDULE “A” Proceedings Proceedings, Settlement Classes and Common Issues Court and File No. PlaintiffsParty Plaintiff(s)’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Common Issue Ontario ActionSuperior Court of Justice Court File No. CV-14- 506683-00CP Fuel Injection Systems Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Hitachi, Ltd., Hitachi Automotive Systems, Ltd., Hitachi Automotive Systems Americas, Inc., Denso Corporation, Denso International America, Inc., Denso Manufacturing Canada, Inc., Denso Sales Canada, Inc., Denso International Korea Corporation, Denso Korea Automotive Corporation, Mitsubishi Electric Corporation, Mitsubishi Electric Automotive America, Inc., Mitsubishi Electric Sales Canada Inc., All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, a Fuel Injection System; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing a Fuel Injection System; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing a Fuel Injection System. Excluded Persons are excluded from the Settlement Class. Did the Settling Defendants, or any of them, conspire to fix, raise, maintain, and/or stabilize the prices of Fuel Injection Systems in Canada Mitsubishi Electric US Holdings, Inc., Aisan Industry and/or elsewhere Co. Ltd., Franklin Precision Industry, Inc., Aisan during the Class Corporation of America, Hyundam Industrial Co., Period? If so, what Ltd., Keihin Corporation, Keihin North America, Inc. damages, if any, Maruyasu Industries Co., Ltd., Mikuni Corporation, did Settlement Mikuni American Corporation, Xxxxxx Xxxxx XxxX, Class Members Xxxxxx Xxxxx LLC, Xxxxxx Xxxxx Inc., RBKB Bosch suffer? Electrical Drives Co., Ltd., Mitsuba Corporation and American Mitsuba Corporation Ontario Superior Court of Justice Court File No. CV-14- 506670-00CP Valve Timing Control Devices Sotos LLP Sheridan Chevrolet Cadillac Ltd. and The Pickering Auto Mall Ltd. Denso Corporation, Denso International America, Inc., Denso Manufacturing Canada, Inc., Denso Sales Canada, Inc., Denso International Korea Corporation, Mitsubishi Electric Corporation, Mitsubishi Electric Automotive America, Inc., Mitsubishi Electric Sales Canada Inc., Aisin Seiki Co., Ltd., Aisin Holdings of America, Inc., Aisin World Corp. of America, Aisin Automotive Casting Tennessee, Inc., Aisin All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, a Valve Timing Control Device; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing a Valve Timing Control Device; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing a Valve Timing Control Device. Excluded Persons are excluded from the Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Valve Timing Control Devices in Canada and/or Automotive Casting, LLC, Aisin Canada, Inc., Delphi elsewhere during Automotive LLP, Delphi Automotive Systems, LLC, the Class Period? If Korea Delphi Automotive Systems Corp., Delphi so, what damages, Powertrain Systems Korea Ltd., Mikuni Corporation if any did and Mikuni American Corporation Settlement Class Members suffer? SCHEDULE “B” ONTARIO SUPERIOR COURT OF JUSTICE Court File No. ⚫ THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2020 BETWEEN: [INSERT NAMED PLAINTIFFS] [INSERT NAMED DEFENDANTS] Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - [INSERT NAME OF RELEVANT PART] - - Mikuni Notice Approval and Consent Certification - Plaintiffs Defendants THIS MOTION made by the Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding (the “Proceeding”) as a class proceeding for settlement purposes as against Mikuni Corporation and Mikuni American Corporation (the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement dated ⚫, 2020, attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Plaintiffs and Counsel for the Settling Defendants, the Non-Settling Defendants taking no position; AND ON BEING ADVISED that the Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Auto Parts Class Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXX, and XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counselcounsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel GAZAREK REALTY HOLDINGS LTD. and 5045320 ONTARIO LTD., on their own behalf and on behalf of the Settlement Classes that they propose to represent, by their counsel Name of Authorized Signatory: Sotos LLP Ontario Counsel Signature of Authorized Signatory: XXXXXX XXXXX, by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxxxx Xxxxx pp Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXXXX XXXXXXX on her his own behalf and on behalf of the Quebec Settlement Class, by her counsel: Class that he represents Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP DocuSign Envelope ID: DEB15E8F-E938-4D46-965E-3A6296FE4589 SCHEDULE “A” Proceedings A Proceedings, Settlement Classes, Common Issues Court and File No. PlaintiffsPart Plaintiff(s)’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario ActionActions Ontario Superior Court of Justice Court File No. CV-14-506637- 00CP Air Conditioning Systems Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., Xxxx Xxxxxx, and Xxxxxx Xxxxxx Valeo S.A., Valeo Incorporated, Valeo Japan Co. Ltd., Valeo Climate Control Corp, Valeo Compressor North America, Inc., Valeo Electrical Systems, Inc., Mitsubishi Heavy Industries, Ltd., Mitsubishi Heavy Industries All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, an Air Conditioning System; and/or (b) purchased or leased, Did the Settling Defendants, or any of them, conspire to fix, raise, maintain, and/or stabilize the prices of Air Conditioning January 1, 2001 to December 10, 2019 Climate Control, Inc., Denso directly or indirectly, a Systems in Canada Corporation, Denso International new or used and/or elsewhere America, Inc., Denso Automotive Vehicle during the Class Manufacturing Canada, Inc., containing an Air Period? Denso Sales Canada, Inc., Conditioning System; Calsonic Kansei Corporation, and/or (c) purchased Calsonic Kansei North America, for import into Canada, Inc., Sanden Holdings a new or used Corporation, Sanden International Automotive Vehicle (USA) Inc., Sanden Automotive containing an Air Climate Systems Corporation, Conditioning System. Xxxxxx Automotive Components Excluded Persons are Corporation, XXXXX Xxxx excluded from the GmbH & Co. KG, XXXXX Xxxx Ontario Settlement USA Inc., Panasonic Corporation, Class. Panasonic Corporation of North America, and Panasonic Canada, Inc. Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXXXX X. XXXXXXXXXXSHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counselcounsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Per: Sotos LLP Ontario Counsel Siskinds LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Per: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP BC Counsel MERITOR, INC. by its counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized SignatoryXxxxxxx X. Xxxxxxx SISKINDS DESMEULES S.E.N.C.R.L. Per: Char1es Wrighk Signature of Authorized SignatoryName: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement Class, by her counsel: Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized SignatoryTitle: Xxxxxxx Xxxxx & Xxxxxxxxx LLP Counsel for the Settling Defendant Xxxxx Xxxxxx I have the authority to bind the Partnership SCHEDULE “A” Proceedings and Related Action Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario Action Ontario Superior Court of Justice Court File No. CV- 17-582446- 00CP (the “Ontario Action”) Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., and The Pickering Auto Mall Ltd. Tenneco Inc., Tenneco GmbH, Tenneco Automotive Operating Company Inc., Tenneco Canada Inc., Bosal International NV, Bosal Nederland, B.V., Bosal Industries- Georgia, Inc. o/a Bosal International North America, Bosal USA, Inc., Eberspächer Gruppe GmbH & Co. KG, Eberspächer Exhaust Technology GmbH & Co. KG, Eberspächer North All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Automotive Exhaust Systems; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Automotive Exhaust Systems; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Automotive Exhaust Systems. Excluded Persons and Persons who are included in the BC Settlement Class are excluded from the Ontario Settlement Class. America, Inc., Espar Products Inc., Faurecia SA, Faurecia Emissions Control Technologies Canada, Ltd., Faurecia Emissions Control Technologies, USA, LLC, Faurecia Exhaust Systems, Inc., Faurecia USA Holdings, Inc., Meritor, Inc., Xxxxxxxxx Xxxxxx GmbH & Co. KG, and Xxxxxx USA, LLC Related Action Ontario Siskinds LLP Sheridan Faurecia Abgastechnik GmbH, Not applicable Superior and Sotos LLP Chevrolet Faurecia Systèmes d’Échappement, Court of Cadillac Ltd. NGK Spark Plug Co., Ltd., Xxxxxx Xxxxxxx Court and The Industry Co., Ltd., NGK Spark Plugs File No. CV- Pickering Auto (U.S.A.), Inc., NGK Spark Plugs 17-584400- Mall Ltd. Canada Limited, Denso Corporation, 00CP (the Denso International Korea “Related Corporation, Denso Korea Automotive Action”) Corporation, Denso International America, Inc., Denso Manufacturing Canada, Inc., and Denso Sales Canada, Inc. Court and File No. Plaintiffs’ Counsel Plaintiff Defendants Settlement Class BC Action British Camp Xxxxxxxx Xxxxxx Xxxxx Bosal International NV, Bosal All Persons in British Columbia Xxxxxxxx Nederland, B.V., Bosal Industries- Columbia who, during the Supreme Mogerman Georgia, Inc. o/a Bosal International Class Period, (a) purchased, Court File No. LLP North America, Bosal USA, Inc., directly or indirectly, S-192096 Xxxxxxxxx Xxxxxx GmbH & CO. KG, Automotive Exhaust (Vancouver Xxxxxx USA, LLC, Denso Systems; and/or (b) Registry) (the Corporation, Denso International purchased or leased, directly “BC Action”) Korea Corporation, Denso Korea or indirectly, a new or used Automotive Corporation, Denso Automotive Vehicle International America, Inc., Denso containing Automotive Manufacturing Canada, Inc., Denso Exhaust Systems; and/or (c) Sales Canada, Inc., Eberspächer purchased for import into Xxxxxx XxxX & Xx. XX, Xxxxxx, a new or used Eberspächer Exhaust Technology Automotive Vehicle GmbH & Co. KG, Eberspächer North containing Automotive America, Inc., Espar Products Inc., Exhaust Systems. Excluded Faurecia SA, Faurecia Emissions Persons are excluded from the Control Technologies Canada, Ltd., BC Settlement Class. Faurecia Emissions Control Technologies, USA, LLC, Faurecia Exhaust Systems, Inc., Faurecia USA Holdings, Inc., Faurecia Abgastechnik GmbH, Faurecia Systèmes d’Échappement, Meritor, Inc., NGK Spark Plug Co., Ltd., Woojin Industry Co., Ltd., NGK Spark Plugs Canada Limited, Tenneco Inc., Tenneco GmbH, Tenneco Automotive Operating Company Inc. and Tenneco Canada Inc. SCHEDULE “B” ONTARIO Court File No. CV-17-582446-00CP SUPERIOR COURT OF JUSTICE THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2020 BETWEEN: SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD. - and - Plaintiffs TENNECO INC., TENNECO GMBH, TENNECO AUTOMOTIVE OPERATING COMPANY INC., TENNECO CANADA INC., BOSAL INTERNATIONAL NV, BOSAL NEDERLAND, B.V., BOSAL INDUSTRIES-GEORGIA, INC. x/x XXXXX XXXXXXXXXXXXX XXXXX XXXXXXX, XXXXX XXX, INC., EBERSPÄCHER GRUPPE GMBH & CO. KG, EBERSPÄCHER EXHAUST TECHNOLOGY GMBH & CO. KG, EBERSPÄCHER NORTH AMERICA, INC., ESPAR PRODUCTS INC., FAURECIA SA, FAURECIA EMISSIONS CONTROL TECHNOLOGIES CANADA, LTD., FAURECIA EMISSIONS CONTROL TECHNOLOGIES, USA, LLC, FAURECIA EXHAUST SYSTEMS, INC., FAURECIA USA HOLDINGS, INC., MERITOR, INC., XXXXXXXXX XXXXXX GMBH & CO. KG, and XXXXXX USA, LLC Defendants Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - Automotive Exhaust Systems- - Meritor Notice Approval and Consent Certification - THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against Meritor, Inc. (the “Settling Defendant”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendant dated as of , 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendant, the Non-Settling Defendants taking no position; AND WHEREAS a parallel class proceeding relating to the pricing of Automotive Exhaust Systems was commenced under Court File No. CV-17-584400-00CP (the “Related Action”) and is being case managed with the Ontario Action; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendant consent to this Order;

