Common Contracts

5 similar null contracts

STIPULATION AND AGREEMENT OF SETTLEMENT
January 12th, 2024
  • Filed
    January 12th, 2024

This Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Court-appointed Lead Plaintiffs Jeffrey A. Gabbert, Nuggehalli Balmukund Nandkumar, and David Truong (“Lead Plaintiffs” or “Plaintiffs”), on behalf of themselves and all other members of the Settlement Class (defined below), on the one hand, and Novavax, Inc. (“Novavax” or the “Company”) and Stanley Erck (“Erck”), Gregory Covino (“Covino”), John Trizzino (“Trizzino”), and Gregory Glenn (“Glenn”) (collectively, the “Individual Defendants” and, with Novavax, “Defendants”), on the other, and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). This Stipulation is intended by Lead Plaintiffs and Defendants (collectively, the “Parties”) to fully, finally, and forever resolve, discharge, and settle the Released Plaintiffs’ Claims as against the Released Defendant Parties and the Released Defendants’ Claims as against the Released Plaintiff Part

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STIPULATION AND AGREEMENT OF SETTLEMENT
March 15th, 2022
  • Filed
    March 15th, 2022

This Stipulation and Agreement of Settlement (the “Stipulation” or “Settlement Agreement”) is made and entered into by and between Lead Plaintiff Public Employees’ Retirement System of Mississippi (“MissPERS” or “Lead Plaintiff”) and additionally named Plaintiff Monroe County Employees’ Retirement System (“Monroe,” and with MissPERS, “Plaintiffs”), on behalf of themselves and all other members of the proposed Settlement Class (defined below), on the one hand, and Defendants Nielsen Holdings plc (“Nielsen” or the “Company”), Dwight Mitchell Barns, Kelly Abcarian, and Jamere Jackson (the “Individual Defendants,” and together with Nielsen the “Defendants,” and together with both Nielsen and Plaintiffs the “Parties”), on the other, by and through their counsel of record in the above-captioned litigation pending in the United States District Court for the Southern District of New York (the “Court”). This Stipulation is intended by the Parties to fully, finally, and forever resolve, discharg

vs.
March 5th, 2020
  • Filed
    March 5th, 2020

This Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Lead Plaintiffs Eugene Almendinger, Jeffrey Berkowitz, Debra Folk, Earle Folk, Maryann Lovelidge, and Tom Lovelidge (collectively, “Lead Plaintiffs”), on behalf of themselves and all other members of the proposed Settlement Class (defined below), on the one hand, and defendants Mutual Fund Series Trust (the “Trust”), Catalyst Capital Advisors, LLC (“Catalyst”), Northern Lights Distributors LLC (“NLD”), Jerry Szilagyi (“Szilagyi”), Tobias Caldwell (“Caldwell”), Tiberiu Weisz (“Weisz”), Bert Pariser (“Pariser”), and Erik Naviloff (“Naviloff”) (each a “Defendant” and collectively, “Defendants”), on the other, by and through their counsel of record in the above-captioned litigation pending in the United States District Court for the Eastern District of New York (the “Court”). This Stipulation is intended by the Parties (defined below) to fully, finally, and forever resolve, discharge, a

vs.
March 5th, 2020
  • Filed
    March 5th, 2020

This Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Lead Plaintiffs Eugene Almendinger, Jeffrey Berkowitz, Debra Folk, Earle Folk, Maryann Lovelidge, and Tom Lovelidge (collectively, “Lead Plaintiffs”), on behalf of themselves and all other members of the proposed Settlement Class (defined below), on the one hand, and defendants Mutual Fund Series Trust (the “Trust”), Catalyst Capital Advisors, LLC (“Catalyst”), Northern Lights Distributors LLC (“NLD”), Jerry Szilagyi (“Szilagyi”), Tobias Caldwell (“Caldwell”), Tiberiu Weisz (“Weisz”), Bert Pariser (“Pariser”), and Erik Naviloff (“Naviloff”) (each a “Defendant” and collectively, “Defendants”), on the other, by and through their counsel of record in the above-captioned litigation pending in the United States District Court for the Eastern District of New York (the “Court”). This Stipulation is intended by the Parties (defined below) to fully, finally, and forever resolve, discharge, a

STIPULATION AND AGREEMENT OF SETTLEMENT
December 3rd, 2018
  • Filed
    December 3rd, 2018

This Stipulation and Agreement of Settlement (the “Stipulation”) is made and entered into by and between Lead Plaintiff Oklahoma Firefighters Pension and Retirement System (“Oklahoma Firefighters” or “Lead Plaintiff”), on behalf of itself, and additional named plaintiff City of Hollywood Employees’ Retirement Fund (“Hollywood ERF,” together with Lead Plaintiff, “Plaintiffs”), and all other members of the Settlement Class (defined below), on the one hand, and Rent-A-Center, Inc. (“Rent-A-Center,” “RAC” or the “Company”), and Robert D. Davis and Guy J. Constant (collectively, the “Individual Defendants” and, with the Company, the “Defendants”), on the other, by and through their counsel of record in the above-captioned litigation pending in the United States District Court for the Eastern District of Texas (the “Court”). This Stipulation is intended by the parties to fully, finally, and forever resolve, discharge, and settle the Released Claims (defined below), upon and subject to the te

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