Common use of NOTICE AND SETTLEMENT ADMINISTRATION Clause in Contracts

NOTICE AND SETTLEMENT ADMINISTRATION. 24. As part of the Preliminary Approval Order, Lead Plaintiffs shall seek appointment of a Claims Administrator. The Claims Administrator shall administer the Settlement, including but not limited to the process of receiving, reviewing, and approving or denying Claims, under Lead Counsel’s supervision and subject to the jurisdiction of the Court. Other than Vivint Solar’s obligation to provide Lead Counsel or the Claims Administrator with Vivint Solar’s shareholder lists as provided in ¶ 25 below, none of Defendants, nor any of the other Defendant Releasees, shall have any involvement in or any responsibility, authority, or liability whatsoever for the selection of the Claims Administrator, the Plan of Allocation, the administration of the Settlement, the Claims process, or disbursement of the Net Settlement Fund, and shall have no liability whatsoever to any person or entity, including, but not limited to, Lead Plaintiffs, any other Settlement Class Members or Plaintiffs’ Counsel in connection with the foregoing. Defendants’ Counsel shall cooperate in the administration of the Settlement to the extent reasonably necessary to effectuate its terms.

Appears in 2 contracts

Samples: vivintsolarclassaction.com, www.shareholdersfoundation.com

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NOTICE AND SETTLEMENT ADMINISTRATION. 2419. As part of the Preliminary Approval Order, Lead Plaintiffs shall seek appointment of a Claims Administrator. The Claims Administrator Administrator, subject to such supervision and direction of Lead Counsel and the Court as may be necessary or as circumstances may require, shall administer the Settlement, including but not limited to the process of receiving, reviewing, reviewing and approving or denying Claims, under Lead Counsel’s supervision and subject to the jurisdiction of the Court. Other than Vivint SolarZBH’s obligation to provide Lead Counsel or the Claims Administrator with Vivint Solar’s shareholder lists its securities holders’ records as provided in ¶ 25 20 below, none of the Defendants, nor any of the other Defendant Releasees, Defendants’ Releasees shall have any involvement in or any responsibility, authority, authority or liability whatsoever for the selection of the Claims Administrator, the Plan of Allocation, the administration of the Settlement, the Claims process, or disbursement of the Net Settlement Fund, and shall have no liability whatsoever to any person or entity, including, but not limited to, Lead Plaintiffs, any other Settlement Class Members or Plaintiffs’ Lead Counsel in connection with the foregoing. Defendants’ Counsel shall cooperate in the administration of the Settlement to the extent reasonably necessary to effectuate its terms.

Appears in 2 contracts

Samples: www.zimmerbiometsecuritieslitigation.com, securities.stanford.edu

NOTICE AND SETTLEMENT ADMINISTRATION. 2425. As part of the Preliminary Approval Order, Lead Plaintiffs shall seek appointment of a Claims Administrator. The Claims Administrator shall administer the Settlement, including including, but not limited to, providing notice of the Settlement to the Settlement Class, the process of receiving, reviewing, reviewing and approving or denying Claims, under Lead Counsel’s 's supervision and subject to the jurisdiction of the Court. Other than Vivint Solar’s 2U's obligation to provide Lead Counsel or the Claims Administrator with Vivint Solar’s shareholder lists 2U's common stock records as provided in ¶ 25 26 below, none of Defendants, nor any of the other Defendant Defendants' Releasees, shall have any involvement in or any responsibility, authority, authority or liability whatsoever for the selection of the Claims Administrator, the Plan of Allocation, the administration of the Settlement, the Claims process, or disbursement of the Net Settlement Fund, and shall have no liability whatsoever to any person or entity, including, but not limited to, Lead Plaintiffs, any other Settlement Class Members Members, the Claims Administrator or Plaintiffs' Counsel in connection with the foregoing. Defendants' Counsel shall cooperate in the administration of the Settlement to the extent reasonably necessary to effectuate its terms.

Appears in 1 contract

Samples: Stipulation and Agreement

NOTICE AND SETTLEMENT ADMINISTRATION. 2423. As part of the Preliminary Approval Order, Lead Plaintiffs Plaintiff shall seek appointment of a Claims Administrator. The Claims Administrator shall administer the Settlement, including but not limited to the process of receiving, reviewing, reviewing and approving or denying Claims, under Lead Counsel’s supervision and subject to the jurisdiction of the Court. Other than Vivint SolarEndo’s obligation to provide Lead Counsel or the Claims Administrator with Vivint SolarEndo’s shareholder lists as provided in ¶ 25 24 below, none of Defendants, nor any of the other Defendant Releasees, shall have any involvement in or any responsibility, authority, authority or liability whatsoever for the selection of the Claims Administrator, the Plan of Allocation, the administration of the Settlement, the Claims process, or disbursement of the Net Settlement Fund, and shall have no liability whatsoever to any person or entity, including, but not limited to, Lead PlaintiffsPlaintiff, any other Settlement Class Members or Plaintiffs’ Counsel in connection with the foregoing. Defendants’ Counsel shall cooperate in the administration of the Settlement to the extent reasonably necessary to effectuate its terms.

Appears in 1 contract

Samples: Stipulation and Agreement

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NOTICE AND SETTLEMENT ADMINISTRATION. 2422. As part of the Preliminary Approval Order, Lead Plaintiffs shall seek appointment of a Claims Administrator. The Claims Administrator shall administer the Settlement, including but not limited to the process of receiving, reviewing, reviewing and approving or denying Claims, under Lead Counsel’s supervision and subject to the jurisdiction of the Court. Other than Vivint SolarApyx’s obligation to provide Lead Counsel or (through its transfer agent) its list of shareholders of record during the Claims Administrator with Vivint Solar’s shareholder lists Settlement Class Period, as provided in ¶ 25 ¶23 below, none of the Defendants, nor any of the other Defendant Defendants’ Releasees, shall have any involvement in or any responsibility, authority, authority or liability whatsoever for the selection of the Claims Administrator, the Plan of Allocation, the administration of the Settlement, the Claims process, or disbursement of the Net Settlement Fund, and shall have no liability whatsoever to any person or entity, including, but not limited to, Lead Plaintiffs, any other Settlement Class Members or Plaintiffs’ Lead Counsel in connection with the foregoing. Defendants’ Counsel shall cooperate in the administration of the Settlement to the extent reasonably necessary to effectuate its terms.

Appears in 1 contract

Samples: apyxsecuritiessettlement.com

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