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos Xxxx-Xxxx Xxxxxxx pp: Xxxxx LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Xxxxx Xxxxx Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatorypp: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counselhis counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: pp: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel ALPS ELECTRIC CO., LTD., ALPS ELECTRIC (NORTH AMERICA), INC., and ALPS AUTOMOTIVE INC. by their counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants XXXXXX XXX on his own behalf and on behalf of the Quebec Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealALPS ELECTRIC CO., BMO Financial CorpLTD., BMO Xxxxxx Bank N.A.ALPS ELECTRIC (NORTH AMERICA), INC., and BMO Capital Markets Limited, ALPS AUTOMOTIVE INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Xxxxxxxxx Xxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario ActionAction Ontario Superior Court of Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Settlement Class are excluded from the Ontario Settlement Class. Justice Court Inc., Denso Sales Canada Inc., File No. CV- Tokai Rika Co., Ltd., TRAM, 12-449233- Inc., TRMI, Inc., TRIN, Inc., 00CP Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Electric Wintec America, Inc., Sumitomo Wiring Systems (U.S.A.) Inc., K&S Wiring Systems, Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps Automotive Inc. Quebec Action Superior Court of Quebec (district of Québec), File No. 200-06- 000144-124 Siskinds Desmeules s.e.n.c.r.l Xxxxxx Xxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada Inc., Denso Sales Canada Inc., Tokai Rika Co., Ltd., TRAM, Inc., TRMI, Inc., TRIN, Inc., Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Wiring Systems (U.S.A.) Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons are excluded from the Quebec Settlement Class. Automotive Inc. Court and File No. Plaintiffs’ Counsel Plaintiff Defendants Settlement Class BC Action British Columbia Supreme Court File No. S-132957 (Vancouver Registry) Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Xxxxxx Xxxxx Denso Corporation, Denso International America Inc., Denso Manufacturing Canada Inc., Denso Sales Canada Inc., Tokai Rika Co., Ltd., TRAM, Inc., TRMI, Inc., TRIN, Inc., Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Sumitomo Electric Industries Ltd., Sumitomo Wiring Systems Ltd., Sumitomo Electric Wiring Systems Inc., Sumitomo Electric Wintec America, Inc., Sumitomo Wiring Systems (U.S.A.) Inc., K&S Wiring Systems, Inc., Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps All Persons in British Columbia who, during the Class Period, (a) purchased, directly or indirectly, Heater Control Panels; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Heater Control Panels; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Heater Control Panels. Excluded Persons are excluded from the BC Settlement Class. Automotive Inc. SCHEDULE “B” Court File No. CV-12-449233-00CP ONTARIO SUPERIOR COURT OF JUSTICE THE HONOURABLE ) , THE DAY JUSTICE XXXXXXXX ) OF , 2020 BETWEEN: SHERIDAN CHEVROLET CADILLAC LTD., THE PICKERING AUTO MALL LTD., and XXXX XXXXXX Plaintiffs - and - DENSO CORPORATION, DENSO INTERNATIONAL AMERICA INC., DENSO MANUFACTURING CANADA, INC., DENSO SALES CANADA, INC., TOKAI RIKA CO., LTD., TRAM, INC., TRMI, INC., TRIN, INC., CALSONIC KANSEI CORPORATION, CALSONIC KANSEI NORTH AMERICA, INC., SUMITOMO ELECTRIC INDUSTRIES LTD., SUMITOMO WIRING SYSTEMS LTD., SUMITOMO ELECTRIC WIRING SYSTEMS INC., SUMITOMO ELECTRIC WINTEC AMERICA, INC., SUMITOMO WIRING SYSTEMS (U.S.A.) INC., K & S WIRING SYSTEMS, INC., ALPS ELECTRIC CO., LTD., ALPS ELECTRIC (NORTH AMERICA), INC., and ALPS AUTOMOTIVE INC. Defendants Proceeding under the Class Proceedings Act, 1992, S.O. 1992, c. 6 ORDER - Heater Control Panels- - Alps Notice Approval and Consent Certification - THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against Alps Electric Co., Ltd., Alps Electric (North America), Inc., and Alps Automotive Inc. (collectively the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendants dated as of ⚫, 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants, the Non-Settling Defendants taking no position; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Heater Control

