Common use of Plaintiff’s Release Clause in Contracts

Plaintiff’s Release. Plaintiff and his respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrences, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. (“Plaintiff’s Release.”) Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his or her respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release release, discharge, and discharge forever acquit the Released Parties from all claims, transactions, or occurrences, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. (“Plaintiff’s Release.”) Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any timecannot be released by law, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, generally release and discharge the Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, alleged based on the facts contained, contained in the Operative Complaint Complaint; and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. Notice (“Plaintiff’s Release.) ). Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff he may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that agrees Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his or her respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences [that occurred during the Class Period], including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint [or ascertained during the Action and (b) all PAGA claims that werereleased under 5.2, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Noticebelow]. (“Plaintiff’s Release.”) Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Class Action Settlement Agreement

Plaintiff’s Release. Plaintiff Plaintiffs and his their respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint or ascertained during the Action and (b) all PAGA claims that werereleased under 6.2, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Noticebelow. (“Plaintiff’s Plaintiffs’ Release.”) Plaintiff’s Plaintiffs’ Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges Plaintiffs acknowledge that Plaintiff Plaintiffs may discover facts or law different from, or in addition to, the facts or law that Plaintiff Plaintiffs now knows know or believes believe to be true but agreesagree, nonetheless, that Plaintiff’s Plaintiffs’ Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s Plaintiffs’ discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his or her respective former and present spouses, representatives, agents, attorneysattorneys (including PAGA Counsel), heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences [that occurred during the PAGA Period], including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, contained in the Operative Complaint and (b) all the PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. Notice (“Plaintiff’s Release.) ). Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class PAGA Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his or her respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Third Amended Complaint, Plaintiff’s PAGA Notice. (“Plaintiff’s Release.”) Plaintiff’s Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s discovery of them.

Appears in 1 contract

Sources: Class Action Settlement Agreement

Plaintiff’s Release. Plaintiff Plaintiffs and his their respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, alleged based on the facts contained, contained in the Operative Complaint Complaint; and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. Notice (“Plaintiff’s Plaintiffs’ Release.) Plaintiff’s ). Plaintiffs’ Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff Plaintiffs acknowledge they may discover facts or law different from, or in addition to, the facts or law that Plaintiff Plaintiffs now knows know or believes believe to be true but agrees, nonetheless, that Plaintiff’s agree Plaintiffs’ Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s Plaintiffs’ discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff Plaintiffs and his their respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, generally release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, alleged based on the facts contained, contained in the Operative Complaint Complaint; and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Notice. Notice (“Plaintiff’s Plaintiffs’ Release.) Plaintiff’s ). Plaintiffs’ Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff Plaintiffs acknowledge they may discover facts or law different from, or in addition to, the facts or law that Plaintiff Plaintiffs now knows know or believes believe to be true but agrees, nonetheless, that Plaintiff’s agree Plaintiffs’ Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s Plaintiffs’ discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff Plaintiffs and his their respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from any and all claims, transactionsknown and unknown, under federal, state and/or local law, statute, ordinance, regulation, common law, or occurrencesother source of law, including, including but not limited to: (a) all to claims that were, arising from or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint related to their employment with Defendant and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s PAGA Noticetheir compensation while employees of Defendant. (“Plaintiff’s Plaintiffs’ Release.”) Plaintiff’s Plaintiffs’ Release does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers’ compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges Plaintiffs acknowledge that Plaintiff Plaintiffs may discover facts or law different from, or in addition to, the facts or law that Plaintiff Plaintiffs now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Plaintiffs’ Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s Plaintiffs’ discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Plaintiff’s Release. Plaintiff and his or her respective former and present spouses, representatives, agents, attorneys, heirs, administrators, successors, and assigns generally, release and discharge Released Parties from all claims, transactions, or occurrencesoccurrences that occurred during the Class Period, including, but not limited to: (a) all claims that were, or reasonably could have been, alleged, based on the facts contained, in the Operative Complaint and (b) all PAGA claims that were, or reasonably could have been, alleged based on facts contained in the Operative Complaint, Plaintiff’s Plaintiffs PAGA Notice, or ascertained during the Action and released under Section 5.2, below. (“Plaintiff’s "Plaintiffs Release.") Plaintiff’s Plaintiffs release specifically excludes Plaintiffs individual allegations against Defendant for harassment, disability discrimination, and wrongful termination. Plaintiffs Release also does not extend to any claims or actions to enforce this Agreement, or to any claims for vested benefits, unemployment benefits, disability benefits, social security benefits, workers' compensation benefits that arose at any time, or based on occurrences outside the Class Period. Plaintiff acknowledges that Plaintiff may discover facts or law different from, or in addition to, the facts or law that Plaintiff now knows or believes to be true but agrees, nonetheless, that Plaintiff’s Plaintiffs Release shall be and remain effective in all respects, notwithstanding such different or additional facts or Plaintiff’s Plaintiffs discovery of them.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement