FULL AND FINAL RELEASE OF CLAIMS Sample Clauses

FULL AND FINAL RELEASE OF CLAIMS. 1. In consideration of the payments provided for in Sections 6(b)-(d) of the Executive Employment Agreement (hereinafter referred to as the “Employment Agreement”) between CONSTELLATION BRANDS CANADA, INC. and XXXX XXXXXXXX (XXX) XXXXXX (hereinafter referred to as “Executive”), which is attached hereto and forms a part of this Full and Final Release of Claims, which exceed the minimum requirements of the Employment Standards Act, 2000 (Ontario), on behalf of himself, his heirs, administrators and assigns, Executive hereby releases and forever discharges Constellation Brands Canada, Inc., Constellation Brands, Inc., their subsidiaries and affiliates and each of their respective officers, directors, employees, servants and agents, and their successors and assigns, (hereinafter collectively referred to as “Constellation Released Parties”) jointly and severally from any and all actions, causes of action, contracts and covenants, whether express or implied, claims and demands for damages, indemnity, costs, attorneys’ fees, interest, loss or injury of every nature and kind whatsoever arising under any federal, provincial, or local law, or the common law, which Executive may heretofore have had, may now have or may hereinafter have in any way relating to any matter, including but not limited to, any matter related to Executive’s employment by Constellation Released Parties and the termination of that employment; provided, however, nothing in this Full and Final Release of Claims shall release (i) Executive’s right to receive the payments or benefits provided for in Sections 6(b)-(d) of the Employment Agreement, (ii) Executive’s vested benefits under any pension plans or rights under any existing stock options held by Executive, or (iii) any right to indemnification or advancement of expenses pursuant to Section 10 of the Employment Agreement or the Certificate of Incorporation or By-laws of Constellation Brands Canada, Inc. (the items in the foregoing clauses (i) through (iii) are hereinafter referred to as the “Preserved Rights”). Executive also agrees not to make any claim or take any proceedings in respect of the claims released against any person, corporation or other entity who or which might claim contribution or indemnity from any of the Constellation Released Parties.
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FULL AND FINAL RELEASE OF CLAIMS. This Severance Agreement and Full and Final Release of Claims (“Agreement”) is made and entered into by and among First Security Group, Inc., a bank holding company organized under the laws of the State of Tennessee (the “Company”), FSGBank, N.A., a national association organized under the laws of the United States (the “Bank” and collectively with the Company, the “Employer”), and Xxxxx Xxxxxxx Xxxxxx (the “Executive”).
FULL AND FINAL RELEASE OF CLAIMS. In consideration for the parties’ agreement to the terms of the Settlement Agreement entered into in the case of United States v. Xxxxxx Xxxxxxxx 5:17-cv-00121 (W.D.N.C.), in the United States District Court for the Western District of North Carolina, and in consideration for the payment of $ , I, , do hereby fully release and forever discharge the Defendant named in this lawsuit, as well as his insurers, attorneys, agents, employees, former employees, heirs, and executors from any and all claims arising out of Title VIII of the Civil Rights Act of 1968, as amended, 42 U.S.C. §§ 3601- 3631 (“the Fair Housing Act” or “FHA”), and the Equal Credit Opportunity Act, 15 U.S.C. §§ 1691-1691e (“ECOA”) which were set forth, or which could have been set forth, in the Complaint in this lawsuit that I may have had against Xxxxxx Xxxxxxxx for any of his actions or statements related to those claims through the date of the entry of the Settlement Agreement. Executed this day of , 201_. Signature Print Name Home Address
