EXECUTION BY PARTIES AND COUNSEL Sample Clauses

EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: __________ __________________________________ Plaintiff Xxxxxx Xxxxx Dated: __________ __________________________________ Plaintiff Xxxxxx Xxxxx Dated: __________ __________________________________ Xxxxxxx Xxxxx, Executive Vice President, General Counsel For Defendant Mistras Group, Inc. APPROVED AS TO FORM AND CONTENT: Dated: __________ __________________________________ Xxxxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiff Dated: __________ __________________________________ Xxxxxxxxx X. Xxxxxxx Xxxxxxx & Xxxxxx LLP Attorney for Defendant EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL] NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL Price v. Mistras Group, Inc., Superior Court of the State of California, County of Los Angeles, Case No. 20STCV22485, and related Case No. 20LBCV00408 YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR DO NOT ACT. PLEASE READ THIS NOTICE CAREFULLY. SUMMARY OF YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT: Do Nothing and Receive a Payment To receive a cash payment from the Settlement, you do not have to do anything. The actual amount you receive may be different and will depend on a number of factors. Additional information is set forth below. Exclude Yourself On or before [60 days from mailing] To exclude yourself, you must send a written request for exclusion to the Settlement Administrator as provided below. If you request exclusion, you will receive no money from the Settlement and you will not be bound by the Settlement. However, if you are also an Aggrieved Employee and excludes yourself, you will still be paid your allocation of the PAGA Payment and will remain bound by the release of the Released PAGA Claims regardless of whether you submit a request for exclusion. Instructions are set forth below. Object On or before [60 days from mailing] Write to the Court about why you do not agree with the Settlement or appear at the Final Approval Hearing to make an oral objection. Instructions are provided below. Final Approval Hearing The Court will hold a Final Approval Hearing at __________ on ________________ , at the Los Angeles County Superior Court, Spring Street Courthouse, located at 000 Xxxxx Xxxxxx Xxxxxx, Xxx Xxxxxxx, XX 00000, in Department 1 before Judge Xxxxxx X. Xxxxxxx. This hearing may change as explained below in Secti...
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EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: March , 2018. XXXXX XXXX Dated: March , 2018. NATTY XXXXXXX Dated: March , 2018. THE PERMANENTE MEDICAL GROUP, INC. By: Xxxx X. Xxxxxxx Assistant General Counsel Dated: March , 2018. XXXXX X. XXXXXX XXXXX X. XXXXXXXX XXXXXXX X. XXX, XX XXXXXXX XXXXXXXX, P.C. XXXXX C. XXXXXX XXXXXX & GOLDEN LLP By: Xxxxx X. Xxxxxx Attorneys for Xxxxx Xxxx and Natty Xxxxxxx Dated: March , 2018. XXXXXXX X. XXXX XXXXXXX X. XXXX XXXX XXXXXXXX LLP By: Xxxxxxx X. Xxxx Attorneys for Defendant TPMG LEGAL_US_W # 93077323.6 22
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. JEWEL XXXXXX KEY XXXXX XXXXXXX 05/25/2018 Dated: May , 2018. Dated: May , 2018. Dated: May , 2018. XXXXX XXXXXX-XXXXXX Dated: May , 2018. FALCOLN SUBSIDIARY LLC d/b/a AXISPOINT HEALTH By: Name: Its: Dated: May , 2018. XXXXX X. XXXXXX By: Xxxxx X. Xxxxxx Attorney for Plaintiffs Dated: May , 2018. XXXXX X. XXXXXXXXXXX By: Xxxxx X. Xxxxxxxxxxx Attorneys for Defendant Falcon Subsidiary LLC d/b/a AxisPoint Health
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2019 Xxxxxxxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxx Dated: , 0000 Xxxxxx Xxxxxxxxx Dated: , 2019 G6 Hospitality, LLC Name: Authorized to sign on behalf of G6 Hospitality, LLC Dated: , 2019 Motel 6 Operating LP Name: Authorized to sign on behalf of Motel 6 Operating LP Dated: , 2019 Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx, LLP By:_ Xxxxxx X. Xxxxxxxxxx Attorneys for Plaintiffs Dated: , 2019 Zakay Law Group, APLC By:_ Xxxxx X. Xxxxx Attorneys for Plaintiffs Dated: Dec. 6 , 2019 The Law Offices of Xxxxxxx X. Xxxxxxxx By:_ Xxxxxxx X. Xxxxxxxx Attorneys for Plaintiffs Dated: Dec. 6 , 2019 Xxxxxx Law Group, APC By:_ Xxxxx Xxxxxx Attorneys for Plaintiffs Dated: , 2019 Xxxxxxxx Xxxxxxx Xxxx Xxxxx & Xxxxxxx, P.C. By:_ Xxxxxxx Xxxxx Xxx Xxxxxxx Xxxxx Xxxxxxxxxxx Attorneys for Defendants 40891876.1 EXHIBIT A NOTICE OF PENDENCY OF CLASS ACTION SETTLEMENT AND FINAL HEARING DATE (Xxxxxxxx, et al., v. G6 Hospitality, LLC, Case No. 37-2018-00056207-CU-OE-CTL) YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR DO NOT ACT. PLEASE READ THIS NOTICE CAREFULLY.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. _______________________ 06 / 07 / 2021 Dated: , 2021 Xxxx Xxxxxxxxxx Dated: , 2021 Franciscan Health System d/b/a CHI Franciscan Health Dated: , 2021 By: Franciscan Medical Group By: Dated: , 2021 Franciscan Health Ventures Dated: , 2021 By: Xxxxxxxx Medical Center Dated: , 2021 By: Xxxxxxxx Medical Center Foundation By: Dated: June 9 , 2021 XXXXXXX XXXXXXXX LAW GROUP PLLC By: P _________________________________________ Xxxx X. Xxxxxxx Attorneys for Plaintiff Dated: June 9 , 2021 XXXXXXXXX XXXXXXX XXXXXXXX XXXXXXX LL By: Xx xxx X. Cottrell Atto eys for Plaintiff Dated: , 2021 P SINELLI LLP Xxxxxxx X. Xxxxxxxx Attorneys for Plaintiff OLSINELLI LLP By:
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: November 04/1,12/02222 By: XXXXX XXXXX Plaintiff on behalf of himself and all others similarly situated DocuSign Envelope ID: AF3F0E41-649F-446A-8996-0159E9E35ACF Dated: November 4 , 2022 LAVI & XXXXXXXXXX, LLP E&L, LLP By: XXXXXX XXXX XXXX XXXXXXXXXX Attorneys for Plaintiff Xxxxx Xxxxx Dated: November , 2022 KEMBER FLOORING, INC. By: XXX XXXXXXX President Dated: November , 2022 XXXX, XXXXXX, XXXXXXXX & XXXXXXXXXXX LLP By: XXXXXX X. XXXXXX, XX. XXXXXXX X. XXXXXXXX Attorneys for Kember Flooring, Inc. DocuSign Envelope ID: AF3F0E41-649F-446A-8996-0159E9E35ACF EXHIBIT A XXXXX X. XXXXXX FLOORING, INC. Los Angeles County Superior Court Case Number 21STCV19215 NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION If you are or were a non-exempt hourly employee who works or worked for Defendant Kember Flooring, Inc. in California, a class action settlement may affect your rights. A court authorized this Notice in the matter of Xxxxx x. Xxxxxx Flooring, Inc., et al. Los Angeles County Superior Court, Case No. 21STCV19215 Your legal rights may be affected by this Settlement. Please read this Notice carefully. Plaintiff Xxxxx Xxxxx (“Plaintiff”), on behalf of himself and other similarly situated employees, sued Defendant Kember Flooring, Inc. (“Defendant”) on a class basis for (i) failure to pay minimum wages; (ii) failure to pay overtime wages; (iii) failure to provide meal periods; (iv) failure to provide rest periods; (v) failure to timely pay wages during employment; (vi) failure to provide complete and accurate wage statements;
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2019 Xxxxxxxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxxxxx Dated: , 2019 Xxxx Xxxxx Dated: , 0000 Xxxxxx Xxxxxxxxx Dated: , 2019 G6 Hospitality, LLC Name: Authorized to sign on behalf of G6 Hospitality, LLC Dated: , 2019 Motel 6 Operating LP Name: Authorized to sign on behalf of Motel 6 Operating LP Dated: , 2019 Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx, LLP By:_ Xxxxxx X. Xxxxxxxxxx Attorneys for Plaintiffs Dated: , 2019 Zakay Law Group, APLC By:_ Xxxxx X. Xxxxx
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EXECUTION BY PARTIES AND COUNSEL. The Parties hereto knowingly and voluntarily executed this Agreement as of the date set forth below: Signatures Xxxxxx Xxxxxxxxx Xxxx Xxxxx Xxxx Xxxxxxx Individually and on behalf of As to Form Only Xxxxxx X. Xxxxxx As Plaintiffs/Class Counsel 05/17/2023 Dated: 05/15/2023 Dated: Dated: 05/15/2023 Dated: Xxxxxx Xxxxxx As Counsel for Defendants Dated:
EXECUTION BY PARTIES AND COUNSEL. The Parties hereby execute this Agreement. Oct 19, 2022 Xxxxxx Xxxxxxx Xxxxxx Xxxxxxx (Oct 19, 2022 18:13 PDT) Dated: Plaintiff Xxxxxx Xxxxxxx Dated: Xxx Xxxxxx For Defendant Headlands Venture, LLC Dated: 10/19/22 __________________________________ Xxxx Xxxxxxxxxx Xxxxxxxxxx Nordrehaug Xxxxxxx Xx Xxxxx LLP Attorney for Plaintiff Dated: _October 19, 2022 Xxxxxx Xxxxxx Xxxx Xxxxxxx Xxxxxxx Xxxxx P.C. Attorney for Defendant EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL] NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION AND HEARING DATE FOR FINAL COURT APPROVAL (Xxxxxxx v. Headlands Ventures, LLC, Superior Court of the State of California, County of Sacramento, Case No. 34-2021-00297290) YOUR LEGAL RIGHTS MAY BE AFFECTED WHETHER YOU ACT OR DO NOT ACT. PLEASE READ THIS NOTICE CAREFULLY.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: 2019 Xxxxxxx Xxxx Dated: 2019 Tekary Xxxxxx Dated: 2019 Xxxx X. Xxxxxxx Dated:6/28/2019 2019 Advanced Medical Personnel Services, Inc. and Rise Medical Staffing, LLC By: EXHIBIT A [NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION, AND HEARING DATE FOR FINAL COURT APPROVAL] U.S. DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA Xxxxxxx Xxxx, et al. v. Rise Medical Staffing, LLC, Advanced Medical Personnel Services, Inc., Consolidated Civil Action No. 2:17-cv-01967-MCE-KJN A court has authorized this notice. This is not a solicitation. This is not a lawsuit against you and you are not being sued. Your legal rights are affected whether you act or do not act.
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