Common use of Objection Procedures Clause in Contracts

Objection Procedures. 5.1 Each Class Member desiring to object to the Settlement Agreement shall submit a timely written notice of his or her objection by the Objection Date. Such notice shall state: (i) the objector’s full name and address; (ii) the case name and Case ID 230401942; (iii) information identifying the objector as a Class Member, including proof that the objector is a member of the Class (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, or a statement explaining why the objector believes he or she is a Class Member); (iv) a written statement of all grounds for the objection, accompanied by any legal support for the objection the objector believes applicable; (v) the identity of any and all counsel representing the objector in connection with the objection; (vi) a statement whether the objector and/or his or her counsel will appear at the Final Fairness Hearing; and (vii) the objector’s signature or the signature of the objector’s duly-authorized attorney or other duly authorized representative (if any) representing him or her in connection with the objection. To be timely, written notice of an objection in the appropriate form must be mailed, with a postmark date no later than the Objection Date, to Xxxxxxx X. Xxxxxxxx of Xxxxxx Spirt Xxxxxxxx, P.C.; Xxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, as Class Counsel; and Xxxxxx X. XxXxxxxx and Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as counsel for Defendant. The objector or his or her counsel shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In addition, for all objections mailed to Proposed Class Counsel and counsel for Defendant, Class Counsel will submit them to the Court with the Motion for Final Approval of the Settlement.

Appears in 1 contract

Samples: Settlement Agreement

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Objection Procedures. 5.1 Each Settlement Class Member desiring to object to the Settlement Agreement settlement shall submit a timely written notice of his or her objection by the Objection Dateobjection. Such notice shall state: (i) the objector’s full name name, address, and email address; (ii) the case name and Case ID 230401942; (iii) information identifying the objector as a Settlement Class Member, including proof that the objector is they are a member of the Class Settlement Class, (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, or a statement explaining why the objector believes he or she is a Class Member); (iviii) a written statement of all grounds for the objection, accompanied by any legal support for the objection objection; (iv) the objector believes applicableidentity of all counsel representing the objector; (v) the identity of any and all counsel representing the objector who may appear at the Final Fairness Hearing; (vi) all other cases in connection with which the objector (directly or through counsel) has filed an objection to any proposed class action settlement, has been a named plaintiff in any class action, or has served as proposed or class counsel, including the case name, court, and docket number for each; (vii) a list of all persons who will be called to testify at the Final Fairness Hearing in support of the objection; (viix) a statement confirming whether the objector and/or his intends to personally appear or her counsel will appear testify at the Final Fairness Hearing; and (viix) the objector’s signature or the signature of the objector’s duly-duly authorized attorney or other duly authorized representative (if any) representing him or her in connection along with the objectiondocumentation setting forth such representation). To be timely, written notice of an objection in the appropriate form must be mailed, filed with a postmark date no later than the Objection Date, to Xxxxxxx X. Xxxxxxxx of Xxxxxx Spirt Xxxxxxxx, P.C.; Xxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, as Class Counsel; and Xxxxxx X. XxXxxxxx and Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as counsel for Defendant. The objector or his or her counsel shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In additionthe United States District Court for the Northern District of Georgia, at the address where filings are accepted by the Clerk, twenty- one (21) days prior to the date set in the Detailed Notice for all objections mailed to Proposed the Final Fairness Hearing, and served concurrently therewith upon (a) Lead Class Counsel Xxxxx X. Xxxxxx, Xxxxxx and counsel for DefendantAssociates, P.C., 000 Xxxx Xxxxxxxx Xxxxxx Suite 1630, Chicago, IL 60606, and Lead Class Counsel will submit them to the Court with the Motion for Final Approval of the Settlement.Xxxxx X. Xxxxxx, Xxxxxxxxxxx Xxxxxx, LLC, 0000 X. Xxxxxxx Xxxx Xxxxx 000, Xxxxxxx, XX 00000; and also

