Settlement Agreement and Release Sample Contracts

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SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 15th, 2023 • Signing Day Sports, Inc. • Services-computer processing & data preparation • Delaware

This Settlement Agreement and Release (this “Release”) is made and entered into as of May 17, 2022 (the “Effective Date”), between the Joshua A. Donaldson Revocable Trust, Joshua Donaldson, an individual, his spouse _________________________, to the extent of such spouse’s community property interest, if any (collectively, “Shareholder”), Signing Day Sports, LLC, an Arizona limited liability company (“SDS LLC”), Signing Day Sports Baseball, LLC, an Arizona limited liability company (“SDSB LLC”), Signing Day Sports Football, LLC, an Arizona limited liability company (“SDSF LLC”) and Signing Day Sports, Inc., a Delaware corporation (“SDS Inc.”, and, together with SDS LLC, SDSB LLC, and SDSF LLC, “SDS”). SDS and Shareholder are sometimes hereinafter referred to each as a “Party,” and collectively, the “Parties.”

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • December 15th, 2008 • MATECH Corp. • Industrial instruments for measurement, display, and control • California

THIS SETTLEMENT AGREEMENT AND RELEASE (“Agreement”), dated as of August 28, 2008, is by and among Material Technologies, Inc., a Delaware corporation (“MaTech”) and Patrick Fischli, an individual (Patrick Fischli shall be referred to as the “Claimant”) (individually, a “Party”).

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • September 14th, 2022 • California

THIS SETTLEMENT AGREEMENT AND RELEASE ("Settlement Agreement'') is entered into between ABC Software Corporation (hereinafter "Plaintiff''), and Widget Corporation (hereinafter "Defendant'').

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 4th, 2022 • Florida

This Settlement Agreement is made and entered into this 4th day of May 2022, among Walgreens (defined below), the State of Florida and its Office of the Attorney General (“Plaintiff” or “State”) (with Walgreens, the “Settling Parties”), and State Outside Litigation Counsel (defined below) in the lawsuit captioned State of Florida, Office of the Attorney General, Department of Legal Affairs v. Purdue Pharma, L.P., et al. (Case No. 2018-CA-001438) (Fla. Cir. Ct. Pasco County) (the “Florida AG Action”). This Settlement Agreement is intended by the Settling Parties to fully, finally and forever resolve, discharge and settle the Released Claims (as defined below), upon and subject to the terms and conditions hereof (the “Settlement”).

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • March 31st, 2006 • Federal Home Loan Bank of Seattle • Federal & federally-sponsored credit agencies • Washington

This Settlement Agreement and Release (the “Agreement”), dated as of May 12, 2005, is made by and among the Federal Home Loan Bank of Seattle, a federally chartered corporation established under the authority of the Federal Home Loan Bank Act (the “Bank”), Roy M. Whitehead (“Whitehead”) and Washington Federal Savings, a federally chartered savings association (the “Member,” and collectively with Whitehead and the Bank, the “Parties”).

RECITALS
Settlement Agreement and Release • November 14th, 2005 • American Biltrite Inc • Plastics products, nec
RECITALS
Settlement Agreement and Release • March 28th, 2002 • Vesta Insurance Group Inc • Fire, marine & casualty insurance • Alabama
SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • December 6th, 2006 • New York
RECITALS
Settlement Agreement and Release • February 12th, 2001 • Nx Networks Inc • Computer communications equipment
SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • August 18th, 2005 • Clearone Communications Inc • Radio & tv broadcasting & communications equipment • Utah

This Settlement Agreement and Release (this “Agreement") is made and entered into as of the 27th day of February 2004, between Gregory L. Rand (“Employee”) and ClearOne Communications Corporation (“ClearOne”), who shall be referred to as the “Parties”, or individually as a “Party”.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 24th, 2022 • Missouri

Plaintiffs, by and through their counsel, and defendant, the City of Edmundson, Missouri, by and through its counsel, hereby enter into this Settlement Agreement providing, subject to the approval of the Court, for the Settlement of the claims against the City of Edmundson herein described:

CLASS ACTION SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • August 9th, 2022 • Missouri

This Settlement Agreement and Release is made as of July 22, 2022, by and between, as hereinafter defined, (a) the Settlement Class Representatives,1 on behalf of themselves and the Settlement Classes, and (b) T-Mobile US, Inc. and T-Mobile USA, Inc. (collectively, “T-Mobile” or “Defendant”). This Agreement fully and finally compromises and settles any and all claims that are, were, or could have been asserted in the litigation styled In re: T-Mobile Customer Data Security Breach Litigation, No. 21-md-3019-BCW pending in the Western District of Missouri, as set forth herein.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • February 13th, 2022

