Class Action Settlement Agreement Sample Contracts

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • May 21st, 2021 • New York

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into between and among the Class Representatives, all Class Members, and the Defendant (hereinafter the “Settling Parties”).

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CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • January 19th, 2024

This Class Action Settlement Agreement (the “Settlement Agreement”) is entered into as of January 19, 2024, by and between Plaintiff Elsa Reed, individually and on behalf of the MedStar Health, Inc. Retirement Savings Plan, and Defendants MedStar Health, Inc., the Board of Directors of MedStar Health, Inc., the MedStar Health, Inc. Retirement Savings Plan Committee, and Does No. 1-20, in consideration of the promises, covenants, and agreements herein described, and for other good and valuable consideration acknowledged by each of them to be satisfactory and adequate. The Settlement Agreement is intended to fully, finally, and forever resolve, discharge, and settle the Released Claims, subject to the approval of the Court and terms and conditions set forth in this Settlement Agreement.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • February 28th, 2022

This Class Action Settlement Agreement (the “Settlement Agreement”) is entered into between and among the Class Representatives, all Class Members, and the Defendants, as defined herein.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • September 17th, 2020 • Missouri

This CLASS ACTION SETTLEMENT AGREEMENT (“Settlement Agreement”) is entered into by and between Plaintiffs as defined in § 1.18 below, on the one hand, and Defendants, as defined in § 1.11 below, on the other. Plaintiffs and Defendants are referred to collectively in this Settlement Agreement as the “Parties.” Capitalized terms and phrases have the meanings provided in § 1 below or as specified elsewhere in this Settlement Agreement.

BAFFINLAND IRON MINES CORPORATION CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • January 26th, 2021 • Ontario
CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • September 1st, 2022 • New Jersey

order requiring all New Jersey institutions of higher education to cease in-person instruction to reduce the spread of COVID-19. (Dkt. 1).

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK
Class Action Settlement Agreement • August 13th, 2018 • New York

ELIZABETH MOELLER, individually and on behalf of all others similarly situated, Plaintiff,v. ADVANCE MAGAZINE PUBLISHERS INC.,d/b/a CONDÉ NAST, Defendant. Civil Action No. 15-cv-05671-NRB

Class Action Settlement Agreement
Class Action Settlement Agreement • December 7th, 2009

This Class Action Settlement Agreement (“Agreement”) is entered into by and between Elouise Pepion Cobell, Penny Cleghorn, Thomas Maulson and James Louis Larose (collectively, the “Named Plaintiffs”), on behalf of themselves and members of the Classes of individual Indians defined in this Agreement (collectively, “Plaintiffs”), on the one hand, and Ken Salazar, Secretary of the Interior, Larry Echohawk, Assistant Secretary of the Interior – Indian Affairs, and H. Timothy Geithner, Secretary of the Treasury and their successors in office, all in their official capacities (collectively, “Defendants”). Plaintiffs and Defendants are collectively referenced as the “Parties.”

Tushar Bhatia, individually and as the representative of a class of similarly situated persons, and on behalf of the McKinsey & Company, Inc. (PSRP) Profit- Sharing Retirement Plan and the McKinsey & Company, Inc. (MPPP) Money Purchase Pension...
Class Action Settlement Agreement • September 15th, 2020

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into between and among the Class Representative, all putative Class Members, and Defendants, as defined herein.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • May 12th, 2021 • Georgia

This Class Action Settlement Agreement is entered into as of March 31, 2021, by and among Plaintiffs Mike Allen and Monte Pomroy, individually and on behalf of the Settlement Class Members, on the one hand, and Defendants Dolgencorp, LLC and Dollar General Corporation (“Dollar General”)1 on the other hand (Plaintiffs and Defendants are each a “Party” and collectively, the “Parties”). Subject to the Court’s approval, the Parties hereby stipulate and agree that, in consideration for the promises and covenants set forth in the Settlement and upon the entry by the Court of a Final Approval Order and the occurrence of the Effective Date, the Action shall be settled and compromised upon the terms and conditions contained herein.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • November 22nd, 2021 • Florida

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into between and among the Plaintiffs, all Settlement Class Members, and the University of Miami (“Miami”).

UNITED STATES DISTRICT COURT
Class Action Settlement Agreement • February 20th, 2024

MATTHEW KOTILA and ROBERT CRAUN,individually and on behalf of all others similarly situated, Plaintiffs,v. CHARTER FINANCIAL PUBLISHING NETWORK, INC., Defendant. Case No. 2:22-CV-00704-HYJ-RSK Hon. Hala Y. Jarbou CLASS ACTION

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • May 5th, 2020
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION
Class Action Settlement Agreement • October 31st, 2022 • Ohio

This Class Action Settlement Agreement (“Agreement” or “Settlement Agreement”) is entered into by and among (i) plaintiffs Fatima Butler (“Butler”) and Julia Scholz-Pinger (“Scholz-Pinger”), (ii) the Illinois Settlement Class; (iii) the Ohio Settlement Class (Butler, Scholz-Pinger, the Illinois Settlement Class, and the Ohio Settlement Class are collectively referred to as the “Plaintiffs” unless otherwise noted), and defendant Whitepages, Inc. (“Defendant” or “Whitepages,” as defined at Paragraph 1.9 below). Plaintiffs and Defendant are collectively referred to as the “Parties.” This Settlement Agreement is intended by the Parties to fully, finally, and forever resolve, discharge, and settle the Released Claims (as defined at Paragraph 1.29 below), upon and subject to the terms and conditions of this Settlement Agreement, and subject to the final approval of the Court.