AutoNDA by SimpleDocs

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Settlement Classes that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel GAZAREK REALTY HOLDINGS LTD. and 5045320 ONTARIO LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX on her own behalf and on behalf of the Quebec Settlement ClassXXXX XXXX, XXXX XXX AND XXX XXXX, by her counsel: their counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Xxxxx Lawyers LLP BC Counsel XXXXX XXXXXXX on his own behalf and on behalf of the Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counsel: Settlement Class that he represents Name of Authorized Signatory: Xxxx Xxxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP SCHEDULE “A” Proceedings A Proceedings, Settlement Classes, Common Issues Court and File No. PlaintiffsPart Plaintiff(s)’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario Actions Ontario Superior Court of Justice Court File No. CV-16-564548- 00CP Power Window Switches Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Toyo Denso Co., Ltd. and Weastec, Inc. All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, a Power Window Switch; and/or (b) Did the Settling Defendants, or any of them, conspire to fix, raise, maintain, and/or stabilize the prices of Power June 1, 2003 to August 13, 2018 purchased or leased, Window Switches directly or indirectly, a in Canada and/or new or used elsewhere during Automotive Vehicle the Class Period? containing a Power Window Switch; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing a Power Window Switch. Excluded Persons are excluded from the Ontario Settlement Class. Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario Superior Court of Justice Court File No. CV-14-506686- 00CP Ignition Coils Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Xxxxxxxxx Auto Mall Ltd., and Xxxx Xxxxxx Diamond Electric Mfg. Co. Ltd., Diamond Electric Mfg. Corporation, Denso Corporation, Denso International America, Inc., Denso Manufacturing Canada, Inc., Denso Sales All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, an Ignition Coil; and/or (b) purchased or Did the Settling Defendant conspire to fix, raise, maintain, and/or stabilize the prices of Ignition Coils in January 1, 2000 to March 20, 2017 Canada, Inc., Denso Products and leased, directly or Canada and/or Services Americas, Inc. (f/k/a indirectly, a new or elsewhere during Denso Sales California, Inc.), used Automotive the Class Period? Denso International Korea Vehicle containing an Corporation, Mitsubishi Electric Ignition Coil; and/or Corporation, Mitsubishi Electric (c) purchased for Automotive America, Inc., import into Canada, a Mitsubishi Electric Sales Canada new or used Inc. and Toyo Denso Co., Ltd. Automotive Vehicle containing an Ignition Coil. Excluded Persons and Persons who are included in the Quebec Settlement Class are excluded from the Ontario Settlement Class. Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period Quebec Action Superior Court of Quebec (district of Québec), File No. 200-06- 000200-165 Ignition Coils Siskinds, Desmeules s.e.n.c.r.l Xxxxx Xxxxxxx Hitachi, Ltd., Hitachi Automotive Systems, Ltd., Hitachi Automotive Systems Americas, Inc., Denso Corporation, Denso International Korea Corporation, Denso Products and Services Americas, Inc., Denso International America, Inc., Denso Manufacturing Canada, Inc., Denso Sales Canada, Inc., Mitsubishi Electric Corporation, Mitsubishi Electric Automotive America, Inc., Mitsubishi Electric Sales Canada, Inc., Toyo Denso Co., Ltd., Diamond Electric Mfg. Co., Ltd., and Diamond Electric Mfg. Corporation All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, an Ignition Coil; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing an Ignition Coil; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing an Ignition Coil. Excluded Persons are excluded from the Quebec Settlement Class. Did the Settling Defendant conspire to fix, raise, maintain, and/or stabilize the prices of Ignition Coils in Canada and/or elsewhere during the Class Period? January 1, 2000 to March 20, 2017 BC Action British Columbia Supreme Court File No. VLC-S- S-163898 (Vancouver Registry) Power Window Switches Xxxxx Lawyers LLP Xxxx Xxxx, Xxxx Xxx and Xxx Xxxx Toyo Denso Co. Ltd., Weastec, Inc., Denso Manufacturing Canada, Inc., Denso Sales Canada, Inc., Omron Automotive Electronics Co., Ltd., Omron Automotive Electronics, Inc., and Omron Automotive Technologies, Inc. n/a n/a n/a SCHEDULE B ONTARIO SUPERIOR COURT OF JUSTICE Court File No. ⚫ THE HONOURABLE ) , THE DAY JUSTICE XXXXXXXX ) OF , 2023 BETWEEN: [INSERT NAMED PLAINTIFFS] [INSERT NAMED DEFENDANTS] Proceeding under the Class Proceedings Act, 1992, S.O. 1992, c. 6 ORDER - [INSERT NAME OF RELEVANT PART] - - Toyo Denso Notice Approval and Consent Certification - Plaintiffs Defendants THIS MOTION, made by the Ontario Plaintiffs for an Order approving the form and content of the notices of certification and settlement approval hearing (the “Notices”) and the method of dissemination of the Notices, and certifying this proceeding as a class proceeding for settlement purposes only as [INSERT RELEVANT SETTLING DEFENDANT(S)] was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with the Settling Defendants dated as of ⚫, 2023 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on hearing the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants; AND ON BEING ADVISED that the deadline for opting out of this action has passed, and ⚫ Persons validly exercised the right to opt out;1 AND WHEREAS a class proceeding relating to the pricing of Switches was commenced under Court File No. CV-16-549727- 00CP (the “Switches Action”) and is being cased managed with this proceeding;2 AND ON BEING ADVISED that Settlement Class Members (other than those resident in British Columbia) were permitted an opportunity to opt out of this action in the context of the Switches Action, the deadline to opt out of this action has passed, and two Persons validly and timely exercised the right to opt out;3 AND ON BEING ADVISED that Settlement Class Members resident in British Columbia were permitted an opportunity to opt out of the BC Power Window Switches Action, the deadline to opt out of the BC Power Window Switches Action has passed, and no Settlement Class Members resident in British Columbia validly and timely exercised the right to opt out;4 AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Auto Parts Class Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXX, and XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counselcounsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., on their own behalf and on behalf of the Ontario Settlement Classes that they propose to represent, by their counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counsel: his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealJTEKT CORPORATION, BMO Financial CorpJTEKT NORTH AMERICA CORPORATION, BMO Xxxxxx Bank N.A.JTEKT AUTOMOTIVE NORTH AMERICA, INC., KOYO DEUTSCHLAND GMBH, KOYO CORPORATION