Appears in 1 contract

Samples: www.ihgdatasecuritysettlement.com

Objection Procedures. 5.1 Each Settlement Class Member desiring to object to the Settlement Agreement shall submit a timely written notice of his or her objection by the Objection DateDate or may orally object at the Final Approval Hearing. Such written notice shall state: (i) the objector’s objector’s full name name, address, telephone number, and addressemail address (if any); (ii) the case name and xxxxxx xxmber, Franchi, et al. v. Barlow Respiratory Hospital, Los Angeles Supeior Court Case ID 230401942No. 22STCV09016 (Lead), consolidated with Los Angeles Superior Court Case No. 22STCV17107; (iii) information identifying the objector as a Settlement Class Member, including proof that the objector is a member of the Settlement Class (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, Incident or a statement explaining why the objector believes he or she is a Settlement Class Member); (iv) a written statement of all grounds for the objection, accompanied by any legal support for the objection the objector believes applicable; (v) the identity of any and all counsel representing the objector in connection with the objection; (vi) a statement whether the objector and/or his or her counsel will personally appear at the Final Fairness Approval Hearing; and (vii) the objector’s objector’s signature or the signature of the objector’s duly-objector’s duly authorized attorney or other duly authorized representative (if any) representing him representative. Notwithstanding the foregoing, any Settlement Class Member who timely submits a written notice of objection or her in connection with attends the objectionFinal Approval Hearing may so state their objection at that time, subject to the Court’s approval. To be timely, written notice of an objection in the appropriate form that substantially complies with 5.1(i)-(vii) must be mailed, with a postmark date no later than the Objection Date, xx Xxoposed Class Counsel and to Xxxxxxx X. Xxxxxxxx of Xxxxxx Spirt Xxxxxxxx, P.C.; Xxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, Xxxxxx’s counsel as Class Counsel; and Xxxxxx X. XxXxxxxx and Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as counsel for Defendantset forth below. The objector or his or her counsel shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In addition, for For all objections mailed to Proposed Class Settlexxxx Xlass Counsel and counsel for DefendantXxxxxx, Proposed Settlement Class Counsel will submit file them to with the Court with the Motion for Final Approval of the Settlement.: Xxxx Xxxxxxxx Class Counsel at:

Appears in 1 contract

Samples: www.barlowdatasettlement.com

Objection Procedures. 5.1 Each 8.10.1 Any Settlement Class Member desiring who does not elect to opt-out of the Settlement and who desires to object to the Settlement Agreement or the Fee Application shall submit a timely written notice file and serve such objections on or before the expiration of his or her objection by the Objection DatePeriod, filed with the Clerk of the Court no later than the expiration of the Objection Period and served concurrently therewith upon Class Counsel, Xxxxxxx X. Xxxxxx, 000 X. Xxxxxxxxxx Xxxx, Xxxxxxxx, XX 00000, and Hometrust’s Counsel, Xxxxxxx X. Xxxxxx, Esq., Hunton Xxxxxxx Xxxxx, LLP, 000 Xxxxxx Xxxxxx, Suite 4200, Houston, TX, 77022. Such notice shall stateobjections must set forth: (i) • the name of the Action; • the objector’s full name and name, address, telephone number; (ii) • a statement of the case name and Case ID 230401942; (iii) information identifying basis on which the objector as claims to be a Settlement Class Member, including proof that the objector is a member of the Class (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, or a statement explaining why the objector believes he or she is a Class Member); (iv) a written statement of all grounds for the objection, accompanied by any legal support for the objection objection, and any evidence the objector believes applicableobjecting Settlement Class Member wishes to introduce in support of the objection; (v) the identity of all counsel, if any, representing the objector, including any former or current counsel who may claim entitlement to compensation for any reason related to the objection to the Settlement or the Fee Application; • a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing and all the identification of any counsel representing the objector in connection with the objection; (vi) a statement whether the objector and/or his or her counsel will who intends to appear at the Final Fairness Approval Hearing; • a list of any persons who will be called to testify at the Final Approval Hearing in support of the objection; • A list, by case name, court, and docket number, of all other cases in which the objector (viidirectly or through counsel) has filed an objection to any proposed class action settlement within the last 3 years; • A list by case name, court, and docket number, of all other cases in which the objector’s counsel (on behalf of any Person or entity) has filed an objection to any proposed class action settlement within the last 3 years; • A list by case name, court, and docket number, of all other cases in which the objector has been named a plaintiff in any class action or served as a lead plaintiff or class representative; and • the objector’s signature or signed under oath and penalty of perjury and the signature of the objector’s duly-duly authorized attorney or other duly authorized representative (if any) representing him or her in connection along with documentation setting forth such representation). If the objection. To be timelyobjector is legally incapacitated, written notice the signature of their duly authorized representative with supporting documentation and an objection in attestation that the appropriate form must be mailed, with a postmark date no later than the Objection Date, to Xxxxxxx X. Xxxxxxxx of Xxxxxx Spirt Xxxxxxxx, P.C.; Xxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, as Class Counsel; and Xxxxxx X. XxXxxxxx and Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as counsel for Defendant. The objector or his or her counsel is legally incapacitated shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In addition, for all objections mailed to Proposed Class Counsel and counsel for Defendant, Class Counsel will submit them to the Court with the Motion for Final Approval of the Settlementsuffice.

