Common use of Objections to the Settlement Clause in Contracts

Objections to the Settlement. 7.1 Any Settlement Class Member who wishes to object to the Settlement Agreement must submit a timely, written notice of his or her objection (“Objection”) by the Objection Date (as defined herein). Such notice shall: (i) state the case name, XxXxxxxxxx v. Illinois Gastroenterology Group, No. 22 L 173 (Ill. 19th Jud. Dist. Ct. Lake Cnty. May 11, 2022); (ii) the objecting Settlement Class Member’s full name, current address, telephone number, and email address (if any); (iii) contain the objecting Settlement Class Member’s original signature; (iv) set forth information identifying the objector as a Settlement Class Member, including proof that the objector is within the Settlement Class (e.g., copy of the Notice); (v) set forth a statement of all grounds for the objection, including any legal support for the objection that the objector believes applicable; (vi) identify all counsel and counsels’ address(es) representing the objector; (vii) state whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (viii) a list of all persons who will be called to testify at the Final Approval Hearing in support of the objector’s objection; (ix) a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing; (x) a list, by case, name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within the last three (3) years, the results of each objection, any court opinions ruling on the objections, and any sanctions issued by a court in connection with objections filed by such attorney; and (xi) contain the signature of the objector’s duly authorized attorney or other duly authorized representative (if any), along with documentation setting forth such representation.

Appears in 1 contract

Samples: angeion-public.s3.amazonaws.com

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Objections to the Settlement. 7.1 Any Settlement Class Member who wishes to object to the Settlement Agreement must submit a timely, timely written notice of his or her objection (“Objection”) by the Objection Date (as defined herein)Date. Such notice shall: shall (i) state the case name, XxXxxxxxxx v. Illinois Gastroenterology Group, No. 22 L 173 (Ill. 19th Jud. Dist. Ct. Lake Cnty. May 11, 2022); (ii) the objecting Settlement Class Member’s full name, current address, telephone number, and email e-mail address (if any); (iiiii) contain the objecting Settlement Class Member’s original signature; (iviii) set forth information identifying the objector as a Settlement Class Member, including proof that the objector is within the Settlement Class (e.g., copy of Notice or copy of original notice of the NoticeData Incident); (viv) set forth a statement of all grounds for the objection, including any legal support for the objection that the objector believes applicable; (viv) identify all counsel and counsels’ address(es) representing the objector; (viivi) state whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (viiivii) a list of all persons who will be called to testify at contain the Final Approval Hearing in support signature of the objector’s objectionduly authorized attorney or other duly authorized representative, along with documentation setting forth such representation; (ixviii) a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing; (x) include a list, by case, including case name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within in the last past three (3) years, the results of each objection, any court opinions ruling on the objections, and any sanctions issued by a court in connection with objections filed by such attorney; and (xiix) contain include copies of any documents that the signature objecting Settlement Class Member wishes to submit in support of the objector’s duly authorized attorney his or other duly authorized representative (if any), along with documentation setting forth such representationher position.

Appears in 1 contract

Samples: Settlement Agreement

Objections to the Settlement. 7.1 91. Any Settlement Class Member who wishes to object to the proposed Settlement Agreement must submit a timely, timely written notice of his or her objection (“Objection”) by the Objection Date (as defined herein)Date. Such notice shall: shall (i) state the case name, XxXxxxxxxx v. Illinois Gastroenterology Group, No. 22 L 173 (Ill. 19th Jud. Dist. Ct. Lake Cnty. May 11, 2022); (ii) the objecting Settlement Class Member’s full name, current address, telephone number, and email e-mail address (if any); (iiiii) contain the objecting Settlement Class Member’s original signature; (iviii) set forth information identifying the objector as a Settlement Class Member, including proof that the objector is within the Settlement Class (e.g., copy of Notice or copy of original notice of the NoticeData Exposure); (viv) set forth a statement of all grounds for the objection, including any legal support for the objection that the objector believes applicable; (viv) identify all counsel and counsels’ address(es) representing the objector; (viivi) state whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (viiivii) a list of all persons who will be called to testify at contain the Final Approval Hearing in support signature of the objector’s objectionduly authorized attorney or other duly authorized representative, along with documentation setting forth such representation; (ixviii) a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing; (x) include a list, by case, including case name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within in the last past three (3) years, the results of each objection, any court opinions ruling on the objections, and any sanctions issued by a court in connection with objections filed by such attorney; and (xiix) contain include copies of any documents that the signature objecting Settlement Class Member wishes to submit in support of the objector’s duly authorized attorney his or other duly authorized representative (if any), along with documentation setting forth such representationher position.