OF U.S.A. and BMO Capital Markets Limited, KOYO CANADA INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & SISKINDS DESMEULES s.e.n.c.r.l. Xxxx X. Xxxxxxxx Xxxxxx Xxxx Xxxxxxxxx Canada LLP Counsel for the Settling Defendants Xxxx X. Xxxxxxxx For: Norton Xxxx Xxxxxxxxx Canada LLP Counsel for the Settling Defendants Per: Name: Title: I have authority to bind the Partnership CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: I have authority to bind the Partnership SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario ActionActions Ontario Electric Sheridan JTEKT Corporation, JTEKT All Persons in Canada who, Did the Settling Defendants January 1, 2005 to August Superior Powered Chevrolet Automotive North America, during the Class Period, (a) conspire to fix, raise, 13, 2018 Court of Steering Cadillac Ltd., Inc., NSK Ltd., NSK Americas, purchased, directly or maintain, or stabilize the Justice Assemblies The Pickering Inc., NSK Canada Inc., NSK indirectly, Electric Powered prices of Electric Powered Court File Auto Mall Steering Systems Co., Ltd., NSK Steering Assemblies; and/or (b) Steering Assemblies in No. CV-14- Ltd., Fady Steering Systems America, Inc., purchased or leased, directly or Canada and/or elsewhere 506652- Xxxxxx, and Showa Corporation, American indirectly, a new or used during the Class Period? If 00CP Jordan Showa, Inc., Showa Canada Inc., Automotive Vehicle containing so, what damages, if any did Xxxxxx Xxxxxx Manufacturing Co., Electric Powered Steering Settlement Class Members Ltd., and Yamada North Assemblies; and/or (c) suffer? America, Inc. purchased for import into Canada, a new or used Automotive Vehicle containing Electric Powered Steering Assemblies. Excluded Persons are excluded from the Ontario Settlement Class. Ontario Superior Court of Justice Court File No. CV-13- 478644-CP Bearings Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx JTEKT Corporation, JTEKT North America Corporation, Koyo Corporation of U.S.A., Koyo Canada Inc., Koyo Deutschland GmbH, Nachi- Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., Nachi Europe GmbH, Nachi Technology Inc., NSK Ltd., NSK Corporation, NSK All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. Americas, Inc., NSK Canada Inc., NSK Europe Ltd., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA Inc., Schaeffler Canada Court and File No. Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period Inc., Schaeffler Technologies GmbH & Co. KG, FAG Kugelfischer GmbH, AB SKF, SKF USA Inc., SKF Canada Limited, SKF GmbH, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada Ltd., NTN Wälzlager (Europa) GmbH, NTN-SNR Roulements SA, MinebeaMitsumi Inc. and NMB Technologies Corporation Settlement Class are excluded from the Ontario Settlement Class. Quebec Action Quebec Superior Court of Justice Court File No. 200-06- 000159-130 Bearings Xxxxxx Xxx JTEKT Corporation, JTEKT North America Corporation, Koyo Canada, Inc., Nachi- Fujikoshi Corp., Nachi America, Inc., Nachi Canada, Inc., NSK Ltd., NSK Americas, Inc., NSK Canada, Inc., Xxxxxxxxxx XX, Schaeffler Group USA, Inc., Schaeffler Canada, Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada, Ltd., MinebeaMitsumi Inc. and NMB Technologies Corporation All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons are excluded from the Quebec Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. Court and File No. Part Plaintiff(s) Defendants Settlement Class Common Issues Class Period BC Action British Columbia Supreme Court File No. S- 132958 (Vancouver Registry) Bearings Xxxxxx Xxxxx JTEKT Corporation, Koyo Canada Inc., Koyo Corporation of USA, Nachi-Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., NSK Ltd., NSK Americas, Inc., NSK Canada Inc., Xxxxxxxxxx XX, Schaeffler Group USA Inc., Schaeffler Canada Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, and NTN Bearing Corp. of Canada Ltd. All Persons in British Columbia who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons are excluded from the BC Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. SCHEDULE “B” ONTARIO SUPERIOR COURT OF JUSTICE Court File No.  THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2020 BETWEEN: [INSERT NAMED PLAINTIFFS] [INSERT NAMED DEFENDANTS] Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - [INSERT NAME OF RELEVANT PART] - - JTEKT Notice Approval and Consent Certification - Plaintiffs Defendants THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against [NAMED SETTLING DEFENDANT(S)] (the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with JTEKT Corporation, JTEKT North America Corporation, JTEKT Automotive North America, Inc., Koyo Deutschland GmbH, Koyo Corporation of U.S.A. and Koyo Canada Inc. dated as of , 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants, the Non- Settling Defendants taking no position; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement Class, by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxx Signature of Authorized Signatory: Per: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX XXXXX XXXXXXX on her his own behalf and on behalf of the Quebec Settlement Class, by her counsel: his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Char1es Wrighk Per: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank XXXXXX XXXXX on his own behalf and on behalf of Montreal, BMO Financial Corp, BMO Xxxxxx Bank N.A., and BMO Capital Markets Limitedthe BC Settlement Class, by their counsel: his counsel Name of Authorized Signatory: Xxxx Xxxxx Xxxxxx Signature of Authorized Signatory: Per: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP BC Counsel CONTINENTAL AG, CONTINENTAL AUTOMOTIVE SYSTEMS, INC. CONTINENTAL TIRE CANADA, INC. (FORMERLY KNOWN AS CONTINENTAL AUTOMOTIVE CANADA, INC.), CONTINENTAL AUTOMOTIVE ELECTRONICS LLC, and CONTINENTAL AUTOMOTIVE KOREA, LTD., by their counsel Name of Authorized Signatory: Xxxxxxx X. Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx XxXxxxxx LLP Counsel for the Settling Defendants SCHEDULE “A” Proceedings Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Class Ontario ActionAction Ontario Superior Court of Justice Court File No. CV- 12-449238- 00CP Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Nippon Seiki Co., Ltd., N.S. International, Ltd., New Sabina Industries, Inc., Calsonic Kansei Corporation, Calsonic Kansei North America, Inc., Continental AG, Continental Automotive Systems, Inc., Continental Tire Canada, Inc. (formerly known as Continental Automotive Canada, Inc.), Continental Automotive Electronics LLC, Continental Automotive Korea Ltd., Denso Corporation, Denso International America, Inc., Denso Manufacturing Canada, Inc., and Denso Sales Canada, Inc. All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Instrument Panel Clusters; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Instrument Panel Clusters; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Instrument Panel Clusters. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Settlement Class are excluded from the Ontario Settlement Class.