Appears in 1 contract

Samples: Stipulation and Agreement

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Objection Procedures. 5.1 Each 8.10.1 Any Settlement Class Member desiring who does not elect to opt-out of the Settlement and who desires to object to the Settlement Agreement or the Fee Application shall submit a timely written notice file and serve such objections on or before the expiration of his or her objection by the Objection DatePeriod, filed with the Clerk of the Court no later than the expiration of the Objection Period and served concurrently therewith upon Class Counsel, Xxxxxxx X. Xxxxxx, 000 X. Xxxxxxxxxx Xxxx, Xxxxxxxx, XX 00000, and Hometrust’s Counsel, Xxxxxxx X. Xxxxxx, Esq., Hunton Xxxxxxx Xxxxx, LLP, 000 Xxxxxx Xxxxxx, Suite 4200, Houston, TX, 77022. Such notice shall stateobjections must set forth: (i) • the name of the Action; • the objector’s full name and name, address, telephone number; (ii) • a statement of the case name and Case ID 230401942; (iii) information identifying basis on which the objector as claims to be a Settlement Class Member, including proof that the objector is a member of the Class (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, or a statement explaining why the objector believes he or she is a Class Member); (iv) a written statement of all grounds for the objection, accompanied by any legal support for the objection objection, and any evidence the objector believes applicableobjecting Settlement Class Member wishes to introduce in support of the objection; (v) the identity of all counsel, if any, representing the objector, including any former or current counsel who may claim entitlement to compensation for any reason related to the objection to the Settlement or the Fee Application; • a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing and all the identification of any counsel representing the objector in connection with the objection; (vi) a statement whether the objector and/or his or her counsel will who intends to appear at the Final Fairness Approval Hearing; • a list of any persons who will be called to testify at the Final Approval Hearing in support of the objection; • A list, by case name, court, and docket number, of all other cases in which the objector (viidirectly or through counsel) has filed an objection to any proposed class action settlement within the last 3 years; • A list by case name, court, and docket number, of all other cases in which the objector’s counsel (on behalf of any Person or entity) has filed an objection to any proposed class action settlement within the last 3 years; • A list by case name, court, and docket number, of all other cases in which the objector has been named a plaintiff in any class action or served as a lead plaintiff or class representative; and • the objector’s signature or signed under oath and penalty of xxxxxxx and the signature of the objector’s duly-duly authorized attorney or other duly authorized representative (if any) representing him or her in connection along with documentation setting forth such representation). If the objection. To be timelyobjector is legally incapacitated, written notice the signature of their duly authorized representative with supporting documentation and an objection in attestation that the appropriate form must be mailed, with a postmark date no later than the Objection Date, to Xxxxxxx X. Xxxxxxxx of Xxxxxx Spirt Xxxxxxxx, P.C.; Xxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, as Class Counsel; and Xxxxxx X. XxXxxxxx and Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as counsel for Defendant. The objector or his or her counsel is legally incapacitated shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In addition, for all objections mailed to Proposed Class Counsel and counsel for Defendant, Class Counsel will submit them to the Court with the Motion for Final Approval of the Settlementsuffice.

