Gxxxxx and Vxxx Xxxxxxx v. CarMax Sample Clauses

Gxxxxx and Vxxx Xxxxxxx v. CarMax. The Koziseks filed a complaint in the Circuit Court of the 19th Judicial Circuit, Lake County, Illinois alleging Common Law Fraud, Fraudulent Concealment, and violations of the Illinois Consumer Fraud and Deceptive Business Practices Act. The Koziseks seek “punitive damages in excess of $1,000,000.” In 2004 the Koziseks purchased a 2002 Volkswagen Jetta from CarMax. The Volkswagen Jetta had a voided manufacturer’s warranty. CarMax offered to repurchase it from the Koziseks for a full refund plus $5,000, which the Koziseks declined. SCHEDULE 5.13 SUBSIDIARIES AND OTHER EQUITY INVESTMENTS Part (a). Subsidiaries. Legal Name of Subsidiary Ownership CarMax Auto Superstores, Inc. CarMax, Inc. Gxxx Axxxx Insurance Ltd. CarMax, Inc. CarMax Auto Mall, LLC CarMax Auto Superstores, Inc. CarMax of Laurel, LLC CarMax Auto Superstores, Inc. CarMax Auto Superstores West Coast, Inc. CarMax Auto Superstores, Inc. CarMax Texas General Partner, LLC CarMax Auto Superstores West Coast, Inc. CarMax Auto Superstores California, LLC CarMax Auto Superstores West Coast, Inc. CarMax Auto Superstores Texas, LP Owned 99% by CarMax Auto Superstores, Inc. and 1% by CarMax Texas General Partner, LLC CarMax Business Services, LLC Owned 93.5% by CarMax Auto Superstores West Coast, Inc., and 6.5% by CarMax Auto Superstores, Inc. CarMax Properties, LLC CarMax Business Services, LLC CarMax Auto Superstores Services, Inc. CarMax Business Services, LLC CarMax Auto Funding, LLC CarMax Business Services, LLC CarMax Funding II, LLC CarMax Business Services, LLC Part (b). Other Equity Investments. None Schedule 5.13 SCHEDULE 6.14 LOCATION OF VEHICLES Vehicle Locations 2000 Xxxx Xxxxxxx Parkway Hxxxxx, AL 35244 6000 Xxxxxxxxxx Xxxx. Xxxxx Xxxx, XX 00000 1000 Xxxxxxx Xxxxxx Xxxxxx, XX 00000 8000 Xx Xxxxxxx Xxxx. Xxxxxxxxx, XX 00000 9000 Xxxxxxxx Xx. Xxxxxx, XX 00000 4000 X. Xxxxxx Xxxxxx Xxxx. Xxxxxxx, XX 00000 1000 Xxxxxx Xxxx Xxxxxxxxx, XX 00000 2000 Xxxxxxxxx Xxxx Xxxxxxx Xxxxx, XX 00000 5000 Xxxxx Xxxx Xxxxx Xxxxxxx, XX 00000 900 Xxxxx Xxxxxx Xxxx. Xxxxxxx, XX 00000 10000 Xxxxxxxx Xxxx. Xxxxxxxxxxxx, XX 00000 1000 XX 00xx Xxxxxx Xxxxxxx Xxxxx, XX 00000 2000 Xxxxxxxxx Xxxx. Xxxxxxxxxx, XX 00000 7000 Xxxxx Xxxx 00 Xxxxx, XX 00000 1000 XX 00xx Xxxxx Xxxxx, XX 00000 6000 Xxxxx Xxxxxxx Xxxxxxxxx Xxxxxxx, XX 00000 10000 Xxxxx Xxxxxxxx Xxxxxx Xxxxx, XX 00000 1000 Xxxxxxxx Xxxx Lithia Springs, GA 30122 1000 Xxxxxx Xxxxxxx Parkway Kennesaw, GA 30144 1000 Xxxxxx Xxxx Xxxx Xxxxxxxx, XX 00000 3000 Xxxxx Xxxx...
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Related to Gxxxxx and Vxxx Xxxxxxx v. CarMax

  • Xxxxxxxx-Xxxxx Act There is and has been no failure on the part of the Company or any of the Company’s directors or officers, in their capacities as such, to comply with any provision of the Xxxxxxxx-Xxxxx Act of 2002 and the rules and regulations promulgated in connection therewith (the “Xxxxxxxx-Xxxxx Act”), including Section 402 related to loans and Sections 302 and 906 related to certifications.

  • Sxxxxxxx-Xxxxx Act There is and has been no failure on the part of the Company or any of the Company’s directors or officers, in their capacities as such, to comply with any provision of the Sxxxxxxx-Xxxxx Act of 2002 and the rules and regulations promulgated in connection therewith (the “Sxxxxxxx-Xxxxx Act”), including Section 402 related to loans and Sections 302 and 906 related to certifications.