Appears in 1 contract

Samples: Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Classes that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXXXX XXXXXXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counsel: his counsel Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealXXXXXXX ELECTRIC CO., BMO Financial CorpLTD., BMO Xxxxxx Bank N.A.XXXXXXX ELECTRIC U.S. CO., INC., and BMO Capital Markets LimitedII XXXXXXX CO., INC, by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Xxxxx Xxxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: I have authority to bind the Partnership I have authority to bind the Partnership SISKINDS DESMEULES S.E.N.C.R.L. Per: Name: Title: SCHEDULE “A” Proceedings Court and File No. PlaintiffsPart Plaintiff(s)’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario ActionActions Ontario Superior Court of Justice Court File No. CV- 14-506680- 00CP High Intensity Discharge Ballasts Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx Panasonic Corporation, Panasonic Corporation of North America, Panasonic Canada Inc., Xxxxxxx Electric Co., Ltd., Xxxxxxx Electric U.S. Co., Inc., II Xxxxxxx Co., Inc., Denso Corporation, Denso All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, a High Intensity Discharge Ballast; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing a High Intensity Discharge Ballast; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing a High Intensity Discharge Ballast. Excluded Persons are excluded from the Ontario High Intensity Discharge Ballasts Settlement Class. Did the Settling Defendants, or any of them, conspire to fix, raise, maintain, and/or stabilize the prices of High Intensity Discharge Ballasts in Canada and/or elsewhere during the Class Period? If so, what damages, if any, did Settlement Class Members suffer? July 1, 1998 to August 13, 2018 International America Inc., Denso Manufacturing Canada, Inc., Denso Sales Canada, Inc., Mitsubishi Electric Corporation, Mitsubishi Electric Automotive America, Inc., Mitsubishi Electric Sales Canada Inc., Koito Manufacturing Co. Ltd., North American Lighting, Inc. and Ichikoh Industries, Ltd. Ontario Autolights Siskinds Sheridan Koito Manufacturing Co., Ltd., North American Lighting, Inc., Ichikoh Industries, Ltd., Xxxxxxx Electric Co., Ltd., Xxxxxxx Electric U.S. Co. Inc., II Xxxxxxx Co., Inc., Mitsuba All Persons in Canada who, Did the Settling June 1,1997 to Superior LLP and Chevrolet during the Class Period, (a) Defendants, or any April 2, 2019. Court of Sotos LLP Cadillac Ltd., purchased, directly or of them, conspire to Justice The Pickering indirectly, Autolights; and/or fix, raise, maintain, Court File Auto Mall Ltd., (b) purchased or leased, and/or stabilize the No. CV- and Fady directly or indirectly, a new or prices of Autolights Xxxxxx used Automotive Vehicle in Canada and/or Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period 13-478642- Corporation, and containing Autolights; and/or elsewhere during the 00CP American Mitsuba (c) purchased for import into Class Period? If so, Corporation Canada, a new or used what damages, if Automotive Vehicle any, did Settlement containing Autolights. Class Members Excluded Persons and Persons suffer? who are included in the BC Settlement Class or the Quebec Settlement Class are excluded from the Ontario Settlement Class.

Appears in 1 contract

Samples: Canadian Autolights And

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXX, XXXXXX XXXXXXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their his own behalf and on behalf of the Ontario Settlement ClassClass that he proposes to represent, by their counselhis counsel Name of Authorized Signatory: Signature of Authorized Signatory: Siskinds LLP Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXXXX XXXXXXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counsel: his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealTOYO TIRE & RUBBER CO., BMO Financial CorpLTD., BMO Xxxxxx Bank N.A.TOYO TIRE NORTH AMERICA OE SALES LLC, and BMO Capital Markets LimitedTOYO AUTOMOTIVE PARTS (USA) INC., by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxxx Xxxxx Xxxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx XxXxxxxx Xxxxxxxx LLP Counsel for the Settling Defendants SCHEDULE “A” Proceedings SCHEDULE “A” PROCEEDINGS Court and File No. Plaintiffs’ Counsel Plaintiff Named Defendants Settlement Classes Ontario Action Ontario Superior Siskinds LLP Xxxx Xxxxxx Yamashita Rubber Co., Ltd., Yusa All Persons in Canada who, during the Class Ontario ActionPeriod, (a) Court of Justice and Sotos LLP Corporation, Sumitomo Riko Company purchased, directly or indirectly, Anti-Vibration Rubber Court File No. CV- Limited F/K/A Tokai Rubber Parts; and/or (b) purchased or leased, directly or indirectly,

