Common use of Notice of Violation Clause in Contracts

Notice of Violation. On May 30, 2023, Xxxxxxxxxx served Joya and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya and such public enforcers with notice that Xxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 2 contracts

Samples: Settlement and Release Agreement, Settlement and Release Agreement

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Notice of Violation. On May 30November 24, 20232021, Xxxxxxxxxx served Joya Mindful and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Mindful and such public enforcers with notice that Xxxx Mindful was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 2 contracts

Samples: Settlement and Release Agreement, Settlement and Release Agreement

Notice of Violation. On May 30July 8, 20232021, Xxxxxxxxxx served Joya Trader Xxx’s and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya and such public enforcers with notice alleged that Xxxx Trader Xxx’s was allegedly in violation of California Health & Safety Code section 25249.6 for allegedly failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30December 10, 20232018, Xxxxxxxxxx Ecological served Joya Xxxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxxxx and such public enforcers with notice that Xxxx Xxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30July 29, 20232022, Xxxxxxxxxx served Joya Xxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxx and such public enforcers with notice that Xxxx Xxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to leadcadmium. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May November 30, 20232022, Xxxxxxxxxx served Joya FWF and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya FWF and such public enforcers with notice that Xxxx FWF was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30April 6, 2023, Xxxxxxxxxx served Joya Inventure and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Inventure and such public enforcers with notice that Xxxx Inventure was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to leadcadmium. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30October 10, 20232019, Xxxxxxxxxx Ecological served Joya Xxxxx, Tuesday Morning, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Dixon and such public enforcers with notice that Xxxx Dixon was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30October 25, 20232022, Xxxxxxxxxx Ecological served Joya Xxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxxx and such public enforcers with notice that Xxxx Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30August 17, 20232022, Xxxxxxxxxx Xxxxx served Joya Jobar, Burlington Coat Factory Direct Corporation, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Jobar and such public enforcers with notice that Xxxx Jobar was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30April 5, 2023, Xxxxxxxxxx served Joya Xxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxxx and such public enforcers with notice that Xxxx Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30July 12, 20232022, Xxxxxxxxxx Initiative served Joya Evriholder, T.J. Maxx of CA, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Evriholder and such public enforcers with notice that Xxxx Evriholder was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30November 22, 20232022, Xxxxxxxxxx served Joya PastryBase and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya PastryBase and such public enforcers with notice that Xxxx PastryBase was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to leadcadmium. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30July 25, 20232022, Xxxxxxxxxx Alliance served Joya Orly, Dolgen California, LLC, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Orly and such public enforcers with notice that Xxxx Orly was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadLead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30or about June 1, 2023, Xxxxxxxxxx served Joya VitaHustle and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya XxxxXxxxxx and such public enforcers with notice that Xxxx VitaHustle was allegedly in 1 violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed may expose users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30December 20, 20232021, Xxxxxxxxxx served Joya Birch Benders, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Birch Benders and such public enforcers with notice that Xxxx Xxxxx Xxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

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Notice of Violation. On May 30February 13, 2023, Xxxxxxxxxx Xxxxx served Joya Quarto, B&N, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Quarto, B&N, and such public enforcers with notice that Xxxx was Quarto and B&N were allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 3022, 20232020, Xxxxxxxxxx Ecological served Joya General, Xxxxxx.xxx, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya General and such public enforcers with notice that Xxxx General was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30June 8, 20232021, Xxxxxxxxxx Ecological served Joya Black & Xxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Black & Xxxxxx and such public enforcers with notice that Xxxx Black & Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDINP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30January 19, 20232017 Ecological served Wesco, Xxxxxxxxxx served Joya Xxx.xxx, Inc., and the requisite all public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Wesco and such public enforcers with notice that Xxxx alleged that Wesco was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting prosecuted the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30or about August 18, 20232021, Xxxxxxxxxx served Joya Xxx Xxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxx Xxxxxx and such public enforcers with notice that Xxxx Xxx Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30July 6, 2023, Xxxxxxxxxx served Joya Target, and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Target and such public enforcers with notice that Xxxx Target was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30December 1, 20232020, Xxxxxxxxxx served Joya Bedrock and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents entitled "60-Day Notice of Violation" ("Notice") that provided Joya Bedrock and such public enforcers with notice that Xxxx Bedrock was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product exposed users in California to lead. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30January 24, 20232020, Xxxxxxxxxx Ecological served Joya Peace Out, Sephora USA, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Peace Out and such public enforcers with notice that Xxxx Peace Out was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadDEHP. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30September 28, 20232022, Xxxxxxxxxx Xxxxxxxx served Joya Bliss and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxx and such public enforcers with notice that Xxxx Xxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadMethyleugenol. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

Notice of Violation. On May 30July 12, 20232022, Xxxxxxxxxx Xxxxx served Joya Xxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with documents a document entitled "60-Day Notice of Violation" ("Notice") that provided Joya Xxxxxx and such public enforcers with notice that Xxxx Xxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Covered Product Products exposed users in California to leadMethyleugenol. To the best of the Parties' knowledge, no public enforcer has commenced or is diligently prosecuting the allegations set forth in the Notice.

Appears in 1 contract

Samples: Settlement and Release Agreement

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