Opt-Out Period Clause Samples
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Opt-Out Period. 5.01 Opt Out Period
Opt-Out Period. Class Members will have up to and including approximately forty-five (45) days following the Notice Deadline to opt out of the settlement in accordance with this Section (the “Opt-Out Deadline”). If the settlement is finally approved by the Court, all Settlement Class Members who have not opted out by the Opt-Out Deadline will be bound by the Settlement Agreement and the Class Release, and the relief provided by the settlement will be their sole and exclusive remedy for the claims alleged by the Settlement Class.
Opt-Out Period. P&G shall have [*] after receipt of all patent filing and prosecution information for the Corium Patents listed in attached Exhibit A to review and determine whether P&G has an interest in opting out of cost sharing for one or more Corium Patents listed in Exhibit A. P&G may provide written notice, within said [*] period, to Corium identifying those Corium Patents listed in Exhibit A that P&G does not intend to share in the prosecution and maintenance costs under Paragraph 6.
Opt-Out Period. The Phase II Notice shall explain the procedure for Settlement Class Members to exclude themselves or “Opt-Out” of the Settlement by submitting an Opt-Out Form to the Settlement Administrator prior to the Opt-Out Deadline). Settlement Class Members who wish to Opt-Out of the proceeding must do so by submitting an Opt-Out Request to the Settlement Administrator before the Opt-Out Deadline. An Opt-Out Request shall be in the form attached as Schedule “E”, or if in another form, shall clearly identify: the Settlement Class Member’s intention to opt-out, the Settlement Class Member’s type of claim (i.e. whether it is a Dog Injury Claim or Consumer Food Purchase Claim) and, the name of the Settlement Class Member’s lawyer (if applicable). If a Settlement Class Member submits both a Claim and an Opt-Out Request, the Settlement Administrator will disregard the Opt-Out Request. Any Settlement Class Member who does not submit a properly completed Opt-Out Request before the Opt-Out Deadline shall be deemed to be a member of the Settlement Class upon the expiry of the Opt-Out Deadline.
Opt-Out Period. The Physician's current Medicare opt-out period is from _____[S_t_ar_t_d_a_te_] ____ to ____[_E_n_d_d_a_te_] _.
Opt-Out Period. Subject to Court approval, Settlement Class members shall have 45 days from the commencement of the Notice Program to opt out of the Settlement Class and this Agreement.
Opt-Out Period. “Opt-out Period” means the date that is sixty (60) days from the mailing of the Notice to the Settlement Class Member.
Opt-Out Period. 8.1.1 Upon close of the L&W Class Notice Period, L&W Class Members will have forty-five (45) days (or such different period as the Court may direct) to opt out of the Settlement in accordance with Section 8.2. If the Settlement is finally approved by the Court, all L&W Class Members who have not opted out by the end of the forty-five (45) day period will be bound by the Settlement, and the relief provided by the Settlement will be their sole and exclusive remedy for the claims alleged by the L&W Class.
Opt-Out Period. 8.1.1. Class Members will have sixty (60) days from the Notice Date (or such different period as the Court may direct) to exclude themselves or opt out of the Settlement in accordance with Section 8.2. If the Settlement is finally approved by the Court, all Class Members who have not opted out, pursuant to the terms set forth in Section 8.2, by the end of the 60-day period will be bound by the Settlement, and the relief provided by the Settlement will be their sole and exclusive remedy for the claims alleged against RCR by the Class.
Opt-Out Period. Unless a Class Member opts out of the settlement described in this Agreement, the Class Member will be bound by the terms and conditions of this Agreement, including the release of the Released Claims that arose during the Class Period. A Class Member will not be entitled to opt out of the settlement established by this Agreement unless the Class Member submits a valid opt-out request (“Opt-Out Request”). A valid Opt-Out Request must:
(i) contain the Class Member’s full name, current address, and signature; (ii) contain the Action name and case number; (iii) contain a written request clearly expressing the Class Member’s desire to be excluded from (or opt out of) the Settlement; and (iv) be returned so that it is postmarked on or before the expiration of the Response Period. Any Class Members who worked during the PAGA Period and who opts out of the Settlement will still be considered Aggrieved Employees for purposes of this Agreement and will still receive their respective portion of the PAGA funds.
20.1 Upon receipt of any Opt-Out Request within the Response Period, the Settlement Administrator shall review the Opt-Out Request to confirm that it complies with the opt-out requirements of this Agreement.
20.2 Any Class Member who fails to submit a timely, complete, and valid Opt-Out Request will be barred from opting out of this Agreement or the settlement, unless otherwise ordered by the Court. If the Settlement Administrator receives a timely Opt-Out Request that is incomplete, it will make reasonable attempts to contact the class member to cure the defect. The Settlement Administrator will not consider any Opt-Out Request postmarked after the end of the Response Period, but will report its receipt of any such requests to Class Counsel and counsel for Defendants. It shall be presumed that, if an Opt-Out Request is not postmarked on or before the end of the Response Period, the Class Member did not make the
20.3 At the close of the Response Period, the Settlement Administrator shall report the names of all individuals who opted out of the Agreement to the parties and include this information in a Declaration regarding the distribution of the notice that will be provided in support of Plaintiffs’ Motion for Final Approval.