Appears in 1 contract

Samples: Settlement Agreement

Objections to the Settlement. 7.1 Any Settlement Class Member who wishes to object to the Settlement Agreement must submit a timely, timely written notice of his or her objection (“Objection”) by the Objection Date (as defined herein)Date. Such notice shall: shall (i) state the case name, XxXxxxxxxx v. Illinois Gastroenterology Group, No. 22 L 173 (Ill. 19th Jud. Dist. Ct. Lake Cnty. May 11, 2022); (ii) the objecting Settlement Class Member’s full name, current address, telephone number, and email address (if any); (iiiii) contain the objecting Settlement Class Member’s original signature; (iviii) set forth information identifying the objector as a Settlement Class Member, including proof that the objector is within the Settlement Class (e.g., copy of the NoticeNotice or copy of original notice of the Data Incident); (viv) set forth a statement of all grounds for the objection, including any legal support for the objection that the objector believes applicable; (viv) identify all counsel and counsels’ address(es) representing the objector; (viivi) state whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (viiivii) a list of all persons who will be called to testify at contain the Final Approval Hearing in support signature of the objector’s objectionduly authorized attorney or other duly authorized representative, along with documentation setting forth such representation; (ixviii) a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing; (x) include a list, by case, including case name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within in the last past three (3) years, the results of each objection, any court opinions ruling on the objections, and any sanctions issued by a court in connection with objections filed by such attorney; and (xiix) contain include copies of any documents that the signature objecting Settlement Class Member wishes to submit in support of the objector’s duly authorized attorney his or other duly authorized representative (if any), along with documentation setting forth such representationher position.

Appears in 1 contract

Samples: Settlement Agreement

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Objections to the Settlement. 7.1 Any Settlement Class Member who wishes to object to the Settlement Agreement must submit a timely, timely written notice of his or her objection (“Objection”) by the Objection Date (as defined hereinbelow). Such notice shall: (i) state the case name, XxXxxxxxxx Xxxxxxx v. Illinois Gastroenterology GroupAssistcare Home Health Services, LLC, d/b/a Preferred Home Care of New York/Preferred Gold, Index No. 22 L 173 (Ill. 19th Jud. Dist. Ct. Lake Cnty. May 11511490/2021, 2022); (ii) the objecting Settlement Class Member’s full name, current address, telephone number, and email address (if any); (iii) contain the objecting Settlement Class Member’s original signature; (iv) set forth information identifying the objector as a Settlement Class Member, including proof that the objector is within the Settlement Class (e.g., copy of the NoticeNotice or copy of original notice regarding the Data Incident); (v) set forth a statement of all grounds for the objection, including any legal support for the objection that the objector believes applicable; (vi) identify all counsel and counsels’ address(es) address representing the objector; (vii) state whether the objector and/or his or her counsel will appear at the Final Approval Hearing; (viii) a list of all persons who will be called to testify at the Final Approval Hearing in support of the objector’s objection; (ix) a statement confirming whether the objector intends to personally appear and/or testify at the Final Approval Hearing; and (x) a list, by case, name, court, and docket number, of all other cases in which the objector and/or the objector’s counsel has filed an objection to any proposed class action settlement within the last three (3) years, the results of each objection, any court opinions ruling on the objections, and any sanctions issued by a court in connection with objections filed by such attorney; and (xi) contain the signature of the objector’s duly authorized attorney or other duly authorized representative (if any), along with documentation setting forth such representation.

Appears in 1 contract

Samples: www.assistcaredatasettlement.com

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