  • Xxxxxxx Xxxx CareFirst BlueChoice’s Service Area is a clearly defined geographic area in which CareFirst BlueChoice has arranged for the provision of health care services to be generally available and readily accessible to Members. CareFirst BlueChoice will provide the Member with a specific description of the Service Area at the time of enrollment. The Service Area is as follows: the District of Columbia; the state of Maryland; in the Commonwealth of Virginia, the cities of Alexandria and Fairfax, Arlington County, the town of Vienna and the areas of Fairfax and Xxxxxx Xxxxxxxx Counties in Virginia lying east of Route 123. SAMPLE If a Member temporarily lives out of the Service Area (for example, if a Dependent goes to college in another state), the Member may be able to take advantage of the CareFirst BlueChoice Away From Home Program. This Program may allow a Member who resides out of the Service Area for an extended period of time to utilize the benefits of an affiliated Blue Cross and Blue Shield HMO. This Program is not coordination of benefits. A Member who takes advantage of the Away From Home Program will be subject to the rules, regulations and plan benefits of the affiliated Blue Cross and Blue Shield HMO. If the Member makes a permanent move, he/she does not have to wait until the Annual Open Enrollment Period to change plans. Please call 000-000-0000 or visit xxx.xxxx.xxx for more information on the Away from Home Program. CareFirst BlueChoice, Inc. 000 Xxxxx Xxxxxx, XX Xxxxxxxxxx, XX 00000 000-000-0000 An independent licensee of the Blue Cross and Blue Shield Association ATTACHMENT A BENEFIT DETERMINATIONS AND APPEALS AMENDMENT This attachment contains certain terms that have a specific meaning as used herein. These terms are capitalized and defined in Section A below, and/or in the Individual Enrollment Agreement to which this document is attached. These procedures replace all prior procedures issued by CareFirst BlueChoice, which afford CareFirst BlueChoice Members recourse pertaining to denials and reductions of claims for benefits by CareFirst BlueChoice. These procedures only apply to claims for benefits. Notification required by these procedures will only be sent when a Member requests a benefit or files a claim in accordance with CareFirst BlueChoice procedures. An authorized representative may act on behalf of the Member in pursuing a benefit claim or appeal of an Adverse Benefit Determination. CareFirst BlueChoice may require reasonable proof to determine whether an individual has been properly authorized to act on behalf of a Member. In the case of a claim involving Urgent/Emergent Care, a Health Care Provider with knowledge of a Member's medical condition is permitted to act as the authorized representative. SAMPLE

  • Xxxxxx, Xx Xxxxxxx X.

  • Xxxxxx Xxxx The right-of-way, the roadway and all improvements constructed thereon connecting the airport to a public highway.

  • Xxxxxxxx Xxxx Xxxxx, all sons of Late Sukur Xxx Xxxxx (13) Anjura Xxxxxx, wife of Late Sukur Xxx Xxxxx and (14) Sri Xxxxxxxxxx Xxxxxx, son of Late Xxxxxxxxx Xxxxxx, who has been represented by his lawfully constituted attorney Sri Xxxxxxxxx Xxxx Xxxxxxxx, son of Late Bilash Xxxxxxx Xxxxxxxx, by way of a Deed of Sale in Bengali language (kobala) dated 03rd June 2016 registered in the office of the District Sub-Registrar-III, North 24 Parganas and recorded in Book-I, Volume No. 1519-2016, at Pages 23140 to 23177, being No. 151901072 for the year 2016, sold, conveyed and transferred in favour of Smt. Lakshmi Xxxx Xxxxxxxx, wife of Sri Xxxxxxxxx Xxxx Xxxxxxxx, ALL THAT (1) piece and parcel of Sali (agricultural) land measuring 12 (twelve) decimal, more or less, comprised in R.S./L.R. Dag No. 105, recorded under L.R. Khatian Nos. 291, 684, 247, 1696, 300, 1981, 175, 277, 1294 and 1383 and (2) piece and parcel of Sali (agricultural) land measuring 0.88 (zero point eight eight) decimal, more or less, equivalent to 383.64 (three hundred and eighty three point six four) square feet, more or less [out of total land measuring 08 (eight) decimal, more or less], being part of R.S./L.R. Dag No. 101, recorded in L.R. Khatian No. 1811, both aggregating to land measuring 12.88 (twelve point eight eight) decimal, more or less, Mouza Paschim Icchapur, X.X. No. 29, Xx.Xx. No. 202, Police Station Barasat, within the limits of Xxxx No. 34 of Barasat Municipality, Xxx-Xxxxxxxxxxxx Xxxxxxxx Xxxxxxxxxxxx, Xxxxxxxx Xxxxx 00 Parganas (hereinafter referred as “Lakshmi’s First Land”).

  • Xxxxxxx, Xx Xxxxxxx X. Xxxxxxx, Xx. has served as a Senior Vice President of IPT since August 1997, and served as Vice President and Director of Operations of IPT from December 1996 until August 1997. Xx. Xxxxxxx'x principal employment has been with Insignia for more than the past five years. From January 1994 to September 1997, Xx. Xxxxxxx served as Managing Director-- Partnership Administration of Insignia. PRESENT PRINCIPAL OCCUPATION OR EMPLOYMENT AND NAME FIVE-YEAR EMPLOYMENT HISTORY ---- ---------------------------- Xxxxxx Xxxxxx Xxxxxx Xxxxxx has served as Vice President and Treasurer of IPT since December 1996. Xx. Xxxxxx served as a Vice President of IPT from December 1996 until August 1997 and as Chief Financial Officer of IPT from May 1996 until December 1996. For additional information regarding Xx. Xxxxxx, see Schedule III.

  • XXXXXX XXX Xxxxxx Xxx, a federally chartered and privately owned corporation organized and existing under the Federal National Mortgage Association Charter Act, or any successor thereto.

  • Xxxxxxx X Xxxxxx ________________________________________ _______________________________________________

  • Xxxxxx Xxxxxx Xxxx Xx s Birthday;

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