Appears in 1 contract

Samples: Rubber Parts Class Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel XXXXXX XXXXXXXXXXXXXXXX on her own behalf and on behalf of the Ontario Settlement Class that she proposes to represent, XXXXXXX XXXXXXXby her counsel Name of Authorized Signatory: Xxxxx Xxxxxx Signature of Authorized Signatory: Siskinds LLP Ontario Counsel SHERIDAN CHEVROLET CADILLAC LTD. and THE PICKERING AUTO MALL LTD., XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClasses that they propose to represent, by their counselcounsel Name of Authorized Signatory: Xxxx-Xxxx Xxxxxxx Signature of Authorized Signatory: pp: Sotos LLP Ontario Counsel XXXXXX XXXXX on his own behalf and on behalf of the BC Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized SignatoryXxxxx Xxxxx pp: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario BC Counsel XXXXXXXXX XXXXXX XXX on her his own behalf and on behalf of the Quebec Settlement ClassClass that he proposes to represent, by her counsel: his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Xxxxx Xxxxxx pp: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of MontrealNSK LTD., BMO Financial CorpNSK CORPORATION, BMO Xxxxxx Bank N.A.NSK AMERICAS, INC., NSK CANADA INC., NSK EUROPE LTD., NSK STEERING SYSTEMS CO., LTD. and BMO Capital Markets LimitedNSK STEERING SYSTEMS AMERICA, INC. by their counsel: counsel Name of Authorized Signatory: Xxxx Xxxxxx Xxxxxxx Signature of Authorized Signatory: Blake, Xxxxxxx & Xxxxxxx LLP Counsel for the Settling Defendants pp: SISKINDS DESMEULES s.e.n.c.r.l. Per: Name: Title: Xxxxx & Xxxxxxxxx Xxxxxx Associate I have authority to bind the Partnership pp: CAMP XXXXXXXX XXXXXXXX XXXXXXXX LLP Per: Name: Title: Xxxxx Xxxxx Partner I have authority to bind the Partnership SCHEDULE “A” Proceedings Court and File No. PlaintiffsPart Plaintiff(s)’ Counsel Plaintiff Named Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario ActionActions Ontario Superior Court of Justice Court File No. CV- 13-478644- CP Bearings Siskinds LLP and Sotos LLP Sheridan Chevrolet Cadillac Ltd., The Pickering Auto Mall Ltd., and Xxxx Xxxxxx JTEKT Corporation, JTEKT North America Corporation, Koyo Corporation of U.S.A., Koyo Canada Inc., Koyo Deutschland GmbH, Nachi-Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., Nachi Europe GmbH, Nachi Technology Inc., NSK Ltd., NSK Corporation, NSK Americas, Inc., NSK Canada Inc., NSK Europe Ltd., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA Inc., Schaeffler All Persons in Canada who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons and Persons who are included in the Quebec Settlement Class and the BC Settlement Class are excluded from the Ontario Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to July 9, 0000 Xxxxxx Inc., Schaeffler Technologies GmbH & Co. KG, FAG Kugelfischer GmbH, AB SKF, SKF USA Inc., SKF Canada Limited, SKF GmbH, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada Ltd., NTN Wälzlager (Europa) GmbH, NTN-SNR Roulements SA, MinebeaMitsumi Inc. and NMB Technologies Corporation Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period Ontario Electric Siskinds Sheridan JTEKT Corporation, JTEKT All Persons in Canada who, Did the Settling January 1, 2005 to Superior Powered LLP and Chevrolet Automotive North America, Inc., during the Class Period, (a) Defendants conspire to August 13, 2018 Court of Steering Sotos LLP Cadillac NSK Ltd., NSK Americas, Inc., purchased, directly or fix, raise, maintain, or Justice Assemblies Ltd., The NSK Canada Inc., NSK Steering indirectly, Electric Powered stabilize the prices of Court File Xxxxxxxxx Systems Co., Ltd., NSK Steering Steering Assemblies; and/or Electric Powered No. CV- Auto Mall Systems America, Inc., Showa (b) purchased or leased, Steering Assemblies in 14-506652- Ltd., Fady Corporation, American Showa, directly or indirectly, a new Canada and/or 00CP Xxxxxx, Inc., Showa Canada Inc., Yamada or used Automotive Vehicle elsewhere during the and Jordan Manufacturing Co., Ltd., and containing Electric Powered Class Period? If so, Xxxxxx Xxxxxx North America, Inc. Steering Assemblies; and/or what damages, if any (c) purchased for import did Settlement Class into Canada, a new or used Members suffer? Automotive Vehicle containing Electric Powered Steering Assemblies. Excluded Persons are excluded from the Ontario Settlement Class. Ontario Manual Siskinds Xxxxxxxx Xxxxxx Manufacturing Co., Ltd., Yamada North America, Inc., NSK Ltd., NSK Americas, Inc., NSK Corporation, NSK Steering Systems America, Inc., NSK Canada Inc., Xxxxxx Xxxxx XxxX, Xxxxxx Xxxxx Automotive Steering GmbH, Xxxxxx Xxxxx LLC, and Xxxxxx Xxxxx Inc. All Persons in Canada who, Did the Settling September 1, 2007 Superior Steering LLP and Chevrolet during the Class Period, (a) Defendants conspire to to the date of the Court of Columns Sotos LLP Cadillac purchased, directly or fix, raise, maintain, or order certifying the Justice Ltd., The indirectly, Manual Steering stabilize the prices of Ontario Action Court File Pickering Columns; and/or (b) Manual Steering against the Settling No. CV- Auto Mall purchased or leased, directly Columns in Canada Defendants for 15-529853- Ltd., and or indirectly, a new or used and/or elsewhere settlement purposes. 00CP Fady Automotive Vehicle during the Class Xxxxxx containing Manual Steering Period? If so, what Columns; and/or (c) damages, if any did purchased for import into Settlement Class Canada, a new or used Members suffer? Automotive Vehicle containing Manual Steering Columns. Excluded Persons are excluded from the Ontario Settlement Class. Court and File No. Part Plaintiff(s)’ Counsel Plaintiff(s) Defendants Settlement Class Common Issues Class Period Quebec Action Quebec Superior Court of Justice Court File No. 200- 06-000159- 130 Bearings Siskinds, Desmeules Xxxxxx Xxx JTEKT Corporation, Koyo Canada, Inc., Nachi-Fujikoshi Corp., Nachi America, Inc., Nachi Canada, Inc., NSK Ltd., NSK Americas, Inc., NSK Canada, Inc., Xxxxxxxxxx XX, Schaeffler Group USA, Inc., Schaeffler Canada, Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of All Persons in Quebec who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Excluded Persons are excluded from the Quebec Settlement Class. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to July 9, 0000 Xxxxxx, Ltd., MinebeaMitsumi Inc. and NMB Technologies Corporation BC Action British Columbia Supreme Court File No. S- 132958 (Vancouver Registry) Bearings Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx Xxxxxx Xxxxx JTEKT Corporation, Koyo Canada Inc., Koyo Corporation of USA, Nachi-Fujikoshi Corp., Nachi America Inc., Nachi Canada Inc., NSK Ltd., NSK Americas, Inc., NSK Canada Inc., Xxxxxxxxxx XX, Schaeffler Group USA Inc., Schaeffler Canada Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, and NTN Bearing Corp. of Canada Ltd. All Persons in British Columbia who, during the Class Period, (a) purchased, directly or indirectly, Bearings; and/or (b) purchased or leased, directly or indirectly, a new or used Automotive Vehicle containing Bearings; and/or (c) purchased for import into Canada, a new or used Automotive Vehicle containing Bearings. Did the Settling Defendants conspire to fix, raise, maintain, or stabilize the prices of Bearings in Canada and/or elsewhere during the Class Period? If so, what damages, if any did Settlement Class Members suffer? April 20, 1998 to the date of the order certifying the Ontario Action against the Settling Defendants for settlement purposes. Excluded Persons are excluded from the BC Settlement Class. SCHEDULE “B” ONTARIO SUPERIOR COURT OF JUSTICE Court File No.  THE HONOURABLE ) , THE DAY JUSTICE BELOBABA ) OF , 2020 BETWEEN: [INSERT NAMED PLAINTIFFS] [INSERT NAMED DEFENDANTS] Proceeding under the Class Xxxxxxxxxxx Xxx, 0000, S.O. 1992, c. 6 ORDER - [INSERT NAME OF RELEVANT PART]- - NSK Notice Approval and Consent Certification - Plaintiffs Defendants THIS MOTION made by the Ontario Plaintiffs for an Order approving the abbreviated, publication, and long-form notices of settlement approval hearings and the method of dissemination of said notices, and certifying this proceeding as a class proceeding for settlement purposes as against [INSERT NAMED SETTLING DEFENDANTS] (the “Settling Defendants”) was heard this day at Osgoode Hall, 000 Xxxxx Xxxxxx Xxxx, Xxxxxxx, Xxxxxxx. ON READING the materials filed, including the settlement agreement with NSK Ltd., NSK Corporation, NSK Americas, Inc., NSK Canada Inc., NSK Europe Ltd., NSK Steering Systems Co., Ltd., and NSK Steering Systems America, Inc. dated as of , 2020 attached to this Order as Schedule “A” (the “Settlement Agreement”), and on reading the submissions of counsel for the Ontario Plaintiffs and Counsel for the Settling Defendants, the Non-Settling Defendants taking no position; AND ON BEING ADVISED that the Ontario Plaintiffs and the Settling Defendants consent to this Order;

