Exclusion from the Settlement Class Sample Clauses

Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that:
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Exclusion from the Settlement Class. Any potential Settlement Class Member who wishes to be excluded from the Class must send a written Request for Exclusion to the Settlement Administrator, by first-class mail, postage prepaid, to the address provided in the Mail Notice and Settlement Website. Any such Request for Exclusion must be postmarked no later than ninety (90) Days after the Mail Notice Deadline.
Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: In re Lumber Liquidators Holdings, Inc. Securities Litigation, EXCLUSIONS, c/o A.B. Data, Ltd., X.X. Xxx 000000, Xxxxxxxxx, XX 00000, and (b) each request for exclusion must (i) state the name, address and telephone number of the person or entity requesting exclusion, and in the case of entities the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Lumber Liquidators Holdings, Inc. Securities Litigation, No. 4:13-cv-00157-AWA-DEM”; (iii) state the number of shares of Lumber Liquidators Securities that the person or entity requesting exclusion purchased and/or sold during the Settlement Class Period, as well as the dates and prices of each such purchase and sale; and
Exclusion from the Settlement Class. To file a Request for Exclusion, Settlement Class Members must follow the directions in the Notice and send a compliant request to the Claims Administrator at the address designated in the Class Notice by the Opt- Out Deadline. In the Request for Exclusion, the Settlement Class Member must state his or her full name, address, and cellular telephone number(s) at which the Settlement Class Member alleges he or she received a call from one of the Defendants, and must state that he or she wishes to be excluded from the Settlement. No Request for Exclusion will be valid unless all of the information described above is included. No Settlement Class Member, or any person acting on behalf of or in concert or participation with that Settlement Class Member, may exclude any other Settlement Class Member from the Settlement Class.
Exclusion from the Settlement Class. Any Settlement Class Member that wishes 24 to be excluded from the Settlement Class must mail an Exclusion Letter to the Settlement 25 Administrator at the addresses provided in the Notice, postmarked no later than the Deadline to 26 Opt-Out, as specified on the Notice, and sent via first class postage pre-paid U.S. mail. The 1 Exclusion Letter must: a) state the Settlement Class Member’s full name, address, and telephone
Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself, or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: Xxxxx Fargo Securities Litigation, EXCLUSIONS, c/o Epiq Class Action and Claims Solutions, Inc., P.O. Box 5430, Portland, OR 97228-5430, and (b) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Xxxxx Fargo & Co. Securities Litigation, No. 1:20-cv-04494-GHW-SN (S.D.N.Y.)”; (iii) state the number of shares of Xxxxx Fargo common stock that the person or entity requesting exclusion (A) owned as of the opening of trading on February 2, 2018 and (B) purchased/acquired and/or sold from February 2, 2018 through March 12, 2020, inclusive, as well as the dates and prices of each such purchase/acquisition and/or sale and, for each, the numbers of shares purchased/acquired and/or sold; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.
Exclusion from the Settlement Class. A member of the Settlement Class may request to be excluded from the Settlement Class in writing by a request postmarked, or submitted electronically via the Settlement Website, or submitted to an e-mail address established by the Administrator for the purpose of receiving exclusion requests, on or before the Objection and Exclusion Deadline of , 2022 (i.e. seventy-five (75) days after the Notice Date). In order to exercise the right to be excluded via postal mail, a member of the Settlement Class must timely send a written request for exclusion to the Settlement Administrator providing his/her name, address, and telephone number; the name and number of this case; a statement that he/she wishes to be excluded from the Settlement Class; and a handwritten signature. A request to be excluded that is sent to an email address other than that designated in the Class Notice, or that is not electronically submitted or postmarked within the time specified, shall be invalid and the person serving such a request shall be considered a member of the Settlement Class and shall be bound as Settlement Class Members by the Agreement, if approved. The request for exclusion must be personally signed by the person requesting exclusion. So-called “mass” or “class” exclusion requests shall not be allowed. FILED DATE: 4/14/2022 8:11 PM 2019CH00990
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Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to exclude himself, herself or itself from the Settlement Class must request exclusion in writing within the time and in the manner set forth in the Notice, which shall provide that: (a) any such request for exclusion from the Settlement Class must be mailed or delivered such that it is received no later than twenty-one (21) calendar days prior to the Settlement Hearing, to: In re Dropbox, Inc. Securities Litigation, EXCLUSIONS, x/x , X.X. Xxx , , - , xxx (x) each request for exclusion must (i) state the name, address, and telephone number of the person or entity requesting exclusion, and in the case of entities, also state the name and telephone number of the appropriate contact person; (ii) state that such person or entity “requests exclusion from the Settlement Class in In re Dropbox, Inc. Securities Litigation, Case No. 5:19-CV-06348”; (iii) state the number of shares of Dropbox common stock that the person or entity requesting exclusion purchased/acquired pursuant and/or traceable to the Registration Statement issued in connection with Dropbox’s March 22, 2018 initial public offering; and (iv) be signed by the person or entity requesting exclusion or an authorized representative. A request for exclusion shall not be effective unless it provides all the required information and is received within the time stated above, or is otherwise accepted by the Court.
Exclusion from the Settlement Class. Any member of the Settlement Class who wishes to be excluded from the Settlement (i.e., “opt out”) must send a written request for exclusion to the Settlement Administrator stating a request to “opt out” or to be “excluded” no later than thirty (30) days prior to the Final Fairness Hearing (the “Opt-Out Deadline”). In order to be effective, the request must include: (a) the name of the Lawsuit; (b) the full name and address of the member of the Settlement Class requesting exclusion; (c) the information that qualifies him or her for inclusion in the Settlement Class, including the name of the Hotel(s) at which the Settlement Class member booked and paid for a stay as well as the dates the Settlement Class member stayed at said Hotel(s); (d) the following statement: “I hereby request that I be excluded from the proposed Settlement Class in the Lawsuit” or a substantially similar statement that unambiguously communicates a desire to be excluded from the Settlement; and (e) the personal signature of the member of the Settlement Class requesting exclusion. Exclusion requests must be made individually by the member of the Settlement Class who is requesting exclusion; no generic or “mass” opt-outs shall be allowed. Members of the Settlement Class who exclude themselves from the Settlement will not be eligible to receive any benefits under the Settlement, will not be bound by any further orders or judgments entered for or against the Settlement Class related hereto, and will preserve their ability independently to pursue any claims they may have against Defendants.
Exclusion from the Settlement Class. 13 24. Any requests for exclusion must be postmarked no later than forty- 14 five (45) calendar days after the Notice Deadline (“Opt-Out Deadline”). Any 15 person who would otherwise be a member of the Settlement Class who wishes to 16 be excluded from the Settlement Class must notify the Settlement Administrator in 17 writing of the intent to exclude himself or herself from the Settlement Class, 18 postmarked no later than the Opt-Out Deadline. The written notification must 19 include the individual’s (i) name, (ii) address, (iii) a statement that the person
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