Appears in 1 contract

Samples: Stipulation and Agreement

Objection Procedures. 5.1 Each Settlement Class Member desiring to object to the Settlement Agreement settlement shall submit a timely written notice of his or her objection by the Objection Dateobjection. Such notice shall state: (i) the objector’s full name name, address, telephone number, and email address; (ii) the case name and Case ID 230401942; (iii) information identifying the objector as a Settlement Class Member, including proof that the objector is they are a member of the Class Settlement Class, (e.g., copy of the objector’s settlement notice, copy of original notice of the Data Incident, or a statement explaining why the objector believes he or she is a Class Member); (iviii) a written statement of all grounds for the objection, accompanied by any legal support for the objection objection; (iv) the objector believes applicableidentity of all counsel representing the objector; (v) the identity of any and all counsel representing the objector who may appear at the Final Fairness Hearing; (vi) all other cases in connection with which the objector (directly or through counsel) or the objector’s counsel (on behalf of any person or entity) has filed an objection to any proposed class action settlement, has been a named plaintiff in any class action, or has served as lead plaintiff class counsel, including the case name, court, and docket number for each; (vii) a certificate of good standing from the highest court of the state in which objector’s counsel is admitted to practice law; (viii) documents sufficient to show the results of any sanctions, investigations, or disciplinary proceedings against objector’s counsel (ix) a list of all persons who will be called to testify at the Final Fairness Hearing in support of the objection; (vix) a statement confirming whether the objector and/or his intends to personally appear or her counsel will appear testify at the Final Fairness Hearing; and (viixi) the objector’s signature or the signature of the objector’s duly-duly authorized attorney or other duly authorized representative (if any) representing him or her in connection along with the objectiondocumentation setting forth such representation). To be timely, written notice of an objection in the appropriate form must be mailedfiled with the Clerk of the United States District Court for the Northern District of Illinois, with a postmark at the address where filings are accepted by the Clerk, twenty-one (21) days prior to the date no later than set in the Objection DatePostcard Notice for the Final Fairness Hearing, to Xxxxxxx and served concurrently therewith upon (a) Co- Lead Settlement Class Counsel Xxx Xxxxxx and Xxxxx X. Xxxxxxxx of Xxxxxx, Xxxxxx Spirt Xxxxxxxxand Associates, P.C.; Xxxxxx , Xxx Xxxxx XxXxxxx Xxxxxx, Xxxxx 0000, Xxxxxxx, XX 00000, and Co-Lead Settlement Class Counsel Xxxxxxxx X. Xxxx of The Lyon Firm; and Xxxxxxx X. Xxxxxxxx of Xxxxx Xxxxxx & Xxxxxx, as Class CounselXxxxxx Xxx & Xxxxxxxxxx LLP, 000 Xxxxxxx Xxxxxx, Xxxxx 000, Xxx Xxxxxxxxx, XX 00000; and Xxxxxx also (b) Xxxxx X. XxXxxxxx and (Mark) Xxx, Xxxxxxxx Xxxxxxx Xxxxxxxxx of Xxxxx & Xxxxxxxxx LLP, as 000 Xxxxxxxxxx Xxxxxx, Xxxxx 0000, Xxx Xxxxxxxxx, XX 00000, counsel for Defendant. The objector or his or her counsel shall also file any Objection with the Court through the Court’s ECF system or by submitting them to the Clerk of Court. In addition, for all objections mailed to Proposed Class Counsel and counsel for Defendant, Class Counsel will submit them to the Court with the Motion for Final Approval of the SettlementComplyRight.

Appears in 1 contract

Samples: Settlement Agreement

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