IN THE SETTLEMENT CLASS Sample Clauses

IN THE SETTLEMENT CLASS. You are a member of the Settlement Class if you are an individual in Illinois and your Biometrics or photos were collected, captured, purchased, received through trade, otherwise obtained or in the possession of Jumio and/or its parents, subsidiaries, agents or technology between December 21, 2013 and [Preliminary Approval]. If you received this notice by mail, you may fit this description, and you may submit a claim for cash. If you did not receive this notice by mail, but believe you fit this description, you may also submit a claim for cash. WHAT ARE MY OPTIONS?
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IN THE SETTLEMENT CLASS. The Court has certified a class action for settlement purposes only. The Settlement Class is defined as:
IN THE SETTLEMENT CLASS. 5. How do I know if I am part of the Settlement Class? The Court has certified this case as a class action for settlement purposes only. The Settlement Class is defined as: All persons in the United States (i) identified in the Settlement Class List (ii) who between January 28, 2018 and [the date of preliminary approval] (the “Class Period”), attempted to unsubscribe from receiving text messages from Checkers’ short code 88001, by texting “stop,” “cancel,” “unsubscribe,” ”end,” “quit,” “optout,” “opt out,” “remove,” “cancelar,” “arret,” or “arrette” (or any variation thereof) and were subsequently sent text message advertisements or promotions from Checkers to their cellular telephone and did not re-subscribe to receive text messages. Persons meeting this definition are referenced herein collectively as the “Settlement Class,” and individually as “Settlement Class Members.” Notwithstanding the foregoing, the Settlement Class specifically excludes persons in the following categories: (A) individuals who are or were during the Class Period officers or directors of Checkers or any of its respective affiliates; (B) the district judge and magistrate judge presiding over this case, the judges of the United States Court of Appeals for the Eleventh Circuit, their spouses, and persons within the third degree of relationship to any of them; and (C) all persons who file a timely and proper request to be excluded from the Settlement Class in accordance with Section III(D) of this Agreement. If you are still not sure whether you are included in the Settlement Class, you can visit other sections of the Settlement Website, [INSERT WEBSITE], you may write to the Claims Administrator at [INSERT ADDRESS], or you may call the Toll-Free Settlement Hotline, [INSERT NUMBER], for more information. THE LAWYERS REPRESENTING YOU
IN THE SETTLEMENT CLASS. You are a member of the Settlement Class if you scanned your finger, iris, face or other biometric identifier into a Paychex Timeclock in the state of Illinois at any time between January 7, 2014, and [Preliminary Approval]. If you scanned your biometric identifier into a Paychex Timeclock in Illinois at any time during this time period, then you may visit the settlement website, xxx.XxxxxxxXXXXXxxxxxxxxx.xxx, to submit a claim for cash benefits. To see if you used a Paychex Timeclock, the timeclocks provided by Paychex Entities during the relevant time period include those identified below. Unless otherwise indicated, the Paychex Timeclocks below are finger-scan timeclocks: • Xxxxxx Biometric PX3500 Wi-Fi • Xxxxxx Biometric PX3500 Wi-Fi (W/ Bell Relay) • Xxxxxx Biometric PX2500 Wi-Fi • ZK Biometric 2500 Wi-Fi • ZK Biometric 2500 Non Wi-Fi • ZK Biometric 2500 HID • Precision OEMP Biometric Package • Cyber 2100/15R Bio • Cyber 2100/15 Bio • TrueShift Bio Clock • TIB Bio 110/12 • TIB Bio 110/14 • TIB Bio 2100/15 • Invision Iris (Iris scan clock) FILED DATE: 4/29/2021 8:36 PM 2019CH00205 • TotalPass B600 Biometric Time Clock • TotalPass Biometric WiFi • TotalPass B600 Time Clock – FBA • TotalPass Biometric Wifi FBA • NETONE Biometric Reader (DCT5008) • ZK/TC500 • TIMECO/TS500 • IT3100 • Infotronics NT50/60 • TA785 • Paychex Time Kiosk Application (Facial scan clock) WHAT ARE MY OPTIONS?