FULL AND FINAL RELEASE OF CLAIMS. In consideration of the payment to me by the City and County of Honolulu (“Honolulu”) and P M Autoworks, Inc., d/b/a All Island Automotive Towing (“All Island Towing”) of $ , I/we and hereby release and forever discharge all claims against Honolulu and All Island Towing, and each and all of their respective employees, officers, directors, affiliated entities, agents, contractors, subcontractors, successors in interest, and insurers, arising prior to the date of this Release, related to the facts and laws at issue in the lawsuit entitled United States v. City and County of Honolulu and P M Autoworks Inc., d/b/a All Island Automotive Towing (D. Hawaii, No. 1:18-cv-00061), including without limitation the alleged violation of Section 3958 of the Servicemembers Civil Relief Act. I hereby acknowledge that I have read and understand this Release and have executed it voluntarily, with full knowledge of its legal consequences, and after an opportunity to consult with legal counsel of my choice. Executed this day of , 20 . Signature Print Name Signature of Spouse (if on vehicle title) Print Name ATTACHMENT G NOTICE TO SERVICEMEMBERS REGARDING VEHICLES AUCTIONED OR SOLD IN VIOLATION OF THE SCRA On February 15, 2018, the City and County of Honolulu (“Honolulu”), All Island Automotive Towing (“All Island Towing”), and the United States entered into a Settlement Agreement resolving a lawsuit brought by the United States. The lawsuit alleged that Honolulu and All Island Towing auctioned, sold, or otherwise disposed of motor vehicles owned by active-duty servicemembers without first obtaining a court order or valid SCRA waiver, in violation of Section 3958 of the Servicemembers Civil Relief Act, 50 U.S.C. § 3958. You may be entitled to a monetary award from the Settlement Fund if:
FULL AND FINAL RELEASE OF CLAIMS. This Severance Agreement and Full and Final Release of Claims (“Agreement”) is made and entered into by and between FSGBank, N.A., a national association organized under the laws of the United States (the “Bank” or the “Employer”), and Xxxxxxxxxxx Xxxxx (the “Executive”).
FULL AND FINAL RELEASE OF CLAIMS. In consideration for the Parties’ agreement to the terms of the Settlement Agreement they entered into dated , and in consideration for the payment of $ [ ] I, , do hereby fully release and forever discharge J & R Associates, along with its insurers, co-insurers, reinsurers, attorneys, related companies, principals, predecessors, successors, assigns, affiliates, partners, directors, officers, agents, employers, shareholders, subsidiaries, employees, former employees, independent contractors, heirs, executors, and administrators and any persons acting under the J & R Associates’ respective direction or control from any and all fair housing claims set forth or related to the allegations and facts at issue referenced by the parties in the Settlement Agreement that pertain to race or national origin discrimination, or in any way related to that matter, and any other claims arising from alleged housing discrimination that I may have had against any of them for any of the J & R Associates’ actions or statements related to those claims through the date of this Release. I understand and acknowledge that the payment made by J & R Associates hereunder does not constitute, and shall not be construed as, an admission of any kind, and that J & R Associates expressly denied liability. I declare under penalty of perjury that the foregoing is true and correct. Executed this day of , 2017.
FULL AND FINAL RELEASE OF CLAIMS. In consideration for the Parties’ agreement to the terms of the Settlement Agreement they entered into in the case of United States v.
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FULL AND FINAL RELEASE OF CLAIMS. This Severance Agreement and Full and Final Release of Claims (“Agreement”) is made and entered into by and among Southwest Bancorp, Inc., a bank holding company organized under the laws of the State of Oklahoma (the “Company”), the Stillwater National Bank and Trust Company, a national bank organized under the laws of the United States, and the Bank of Kansas, a state bank chartered under the laws of the State of Kansas (collectively, the “Employer”), and Xxxx X. Xxxxx (the “Executive”).
FULL AND FINAL RELEASE OF CLAIMS. This Separation Agreement and Full and Final Release of Claims (“Agreement”) is made and entered into between Peter C. Grabowski (“Mr. Grabowski” or “Employee”) and Gevity HR, Inc. (“Gevity” or “Employer”).
FULL AND FINAL RELEASE OF CLAIMS. This Settlement Agreement and Full and Final Release of Claims ("Agreement") is entered into this ____ day of ____________, 2012, by and between ______________________, hereinafter “Secured Party”, and Enthusiast Media Holdings, Inc., a Washington Corporation, hereinafter “EMH”.
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