Common Contracts

9 similar null contracts

STIPULATION AND AGREEMENT OF SETTLEMENT
December 21st, 2023
  • Filed
    December 21st, 2023

This Stipulation and Agreement of Settlement, dated as of December 22, 2023 (the “Stipulation”) is entered into between (a) Lead Plaintiffs Employees’ Retirement Fund of the City of Fort Worth d/b/a Fort Worth Employees’ Retirement Fund and The City of Miami General Employees’ & Sanitation Employees’ Retirement Trust (together, “Lead Plaintiffs”), on behalf of themselves and the Settlement Class (defined below); and (b) Defendant James River Group Holdings, Ltd. (“James River” or the “Company”) and Defendants Robert P. Myron, J. Adam Abram, Frank N. D’Orazio, and Sarah C. Doran (collectively, the “Individual Defendants,” and together with James River, “Defendants,” and, together with Lead Plaintiffs, the “Parties”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally, and forever compromise, settle,

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STIPULATION AND AGREEMENT OF SETTLEMENT
May 12th, 2023
  • Filed
    May 12th, 2023

This Stipulation and Agreement of Settlement, dated as of May 8, 2023 (the “Stipulation”) is entered into between (a) Lead Plaintiffs Handelsbanken Fonder AB (“Handelsbanken”); Public Employees’ Retirement System of Mississippi (“Mississippi”); State of Rhode Island, Office of the General Treasurer (“Rhode Island”); and Louisiana Sheriffs’ Pension & Relief Fund (“Louisiana Sheriffs”) on behalf of themselves and the other members of the Settlement Class (as defined in paragraph 1(pp) below); and (b) defendants Wells Fargo & Company (“Wells Fargo” or the “Company”), Timothy J. Sloan, John R. Shrewsberry, C. Allen Parker, and Elizabeth “Betsy” Duke (collectively, the “Individual Defendants” and, with Wells Fargo, “Defendants”), by and through their respective undersigned counsel, and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation

STIPULATION AND AGREEMENT OF SETTLEMENT
April 6th, 2023
  • Filed
    April 6th, 2023

This Stipulation and Agreement of Settlement, dated as of April 3, 2023 (the “Stipulation”) is entered into between (a) Lead Plaintiff Stichting Depositary APG Developed Markets Equity Pool (“Lead Plaintiff” or “APG”) and Plaintiff Stichting Depositary APG Fixed Income Credits Pool (collectively with Lead Plaintiff, “Plaintiffs”), on behalf of themselves and the Class (defined below); and (b) defendants Synchrony Financial (“Synchrony” or the “Company”), Margaret M. Keane (“Keane”), Brian D. Doubles (“Doubles”), and Thomas M. Quindlen (“Quindlen” and together with Synchrony, Keane, and Doubles, “Defendants,” and with Plaintiffs, the “Parties”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”).1 Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally, and forever compromise, settle, release, resolve, and dismiss with prejudice the Action and all Release

STIPULATION AND AGREEMENT OF SETTLEMENT
California • December 21st, 2021

This Stipulation and Agreement of Settlement, dated as of December 21, 2021 (the “Stipulation”) is entered into between (a) Lead Plaintiffs City of Atlanta Police Officers’ Pension Fund, City of Atlanta Firefighters’ Pension Fund, and Employees’ Retirement System of the City of Baton Rouge and Parish of East Baton Rouge (“Lead Plaintiffs”), on behalf of themselves and the Settlement Class (defined below); and (b) defendants Merit Medical Systems, Inc. (“Merit” or the “Company”), Fred P. Lampropoulos, and Raul Parra (collectively, “Defendants”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”).1 Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever compromise, settle, release, resolve, and dismiss with prejudice the Action and all Released Plaintiffs’ Claims (defined below) against Defendants.

STIPULATION AND AGREEMENT OF SETTLEMENT
November 23rd, 2021
  • Filed
    November 23rd, 2021

This Stipulation and Agreement of Settlement, dated as of November 23, 2021 (the “Stipulation”) is entered into between (a) DeKalb County Employees Retirement System (“DeKalb”) and New Orleans Employees’ Retirement System (“New Orleans”) (collectively, “Lead Plaintiffs”), on behalf of themselves and the Class (defined below); and (b) defendants Mattel, Inc. (“Mattel” or the “Company”), Margaret H. Georgiadis, Joseph J. Euteneuer, Kevin Farr (together with Mattel, the “Mattel Defendants”); PricewaterhouseCoopers LLP (“PwC”), and Joshua Abrahams (together with the Mattel Defendants and PwC, the “Defendants”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”).1 Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever

STIPULATION AND AGREEMENT OF SETTLEMENT
November 23rd, 2021
  • Filed
    November 23rd, 2021

This Stipulation and Agreement of Settlement, dated as of November 23, 2021 (the “Stipulation”) is entered into between (a) DeKalb County Employees Retirement System (“DeKalb”) and New Orleans Employees’ Retirement System (“New Orleans”) (collectively, “Lead Plaintiffs”), on behalf of themselves and the Class (defined below); and (b) defendants Mattel, Inc. (“Mattel” or the “Company”), Margaret H. Georgiadis, Joseph J. Euteneuer, Kevin Farr (together with Mattel, the “Mattel Defendants”); PricewaterhouseCoopers LLP (“PwC”), and Joshua Abrahams (together with the Mattel Defendants and PwC, the “Defendants”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”).1 Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever

STIPULATION AND AGREEMENT OF SETTLEMENT
Massachusetts • January 8th, 2019

This Stipulation and Agreement of Settlement, dated as of July 6, 2018 (the “Stipulation”) is entered into between (a) Lead Plaintiff Christopher Machado (“Lead Plaintiff”) and Plaintiff Michael Rubin (collectively, “Plaintiffs”), on behalf of themselves and the Settlement Class (defined below); and (b) defendant Endurance International Group Holdings, Inc. (“Endurance” or the “Company”), and defendants Hari Ravichandran and Tivanka Ellawala (collectively, the “Individual Defendants” and, together with Endurance, the “Defendants”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”).1 Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever compromise, settle, release, resolve, and dismiss with prejudice the Action and all claims asserted therein against Defendants.

STIPULATION AND AGREEMENT OF SETTLEMENT
November 16th, 2018
  • Filed
    November 16th, 2018

This Stipulation and Agreement of Settlement, dated as of November 13, 2018 (the “Stipulation”) is entered into between (a) St. Paul Teachers’ Retirement Fund Association (“Lead Plaintiff”), on behalf of itself and the Class (defined below); and (b) defendants HeartWare International, Inc. (“HeartWare” or the “Company”) and Douglas E. Godshall (“Godshall” and, together with HeartWare, “Defendants”), and embodies the terms and conditions of the settlement of the above-captioned action (the “Action”). Subject to the approval of the Court and the terms and conditions expressly provided herein, this Stipulation is intended to fully, finally and forever compromise, settle, release, resolve, and dismiss with prejudice the Action and all Released Plaintiffs’ Claims (defined below) against Defendants.

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