IN THE SETTLEMENT CLASS. You are a member of the Settlement Class if, at any time between July 26, 2013 and (1) December 10, 2018 for workers at the Loews Chicago Downtown Hotel, (2) January 7, 2019 for union employees at the Loews Chicago X’Xxxx Hotel, and
IN THE SETTLEMENT CLASS. You are a member of the Settlement Class if you scanned your finger or had your photograph taken in Illinois between March 3, 2015 and [Preliminary Approval] while using an UltiPro TimeBase timeclock or UltiPro TouchBase timeclock, or scanned your finger using a NOVAtime timeclock (Model Nos. 450 or 7000) provided by UKG, Inc. If you are a member of the Settlement Class, then you may visit the settlement website, xxx.XXXXXXXXxxxxxxxxx.xxx, to submit a claim for cash benefits. WHAT DOES THE SETTLEMENT PROVIDE? Cash Payments. Defendant has agreed to create a $3,362,026.50 Settlement Fund for the Class Members. All Settlement Class Members are entitled to submit a Claim Form to receive a payment out of the Settlement Fund. If the Settlement is approved, each Settlement Class Member who submits a timely Claim Form that is deemed valid will be entitled to an equal payment paid out of the Settlement Fund after payment is made for administrative expenses, attorneys’ fees and expenses, and a Class Representative incentive award. The amount of each valid claimant’s payment is estimated to be $200-400 but the exact amount is unknown at this time and depends on several factors, including how many valid claims are submitted and the amount of costs, attorneys’ fees and expenses. The Settlement Administrator will issue a check to each Class Member who submits a valid Claim Form following the final approval of the Settlement. All checks issued to Settlement Class Members will expire and become void 100 days after they are issued. Additionally, the attorneys who brought this lawsuit (listed below) will ask the Court to award them attorneys’ fees of up to thirty-five percent of the Settlement Fund, plus reasonable costs, for the substantial time, expense and effort spent investigating the facts, litigating the case and negotiating the Settlement. The Class Representative also will apply to the Court for a payment of up to $10,000.00 for his time, effort, and service in this matter. Class Counsel will file with the Court and post on the Settlement Website their request for attorneys’ fees and costs and an incentive award on , 2022.
IN THE SETTLEMENT CLASS. 5. How do I know if I am a part of the settlement class? The Court has certified this case as a class action. The Settlement Class includes the following two groups of people: Group A: All persons who, during the period from October 31, 2013 to October 31, 2014, lived in the state of Kansas and received a letter from Xxxxxx & Xxxxx, P.A. containing the following language: Re: Your indebtedness to: [Creditor Name] Balance: [$X,XXX], [$X,XXX] accrued interest and/or late charges, attorney fees (where applicable), the exact amount to be determined by agreement between you and us or by a court, [XX%] interest per annum from [Date]. Group B: All persons who, during the period from October 31, 2013 to October 31, 2014, lived in the state of Kansas and received a letter from Xxxxxx & Xxxxx, P.A., on behalf of Velocity Investments, LLC, containing the following language: Re: Your indebtedness to: Velocity Investments, LLC Balance: [$X,XXX], [$X,XXX] accrued interest and/or late charges, attorney fees (where applicable), the exact amount to be determined by agreement between you and us or by a court, [XX%] interest per annum from [Date]. Note, the bracketed Xs in the above descriptions would be actual numbers in the letter you received. The above descriptions use Xs because the numbers in each letter actually received will vary, depending on the specific facts that apply to each recipient. A Settlement Class Member is any person in the Settlement Class who is not validly excluded from the Settlement Class. If you are still not sure whether you are included, you can may write to the claims administrator at Xxxxx x. Xxxxxx FDCPA Settlement, c/o [ADMINISTRATOR AT PO BOX], or you may call Class Counsel at 866.726.1092, , for more information. THE LAWYERS REPRESENTING YOU
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IN THE SETTLEMENT CLASS. 11. How do I remain in the Settlement Class and remain eligible for the Merchant Advertising Program? If you qualify as a member of the Settlement Class, you will remain a Settlement Class Member unless you elect to be excluded. By staying in the Settlement Class, you will remain eligible to submit a registration form and participate in the Merchant Advertising Program. Registration forms must be completed and submitted electronically or by a date to be set by the Court if it approves the Settlement.
IN THE SETTLEMENT CLASS. You are a member of the Settlement Class if, at any time between November 22, 2012 and December 31, 2017, you scanned your facial geometry for timekeeping and/or identity verification purposes while working for Paramount Staffing, Inc. If you are a member of the Settlement Class, then you may visit the settlement website, xxx.XxxxxxxxxXXXXXxxxxxxxxx.xxx, to submit a claim for payment. WHAT ARE MY OPTIONS?
IN THE SETTLEMENT CLASS. The Court has certified a class action for settlement purposes only. The “
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