Appears in 1 contract

Samples: Canadian Auto Parts Class Actions National Settlement Agreement

Date of Execution. (1) The Parties have executed this Settlement Agreement as of the date on the cover page. XXXX XXXXXX X. XXXXXXXXXXon his own behalf and on behalf of the Ontario Settlement Class that he proposes to represent, XXXXXX XXXXXXXXXXby his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Xxxxx Xxxxxx Siskinds LLP Ontario Counsel GAZAREK REALTY HOLDINGS LTD. and 5045320 ONTARIO LTD., XXXXXXX XXXXXXX, XXXXX XXXXXXXX, XXXXXX XXXXXX, AND XXXX XXXXXXXX IN THEIR CAPACITY AS THE TRUSTEES OF THE LABOURERS’ PENSION FUND OF CENTRAL AND EASTERN CANADA, and XXXXXXXXXXX XXXXXXX on their own behalf and on behalf of the Ontario Settlement ClassClass that they propose to represent, by their counsel: counsel Name of Authorized Signatory: Signature of Authorized Signatory: Sotos Xxxx Xxxx Xxxxxxx pp: Xxxxx LLP Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Xxxxxx LLP Koskie Ontario Counsel Name of Authorized Signatory: Char1es Wrighk iskinds LLP Signature of Authorized Signatory: S Ontario Counsel Name of Authorized Signatory: Char1es Wrighk Signature of Authorized Signatory: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP Ontario Counsel XXXXXXXXX XXXXXX XXXXX on her his own behalf and on behalf of the Quebec Settlement Classbehalf, by her counsel: his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Char1es Wrighk Xxxxx Xxxxx pp: Camp Xxxxxxxx Xxxxxxxx Xxxxxxxx LLP BC Counsel XXXXXX XXX on his own behalf and on behalf of the Quebec Settlement Class that he proposes to represent, by his counsel Name of Authorized Signatory: Signature of Authorized Signatory: Xxxxx Xxxxxx pp: Siskinds Desmeules s.e.n.c.r.l. Quebec Counsel Bank of Montreal, BMO Financial Corp, BMO Xxxx X. Xxxxxx Bank N.A., and BMO Capital Markets Limited, by their counselDocuSign Envelope ID: Name of Authorized Signatory: Xxxx Xxxxxxx Signature of Authorized Signatory: Xxxxxxx Xxxxx & Xxxxxxxxx LLP 6DAF9091-5598-4181-9621-B0A8BCC6B664 SCHEDULE "A" Proceedings Court and Plaintiff(s)' File No. Plaintiffs’ Counsel Plaintiff Named Ontario Siskinds LLP Superior Court and Sotos LLP of Justice Court File No. CV-13- 478644-CP Quebec Siskinds, Superior Court Desmeules of Justice s.e.n.c.r.l Court File No. 200-06- 000159-130 Plaintiff(s) Defendants Settlement Class Ontario ActionAction Sheridan JTEKT Corporation, JTEKT Chevrolet North America Corporation, Cadillac Ltd., The Koyo Corporation of U.S.A., Pickering Auto Koyo Canada Inc., Koyo Mall Ltd., and Deutschland GmbH, Nachi- Fatly Xxxxxx Xxxxxxxxx Corp., Nachi America Inc., Nachi Canada Inc., Nachi Europe GmbH, Nachi Technology Inc., NSK Ltd., NSK Corporation, NSK Americas, Inc., NSK Canada Inc., NSK Europe Ltd., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA Inc., Schaeffler Canada Inc., Schaeffler Technologies GmbH & Co. KG, FAG Kugelfischer GmbH, AB SKF, SKF USA Inc., SKF Canada Limited, SKF GmbH, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, NTN Bearing Corp. of Canada Ltd., NTN Walzlager (Europa) GmbH, NTN-SNR Roulements SA, MinebeaMitsumi Inc. and NMB Technologies Corporation Quebec Action GaetanRoy JTEKT Corporation, JTEKT North America Corporation, Koyo Canada, Inc., Nachi- Fujikoshi Corp., Nachi America, Inc., Nachi Canada, Inc., NSK Ltd., NSK Americas, Inc., NSK Canada, Inc., Xxxxxxxxxx XX, Xxxxxxxxxx Group USA, Inc., Schaeffler Canada, Inc., AB SKF, SKF USA, Inc., SKF Canada Limited, NTN Corporation, NTN USA Corporation, NTN Bearing Corp. of America, and NTN Bearing Corp. of Canada, Ltd.

Appears in 1 contract

Samples: Actions National Settlement Agreement

Time is Money Join Law Insider Premium to draft better contracts faster.