AMENDED CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • September 1st, 2015 • Pennsylvania

THIS AGREEMENT (the “Settlement Agreement” or “Agreement”) is made and entered into as of the 28th day of October, 2014 (the “Execution Date”), by and between Defendants Comcast Corporation, Comcast Holdings Corporation, Comcast Cable Communications Inc., Comcast Cable Communications Holdings Inc. and Comcast Cable Holdings LLC (collectively “Comcast”), and Plaintiff Stanford Glaberson (“Plaintiff”), individually and as representative of others similarly situated, which constitute the Philadelphia Settlement Class as defined below, acting by and through their undersigned counsel.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • March 15th, 2022

judgment, at class certification, and/or at trial. Nonetheless, taking into account the uncertainty and risks inherent in any litigation, Defendant has concluded it is desirable and beneficial that the Action be fully and finally settled and terminated in the manner and upon the terms and conditions set forth in this Agreement. This Agreement is a compromise, and the Agreement, any related documents, and any negotiations resulting in it shall not be construed as or deemed to be evidence of or an admission or concession of liability or wrongdoing on the part of Defendant, or any of the Released Parties (defined below), with respect to any claim of any fault or liability or wrongdoing or damage whatsoever or with respect to the certifiability of a litigation class.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • January 17th, 2017

This Class Action Settlement Agreement (“Settlement”) is entered into by and between Defendants City of Alexander City (“City”) and Willie Robinson (“Robinson”) (collectively, “Defendants”) and Named Plaintiffs D’Angelo Foster and Amanda Underwood (collectively, the “Named Plaintiffs”), both individually and on behalf of the Settlement Class Members. Defendants, Named Plaintiffs, and the Settlement Class Members are collectively referred to herein as “the Parties”.

CLASS ACTION Settlement Agreement
Class Action Settlement Agreement • June 30th, 2023 • Chemours Co • Chemicals & allied products • South Carolina

This Settlement Agreement (including its Exhibits) is entered into, subject to Preliminary and Final Approval of the Court, as of June 30, 2023 (the “Settlement Date”), by and among (i) Class Representatives, individually and on behalf of the Settlement Class Members, by and through Class Counsel, and (ii) defendants The Chemours Company, The Chemours Company FC, LLC, DuPont de Nemours, Inc., Corteva, Inc., and E.I. DuPont de Nemours and Company n/k/a EIDP, Inc. (each, a “Settling Defendant” and collectively, “Settling Defendants”).

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • March 18th, 2019 • Florida

This Settlement Agreement is entered into by (i) Plaintiff, Rebecca Friske, on behalf of herself and the Settlement Class (defined below) and (ii) Defendant, Bonnier Corporation. The Parties (defined below) intend this Agreement to fully and forever resolve and settle the Released Claims (defined below) in accord with the terms contained herein and subject to final court-ordered approval.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • November 8th, 2021 • New Jersey

This Class Action Settlement Agreement (“Agreement”) is entered into this 18th day of January, 2012, by and between Plaintiffs Athena Hohenberg and Laura Rude-Barbato (“Plaintiffs”) in their individual and representative capacities and Defendant Ferrero U.S.A., Inc. (“Ferrero” or “Defendant”) (Defendant and collectively with Plaintiffs, the “Settling Parties”). Each of the foregoing Settling Parties acting by and through their respective counsel, agree that this lawsuit, subject to Court approval, and the matters raised in the litigation are hereby settled, compromised and dismissed, on the merits and with prejudice, on the terms and conditions set forth herein (the “Settlement”).

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEBRASKA
Class Action Settlement Agreement • June 10th, 2021
CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • October 4th, 2020 • California

This Class Action Settlement Agreement (“Settlement Agreement,” “Settlement,” or “Agreement”) is entered into by and among Free Range Content, Inc., Coconut Island Software, Inc., Taylor Chose, and Matthew Simpson (collectively, “Plaintiffs”), the Settlement Class (as defined in § 1.43), and Defendant Google LLC, as successor to Google Inc. (“Google” or “Defendant”) (together, the “Parties”). This Settlement Agreement is intended by the Parties to fully, finally, and forever resolve, discharge, and settle the Released Claims (as defined in § 1.36) on the terms and conditions of this Agreement. It is subject to the final approval of the United States District Court for the Northern District of California (the “Court”).

