Common use of Notice of Violation Clause in Contracts

Notice of Violation. On July 26, 2022, Xxxxxxxx served Xxxxxxxx and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document entitled “Proposition 65 Notice of Violation” (“Notice”) that provided Xxxxxxxx and such public enforcers with notice that Xxxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine Condensate. 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 July 26December 20, 20222021, Xxxxxxxx Xxxxxxxxxx served Xxxxxxxx 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 a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Birch Benders and such public enforcers with notice that Xxxxxxxx Xxxxx Xxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products Covered Product exposed users in California to Coconut Oil Diethanolamine Condensatelead. 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 July 26or about June 1, 20222023, Xxxxxxxx Xxxxxxxxxx served Xxxxxxxx VitaHustle and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx XxxxXxxxxx and such public enforcers with notice that Xxxxxxxx VitaHustle was allegedly in 1 violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed Covered Product may expose users in California to Coconut Oil Diethanolamine Condensatelead. 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 July 26August 24, 20222018, Xxxxxxxx Ecological served Xxxxxxxx Xxxxxxx Gifts 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 document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx BigMouth and such public enforcers with notice that Xxxxxxxx BigMouth was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26October 8, 20222021, Xxxxxxxx Ecological served Xxxxxxxx Xxxxx's, Sprouts Farmers Market, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Xxxxx's and such public enforcers with notice that Xxxxxxxx Xxxxx's was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateLead. 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 July 2625, 2022, Xxxxxxxx Alliance served Xxxxxxxx Xxxxxxx, XxXxxxxx-Xxxx Industrial Hardware 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 document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Xxxxxxx and such public enforcers with notice that Xxxxxxxx Xxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26April 10, 20222023, Xxxxxxxx Alliance served Xxxxxxxx New World, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx New World and such public enforcers with notice that Xxxxxxxx New World was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDBP. 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 July 26June 24, 20222020, Xxxxxxxx Ecological served Xxxxxxxx Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Xiamen and such public enforcers with notice that Xxxxxxxx Xiamen was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26December 3, 20222019, Xxxxxxxx Ecological served Xxxxxxxx Weeboo, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Weeboo and such public enforcers with notice that Xxxxxxxx Weeboo was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 2612, 2022, Xxxxxxxx Initiative served Xxxxxxxx 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 a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Evriholder and such public enforcers with notice that Xxxxxxxx Evriholder was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26November 5, 20222020, Xxxxxxxx Ecological served Xxxxxxxx ITW GTR, Autozone Parts, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx ITW GTR and such public enforcers with notice that Xxxxxxxx ITW GTR was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26April 4, 20222019, Xxxxxxxx Ecological served Xxxxxxxx G Xxxxx, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx G Xxxxx and such public enforcers with notice that Xxxxxxxx G Xxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26February 13, 20222023, Xxxxxxxx Xxxxx served Xxxxxxxx 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 a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Quarto, B&N, and such public enforcers with notice that Xxxxxxxx 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 Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26May 8, 20222023, Xxxxxxxx Alliance served Xxxxxxxx InterDesign, Home Depot U.S.A., Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx InterDesign and such public enforcers with notice that Xxxxxxxx InterDesign was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensatePFOA. 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 July 26November 3, 20222021, Xxxxxxxx Ecological served Xxxxxxxx Xx Xxxxx, Northgate Xxxxxxxx, 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 document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Xx Xxxxx and such public enforcers with notice that Xxxxxxxx Xx Xxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateLead. 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 July 26January 25, 2022, Xxxxxxxx Alliance served Xxxxxxxx Xxxxxxxx’x 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 a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Ceramicas and such public enforcers with notice that Xxxxxxxx Ceramicas was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateLead. 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 July 26June 17, 20222020, Xxxxxxxx Ecological served Xxxxxxxx Xxxxxxxx, 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 a document entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx and such public enforcers with notice that Xxxxxxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26January 13, 2022, Xxxxxxxx Xxxxxxxxxx served Xxxxxxxx Xxxx, Mother’s Market & Kitchen, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx Xxxx and such public enforcers with notice that Xxxxxxxx Xxxx was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products Covered Product exposed users in California to Coconut Oil Diethanolamine Condensatelead. 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 July 26December 16, 20222020, Xxxxxxxx Ecological served Xxxxxxxx Xxxxxxxx, Xxxx Stores, Inc., and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 60-Day Notice of Violation” (“Notice”) that provided Xxxxxxxx Hilfiger and such public enforcers with notice that Xxxxxxxx Hilfiger was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products exposed users in California to Coconut Oil Diethanolamine CondensateDEHP. 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 July 26November 22, 2022, Xxxxxxxx Xxxxxxxxxx served Xxxxxxxx PastryBase and the requisite public enforcement agencies eligible to initiate Proposition 65 actions on behalf of the People of the State of California with a document documents entitled “Proposition 65 "60-Day Notice of Violation" ("Notice") that provided Xxxxxxxx PastryBase and such public enforcers with notice that Xxxxxxxx PastryBase was allegedly in violation of California Health & Safety Code section 25249.6 for failing to warn consumers and customers that the Products Covered Product exposed users in California to Coconut Oil Diethanolamine Condensatecadmium. 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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