Identification of Attorneys’ Representatives Sample Clauses

Identification of Attorneys’ Representatives. 7. Lead Plaintiff and the Settlement Class are represented by Lead Counsel, Xxxxxxxx Xxxxxxx, Xxxxxxx Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (888) 219- 6877, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx.
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Identification of Attorneys’ Representatives. 8. Lead Plaintiffs and the Settlement Class are represented by Co-Lead Counsel, Xxxxx X. Xxxxxxx, Esq., Labaton Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx, and Xxxxxxxx X. Xxxxxxx, Esq., Levi & Korsinsky, LLP, 0000 00xx Xxxxxx X.X., Xxxxx 000, Xxxxxxxxxx, XX 00000, (202) 524- 4290, xxx.xxx.xxx.
Identification of Attorneys’ Representatives. Plaintiffs and the Settlement Class are represented by Xxxxxxxx Xxxxxxx, Esq. of Levi & Korsinsky, LLP, 0000 00xx Xxxxxx, Xxxxx 000, Xxxxxxxxxx, XX 00000, (000) 000-0000, xxxxxxxx@xxx.xxx.
Identification of Attorneys’ Representatives. 8. Class Representative and the Class are represented by Class Counsel: Xxxxx X. Xxxxxx, Esq., Motley Rice LLC, 00 Xxxxxxxxxx Xxxx., Xx. Pleasant, SC 29464, (000) 000-0000, xxx.xxxxxxxxxx.xxx, and Xxxxxxx Xxxxx-Xxxxxxxxx, Esq., Xxxxx+Xxxxx Attorneys at Law LLP, 000 Xxxx Xxx., 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxx-xxxxx.com.
Identification of Attorneys’ Representatives. 8. Lead Plaintiffs and the Settlement Class are represented by Lead Counsel, Xxxxx
Identification of Attorneys’ Representatives. Class Representatives and the Class are being represented by Labaton Sucharow LLP and Xxxxxxx Xxxxxxx & Xxxxxxx, P.C., Court-appointed Class Counsel. Any questions regarding the Settlement should be directed to Xxxxxxxx Xxxxxxx, Labaton Sucharow LLP, 000 Xxxxxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxx.xxxxxxx.xxx, xxxxxxxxxxxxxxxxxxx@xxxxxxx.xxx or Xxxxxx X. Xxxxxxxxxx, Xxxxxxx Xxxxxxx & Xxxxxxx, P.C., 0000 Xxxxxx Xxxxxx, Xxxxx 0000, Xxxxxxxxxxxx, XX 00000, (000) 000-0000, xxx.xxxxxxxxxxxx.xxx. BASIC INFORMATION
Identification of Attorneys’ Representatives. Lead Plaintiffs and the Settlement Class are represented by Lead Counsel Xxxxx X. Xxxxxxxx, Esq. of Xxxxxxxxx Litowitz Xxxxxx & Xxxxxxxxx LLP, 00000 Xxxx Xxxxx Xxxxx, Xxxxx 000, Xxx Xxxxx, XX 00000, (000) 000-0000, xxxx@xxxxxxx.xxx, and Xxxxxx X. Xxxxx, Esq. of Bleichmar Xxxxx & Xxxx LLP, 0 Xxxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxxxxx@xxxxxx.xxx, and Local Counsel Xxxxx X. Xxxxxxxx, Esq. of Law Offices of Xxxxx X. Xxxxxxxx, 0000 Xxxxxxxx Xxxx, Xxxxx 000, Xxxxxxxxxx, XX 00000.
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Identification of Attorneys’ Representatives. Lead Plaintiffs and the Class are represented by the following Court-appointed Lead Counsel: Xxxx X. Xxxxxx, Esq. at Grant & Eisenhofer P.A., 000 Xxxxxxxxx Xxxxxx, Xxx Xxxx, XX 00000, Tel: (000) 000-0000, xxx.xxxxx.xxx;
Identification of Attorneys’ Representatives. Lead Plaintiff and the Settlement Class are represented by Xxxxxx Xxxxxx, Esq. of Xxxxxxx Topaz Xxxxxxx & Check, LLP, 000 Xxxx xx Xxxxxxx Xxxx, Xxxxxx, XX 00000, 1-610-667-7706, xxxx@xxxx.xxx, xxx.xxxx.xxx. Further information regarding the Action, the Settlement, and this Notice may be obtained by contacting Lead Counsel or the Court-authorized Claims Administrator at: SEB Investment Management XX
Identification of Attorneys’ Representatives. Plaintiffs and the Settlement Class are being represented by Xxxxxxxxx LLP (“Lead Counsel”), Xxxxxxx Xxxxxxxx LLP (Additional Counsel), and Xxxxxxx & Xxxxxx, P.C. (Local Counsel). Any questions regarding the Settlement should be directed to Xxxxxx Xxxxxxxxx, Esq. at Xxxxxxxxx LLP, 000 Xxxxx Xxxxxx, 00xx Xxxxx, Xxx Xxxx, XX 00000, (000) 000-0000, xxxxxxxxxxx@xxxxxx.xxx. YOUR LEGAL RIGHTS AND OPTIONS IN THE SETTLEMENT DO NOTHING Get no payment. Remain a Settlement Class Member. Give up your rights. REMAIN A MEMBER OF THE SETTLEMENT CLASS AND SUBMIT A CLAIM FORM POSTMARKED NO LATER THAN [ ], 2022 This is the only way to be potentially eligible to receive a payment. If you wish to obtain a payment as a member of the Settlement Class, you will need to submit a claim form (the “Claim Form”), which is included with this Notice, postmarked no later than , 2022. EXCLUDE YOURSELF FROM THE SETTLEMENT CLASS (OPT OUT) BY SUBMITTING A WRITTEN REQUEST FOR EXCLUSION SO THAT IT IS RECEIVED NO LATER THAN [ ], 2022 Receive no payment pursuant to this Settlement. This is the only option that allows you to ever potentially be part of any other lawsuit against any of the Defendants or the other Defendants' Releasees concerning the Released Plaintiffs' Claims. Should you elect to exclude yourself from the Settlement Class, you should understand that Defendants and the other Defendants' Releasees will have the right to assert any and all defenses they may have to any claims that you may seek to assert, including, without limitation, the defense that any such claims are untimely under applicable statutes of limitations and statutes of repose. OBJECT TO THE SETTLEMENT SO THAT IT IS RECEIVED NO LATER THAN [ ], 2022 Write to the Court about your view of the Settlement, the Plan of Allocation, or the request for attorneys' fees and litigation expenses, or why you don't think the Settlement, the Plan of Allocation, and/or the request for attorneys' fees and litigation expenses is fair to the Settlement Class. If you do not exclude yourself from the Settlement Class, you may object. You must still submit a Claim Form in order to be potentially eligible to receive any money from the Settlement Fund. GO TO THE HEARING ON [ ], 2022, AT : _.m., AND FILE A NOTICE OF INTENTION TO APPEAR SO THAT IT IS RECEIVED NO LATER THAN [ ], 2022 Ask to speak in Court about the fairness of the Settlement, the proposed Plan of Allocation, or the request for attorneys' fees and litigation expenses. WHAT THIS...
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