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THIS DOCUMENT IS A DRAFT FORM PREPARED BY PROFESSIONALS OF THE PLAN SPONSORS. THE DOCUMENT REMAINS SUBJECT TO ONGOING DISCUSSION AND CONFIRMATION BY THE PLAN PROPONENTS OF CERTAIN TERMS, REQUIREMENTS AND MECHANICS.
Stockholders and Registration Rights Agreement • February 10th, 2022 • Delaware

WHEREAS, pursuant to or in connection with the Joint Plan of Reorganization of the Debtors Under Chapter 11 of the Bankruptcy Code, dated as of October 13, 2016, filed in re: UCI International, LLC, et al., case no. 16-11354 (MFW) (jointly administered), in the United States Bankruptcy Court for the District of Delaware (the “Plan”), the Company shall issue shares of Common Stock to the Initial Stockholders;

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IN THE COURT OF CHANCERY OF THE STATE OF DELAWARE
August 31st, 2021
  • Filed
    August 31st, 2021
To: RA Holdco 2 LLC (the “Exit Purchaser”) RA Holdco 1 Limited (the “Parent”)
December 23rd, 2014
  • Filed
    December 23rd, 2014

Superpriority Debtor-in-Possession and Exit Facility Master Murabaha Agreement, dated 13 June 2013 (as amended pursuant to amendments dated 10 July 2013, 31 July 2013 and 10 September 2013, the “Murabaha Agreement”) among Arcapita Investment Holdings Limited as the DIP purchaser, Goldman Sachs International as the investment agent (the “Investment Agent”) and the entities named as original guarantors therein

STIPULATION AND AGREEMENT OF SETTLEMENT
Stipulation and Agreement of Settlement • December 5th, 2020 • California

This Stipulation and Agreement of Settlement (the “Stipulation”) is entered into by and between Plaintiffs Edward Huyer, Connie Huyer, Carlos Castro and Hazel P. Navas-Castro (together, “Plaintiffs”), for themselves and the Class defined herein, on the one hand, and, on the other hand, Wells Fargo Bank, N.A. and Wells Fargo & Co. (collectively, “Wells Fargo”). Plaintiffs and Wells Fargo are referred to collectively in this Stipulation as the “Parties.”

SETTLEMENT AGREEMENT
Settlement Agreement • June 3rd, 2016 • West Virginia

This Settlement Agreement is made and entered into as of March 11, 2016 between (a) Plaintiffs Maureen DiLoreti, Lori A. Veltri, and Michael A. Veltri, on their own behalf and on behalf of a Settlement Class (as defined below), and (b) Defendants Countrywide Home Loans, Inc. (“CHL”), Bank of America,

SETTLEMENT AGREEMENT
Settlement Agreement • September 4th, 2007 • Ohio

This Settlement Agreement and Release of Claims (“the Agreement”) is entered into between Plaintiffs Dominic Musarra, Kevin Klug, Charles Everett, Bryan Westfall, Darrell Hall and Michael Nakonechny (“Class Representatives”), representatives of the plaintiff class described herein (for settlement purposes only), all of whom are represented by Barkan, Neff, Handelman, and Meizlish, L.L.P. and Marshall and Morrow, L.L.C., and Defendant Digital Dish, Inc., which is represented by Squire, Sanders, and Dempsey, L.L.P.

Contract
Class Action Settlement Agreement • November 10th, 2015
JOINT STIPULATION AND SETTLEMENT AGREEMENT
February 23rd, 2010
  • Filed
    February 23rd, 2010

SAMUEL KECK (“Keck”), and PAUL EISENHOWER (“Eisenhower”) (collectively the “Class Representatives”), on behalf of themselves and others similarly situated, on the one hand, and BEST BUY CO., INC., BBC INVESTMENT CO., BBC PROPERTY CO., and BEST BUY

SETTLEMENT AGREEMENT, RELEASE, and WAIVER
Settlement Agreement, Release and Waiver • September 13th, 2013 • New York

This Settlement Agreement, Release and Waiver (“Agreement”) is made this 13th day of September, 2013, by and between Plaintiff Ellen Ogaian (“Ogaian” or “Plaintiff”), Opt-In Mario Garrido, (“Garrido” or “Opt-In”) on behalf of themselves, the class and subclasses they purport to represent, their agents, representatives, assignees, heirs, executors, beneficiaries and trustees (collectively, “Plaintiffs”) and Christmas Tree Shops, Inc., (referred to herein as “CTS”), on behalf of itself, its parents, (including without limitation, Bed Bath and Beyond Inc.,) divisions, subsidiaries, predecessors and successors, and their directors, officers, members, fiduciaries, insurers, employees, attorneys and agents (each in their individual and corporate capacities) (collectively the “Released Parties”) (CTS, Plaintiffs and the Opt-In, are collectively referred to herein as the “Parties”).

Contract
Settlement Agreement • July 30th, 2015 • Washington
SETTLEMENT AGREEMENT
Settlement Agreement • October 2nd, 2015 • California

This Settlement Agreement is entered into this 16 th day of September 2015 between Plaintiff Peter MacKinnon, Jr. (“Plaintiff”), on the one hand, and IMVU, Inc. (“IMVU” or “Defendant”), on the other hand.

EXHIBIT A
November 8th, 2012
  • Filed
    November 8th, 2012
AGREEMENT OF COMPROMISE AND SETTLEMENT
Agreement of Compromise and Settlement • January 28th, 2022 • Maine

This Agreement of Compromise and Settlement (“Agreement”) dated as of April 16, 2015, is made between the Named Plaintiffs defined below, on behalf of themselves and the Settlement Classes defined below, and TeleCheck Services, Inc. (“TeleCheck”) and TRS Recovery Services, Inc. (“TRS”) (TeleCheck and TRS are collectively referred to herein as “Defendants”), to settle and compromise the Litigation defined below and to discharge the Released Parties as set forth herein.

Contract
Settlement Agreement • March 26th, 2014
JOINT STIPULATION AND SETTLEMENT AGREEMENT
Joint Stipulation and Settlement Agreement • June 7th, 2010

This Stipulation (with the associated exhibits and attachments) is made and entered into by and among the following Settling Parties (each with the assistance of their counsel of choice):

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