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EXHIBIT A
Class Action Settlement Agreement • July 31st, 2020

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into between and among the Class Representatives, all putative Class Members, and Defendants, as defined herein.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • November 1st, 2022 • New Jersey

This CLASS ACTION SETTLEMENT AGREEMENT (“Settlement Agreement”) is entered into by and between Plaintiffs as defined in § 1.14 below, on the one hand, and Defendants, as defined in § 1.8 below, on the other. Plaintiffs and Defendants are referred to collectively in this Settlement Agreement as the “Parties.” Capitalized terms and phrases have the meanings provided in § 1 below or as specified elsewhere in this Settlement Agreement.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • October 15th, 2019 • New Jersey

This Class Action Settlement Agreement is entered into by, between, and among, Wyndham Hotel Group, LLC and Wyndham Hotels and Resorts, LLC, and Thomas Luca, Jr., the named plaintiff in Luca v. Wyndham Hotel Group, LLC, No. 16-cv-746-MRH, on behalf of himself and as the putative class representative for the Settlement Class defined below.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • October 21st, 2020 • South Carolina

This Agreement is made between the Named Plaintiffs, on behalf of themselves and a proposed Settlement Class, and Plycem USA, LLC and Elementia USA, Inc. The purpose of this Agreement is to settle and compromise the Litigation and to release the Released Persons as set forth herein. The Agreement is contingent upon the Court’s certification of the Settlement Class and approval of the Settlement under Federal Rule of Civil Procedure 23. (Capitalized terms in this Agreement have specific definitions, which are provided in Section 1.)

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • June 19th, 2012 • Illinois

This Class Action Settlement Agreement (hereinafter “Agreement”) is entered into by and between Dr. Leonard E. Saltzman, Brad Zurn, Tim Bastiaanse, Joseph Palmiotto, and Judith McClosky (the “Named Plaintiffs”), for themselves and on behalf of the Settlement Class (as defined below) and all members of the Settlement Class (collectively “Plaintiffs”, as fully defined below), and Defendants Pella Corporation and Pella Windows and Doors, Inc. (collectively “Defendants”) for the purpose of settling, and finally and completely resolving

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • October 25th, 2023

This Agreement (“Agreement,” “Settlement,” or “Settlement Agreement”) is entered into by and among (i) Plaintiff, Luis Neri (“Plaintiff” or “Neri”); (ii) the Settlement Class (as defined herein); and (iii) Defendant, Calmark Group, LLC (“Defendant” or “Calmark”). Plaintiff and Defendant are collectively referred to herein as the “Parties.” This Agreement is intended by the Parties to fully, finally, and forever resolve, discharge, and settle the Released Claims (as defined herein), upon and subject to the terms and conditions of this Agreement, and subject to the final approval of the Court.

IN THE UNITED STATES DISTRICT COURT
Class Action Settlement Agreement • December 20th, 2023

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into by and among Plaintiff Mary Crumpton (“Crumpton” or “Plaintiff”), for herself individually and on behalf of the Settlement Class, and Defendant Octapharma Plasma, Inc. (“Octapharma” or “Defendant”) (Plaintiff and Defendant are referred to individually as “Party” and collectively referred to as the “Parties”). This Settlement Agreement is intended by the Parties to fully, finally, and forever resolve, discharge, and settle the Released Claims upon and subject to the following terms and conditions, and subject to the approval of the Court.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • November 3rd, 2017

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into between and among the Settling Plaintiffs, all Class Members, and the Defendants, as defined herein.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • June 2nd, 2023 • California

Subject to court approval, this Class Action Settlement Agreement (“Agreement”) is made by and between Angela Ohler, individually and on behalf of all others similarly situated (collectively, “Plaintiffs”), and Defendants Cluckin, Inc., Cluckin 1 LP, Cluckin 2 LP, and Cluckin 3 LP (hereinafter, “Defendants”). The Agreement refers to Plaintiffs and Defendants collectively as “Parties” or individually as a “Party.”

Class Action Settlement Agreement, WILLIAM CROWLEY, et al., Plaintiffs, vs. THE PINELLAS COUNTY SCHOOL BOARD, et al., Defendants : Case No: 00-5661-CI-07 : Crowley final settlement : August 10, 2010
Class Action Settlement Agreement • December 5th, 2017

This Other is brought to you for free and open access by the Concerned Organization for Quality Education for Black Students, Inc. (COQEBS) at Digital USFSP. It has been accepted for inclusion in COQEBS Background Materials by an authorized administrator of Digital USFSP.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • April 19th, 2022 • Oklahoma

This Class Action Settlement Agreement (“Settlement Agreement”) is entered into by and among (i) Plaintiff Christopher Snider, individually and on behalf of the Plan and the proposed Settlement Class, on the one hand, and (ii) Defendants, on the other hand.

CLASS ACTION SETTLEMENT AGREEMENT
Class Action Settlement Agreement • March 5th, 2021 • New York

This CLASS ACTION SETTLEMENT AGREEMENT (“Settlement Agreement”) is entered into by and between Named Plaintiffs (as defined below) in the action titled In re Xerox Corporation ERISA Litigation, Civ. No. 3:02-CV-01128 (AWT) (D. Conn.) for themselves and on behalf of the Settlement Class (as defined below) and the Plans (as defined below), on the one hand, and the Defendants (as defined below) on the other, in consideration of the promises, covenants and agreements herein described and for other good and valuable consideration acknowledged by each of them to be satisfactory and adequate.

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