Exclude Yourself from the Settlement Sample Clauses

Exclude Yourself from the Settlement. If you do not wish to take part in the Settlement, you may exclude yourself by sending to the Settlement Administrator a written “Request for Exclusion from the Class Action Settlement” letter or card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, your signature, and a statement indicating that you would like to be excluded from the Class Action Settlement. The Request for Exclusion should state: “I WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE MARTINEZ V. READY ROAST NUT COMPANY LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE SETTLEMENT OF THIS LAWSUIT.” Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be a Settlement Class member, shall be barred from participating in any portion of the Settlement, and shall receive no benefits from the Settlement. If you submit a Request for Exclusion, you will only be excluded from the Released Claims. You cannot submit a Request for Exclusion from the PAGA Release. You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the Settlement if you were employed between February 17, 2020 and September 27, 2020. Do not submit both a Dispute and a Request for Exclusion. If you do, the Request for Exclusion will be invalid, you will be included in the Settlement Class, and you will be bound by the terms of the Settlement.
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Exclude Yourself from the Settlement. CLASS If you are a member of the Settlement Class but do not want to be bound by the proposed settlement, you must exclude yourself (“opt-out”) from the Settlement Class. If you exclude yourself, you will get no benefits. To ask to be excluded, you mail a written request stating that you want to be excluded. (See Paragraph 24 of this Notice for further information about your right to exclude yourself from the Settlement Class.)
Exclude Yourself from the Settlement. If you do not wish to take part in the Settlement, you may exclude yourself by sending to the Settlement Administrator a written “Request for Exclusion from the Class Action Settlement” letter or card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, and your signature. The Request for Exclusion should state something to the effect that you want to opt out of the settlement.
Exclude Yourself from the Settlement. If you choose to be excluded from the Settlement, you will not be bound by any judgment or other final disposition of the lawsuit. If you exclude yourself, you are not part of the Settlement and will not receive any benefits from it. You will retain any individual claims against MSG you might have under the FCRA and/or NY FCRA. To request an exclusion, you must send, by first class U.S. mail, written notice to the Settlement Administrator by [XX date] stating your name, address, and that you desire to opt-out of the Settlement and otherwise do not want to participate in the Settlement. The Settlement Administrator’s contact information is: [JND Address] If the request is not postmarked by [XX date] or otherwise does not contain the required information, your request for exclusion will be invalid and you will be bound by the terms of the Settlement approved by the Court, including without limitation, the judgment ultimately rendered in the case, and you will be barred from bringing any claims that arise out of or relate in any way to the claims as specified in the Release referenced in Paragraph 6.
Exclude Yourself from the Settlement. You have the right to not be part of the Settlement by excluding yourself or “opting out” of the Settlement Class. If you wish to exclude yourself, you must do so on or before as described below. You do not need to hire your own lawyer to request exclusion from the Settlement Class. If you exclude yourself from the Settlement Class, you give up your right to receive any benefits as part of this Settlement, and you will not be bound by any judgments or orders of the Court, whether favorable or unfavorable. However, you will keep your right to sue GEICO separately in another lawsuit if you choose to pursue one. To exclude yourself from this lawsuit and/or preserve your right to bring a separate case, you must make a request to be excluded in writing and, with sufficient postage, mail the request to: Xxxxxx et al. v. GEICO Indemnity Co., et al. c/o NAME ADDRESS ADDRESS A request for exclusion must be postmarked on or before . Your request for exclusion must contain the following:
Exclude Yourself from the Settlement. If you do not wish to take part in the Settlement, you may exclude yourself by sending to the Settlement Administrator a written “Request for Exclusion from the Class Action Settlement” letter or card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, and your signature. The Request for Exclusion should state: “I WISH TO BE EXCLUDED FROM THE SETTLEMENT CLASS IN THE FLORES V. SANTA XXXXXXX FARMS LAWSUIT. I UNDERSTAND THAT IF I ASK TO BE EXCLUDED FROM THE SETTLEMENT CLASS, I WILL NOT RECEIVE ANY MONEY FROM THE SETTLEMENT OF THIS LAWSUIT.”
Exclude Yourself from the Settlement. If you do not wish to take part in the Settlement, you may exclude yourself by sending to the Settlement Administrator a written “Request for Exclusion from the Class Action Settlement” letter or card postmarked no later than <<RESPONSE DEADLINE>>, with your name, address, telephone number, last four digits of your social security number, your signature, and a statement indicating that you would like to be excluded from the Class Action Settlement. Send the Request for Exclusion directly to the Settlement Administrator at <<INSERT ADMINISTRATOR CONTACT INFO>>. Any person who files a timely Request for Exclusion from the Settlement shall, upon receipt by the Settlement Administrator, no longer be a Settlement Class member, shall be barred from participating in any portion of the Settlement, and shall receive no benefits from the Settlement. If you submit a Request for Exclusion, you will only be excluded from the Released Claims. You cannot submit a Request for Exclusion from the PAGA Release. You will receive a proportionate share of the PAGA Payment regardless of whether you exclude yourself from the Settlement if you were employed between January 30, 2019 and [ CLOSE DATE OF THE CLASS PERIOD]. Do not submit both a Dispute and a Request for Exclusion. If you do, the Request for Exclusion will be invalid, you will be included in the Settlement Class, and you will be bound by the terms of the Settlement.
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Exclude Yourself from the Settlement. If you wish to pursue a separate lawsuit against Ecolab for the claims asserted in this Action, or if you do not want to participate in the Settlement for other reasons, you must submit the attached form to the Claims Administrator asking to exclude yourself or “opt out” of the Settlement.
Exclude Yourself from the Settlement. If you do not want to receive money from the settlement, but you want to keep your rights to sue Defendant separately, you must send a letter requesting exclusion postmarked no later than [30
Exclude Yourself from the Settlement. You can opt out of the Settlement by submitting your request by [DATE]. You will no longer be a member of the Class and will receive no benefits under the Settlement, but will retain any claims you may have against NNA. Further details for requesting exclusion are contained on the settlement website. This notice summarizes the Settlement. For important additional information including the full Long Form Notice, the Settlement Agreement and Claim Form go to www._ .com or call 800.xxx.xxxx. Exhibit E IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF TENNESSEE NASHVILLE DIVISION XXXXXX XXXXXXXX, XXXXX XXXXXX, XXXXXXX XXXXXXX, XXXXX XXXXXX, XXXXXXXX XXXXX, XXXXXX XXXXXXX, XXXXXXX XXXX, XXXXXX X’XXXXXX, XXXXXXXX XXXXXXXX and XXXXX XXXXXXXX, Individually and on Behalf of All Others Similarly Situated, Plaintiffs, v. NISSAN NORTH AMERICA, INC., and NISSAN MOTOR CO., LTD. Defendants. Case No. 3:21-cv-00099 CLASS ACTION [PROPOSED] PRELIMINARY APPROVAL ORDER OF CLASS ACTION SETTLEMENT District Judge Xxxxxxx X. Xxxxxxxx Courtroom A826 Magistrate Judge Xxxxxxx X. Xxxxxx Courtroom 764 JURY TRIAL DEMANDED
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