This Settlement Agreement and Release (“Agreement”) is entered into by and between Plaintiffs Margarito Castañon Nava, John Doe, Miguel Cortes Torres, Guillermo Hernandez Hernandez, Erick Rivera Sales, Illinois Coalition for Immigrant and Refugee Rights, and Organized Communities Against Deportations, on behalf of themselves and all Class Members, and Defendants Department of Homeland Security, Immigration and Customs Enforcement (“ICE”); Alejandro Mayorkas, Secretary, Department of Homeland Security; Tae Johnson, Acting Director, ICE; and Henry Lucero, Field Office Director, ICE Chicago Field Office, by and through their attorneys. This Agreement is effective as of the date it is executed by all Parties and upon final approval of the Court pursuant to Rule 23 of the Federal Rules of Civil Procedure, as set forth below.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • July 29th, 2021 • Arvana Inc • Blank checks • Utah

This Settlement Agreement and Release (“Agreement”) is entered into effective as of June 30, 2021, by and between 681315 B.C. Ltd. (“Creditor”) and Arvana Inc. (“Arvana”). Collectively, Creditor and Arvana shall be referred to collectively as the “Parties” or individually as a “Party”.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • April 12th, 2021 • California

This Settlement Agreement and Release (“Settlement Agreement” or “Agreement”) is entered into by and between Wanda Smith (“Plaintiff”), individually and on behalf of Participating Settlement Class Members (as defined in Paragraph 18) (together “Plaintiffs”), and (2) Experian Information Solutions, Inc. (“Defendant” or “Experian”) (collectively the “Parties”), in the action Smith v. Experian Information Solutions, Inc., Case No. 8:17-cv-00629-CJC-AFM (C.D. Cal.), pending in the U.S. District Court for the Central District of California.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • November 19th, 2015

This Settlement Agreement and Release (the “Settlement Agreement”) is entered into by and between the National Federation of the Blind (“NFB”) and Heidi Viens (“Viens”), on the one hand (“Plaintiffs”), and Scribd, Inc., (“Scribd”), on the other hand.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • August 4th, 2020 • South Carolina

This Settlement Agreement and Release (“Agreement”) is made and entered into this 13th day of June, 2019, by and among (1) Plaintiffs,1 for themselves and on behalf of the Settlement Classes, and (2) TD Bank, N.A. (“TD Bank”), subject to preliminary and final Court approval as required by Rule 23(e) of the Federal Rules of Civil Procedure. As provided herein, TD Bank, Class Counsel, and Plaintiffs hereby stipulate and agree that, in consideration of the promises and covenants set forth in this Agreement and upon entry by the Court of a Final Order and Judgment, all claims of the Settlement Classes against TD Bank in the several actions consolidated in the Multi-District Litigation titled In Re: TD Bank, N.A. Debit Card Overdraft Fee Litigation, Case No. 6:15-mn-02613-BHH (collectively, the “Action”), shall be settled and compromised upon the terms and conditions contained herein.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • November 1st, 2013 • Generex Biotechnology Corp • Pharmaceutical preparations • New York

This Settlement Agreement and Release (the “Agreement”) is effective as of October _____, 2013 between and among Generex Biotechnology Corporation (“GNBT”) and Generex Pharmaceuticals Inc. (“GPI”) (GNBT and GPI are hereinafter collectively referred to as “Generex”) and ______________ (the “Employee”, collectively with Generex the “Parties”), as follows:

John Q. Public Grievant,
Settlement Agreement and Release • August 1st, 2017
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SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 20th, 2021 • New York

THIS SETTLEMENT AGREEMENT AND RELEASE is made and entered into on January 12, 2018, by and between Plaintiffs Nicoletta Pantelyat, Michael Edwards, and Isabelle Scherer, individually and on behalf of the Settlement Class1 they propose to represent, on the one hand, and Bank of America, N.A. and Bank of America Corporation, on the other hand, by and through their respective authorized signatories in full and complete settlement of the claims advanced in Pantelyat v. Bank of America, N.A., et al., Case No. 1:16-cv-08964 (S.D.N.Y.).

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • October 20th, 2023 • Texas
SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • August 3rd, 2017

This Settlement Agreement and Release is made and entered into by and between John Q. Public (Grievant) and the West Virginia Department of Widgets (Respondent).

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • November 26th, 2019

Upon review and consideration of Plaintiff Susan Mansanarez’s Motion for Preliminary Approval of Class Action Settlement, including the Parties’ Settlement Agreement and Release (the “Settlement Agreement” or “Agreement”) and all exhibits thereto, and the arguments of counsel, and having been fully advised in the premises, it is HEREBY ORDERED, ADJUDGED and DECREED as follows:

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 5th, 2020 • California

This SETTLEMENT AGREEMENT AND RELEASE (hereinafter “Agreement”) is entered into by and between the STATE OF CALIFORNIA AIR RESOURCES BOARD (hereinafter “ARB”), with its principal office at 1001 I Street, Sacramento, California 95814 and AUTOMOTIVE TRANSMISSION SPECIALIST, INC., DBA ATS DIESEL

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • August 2nd, 2022
SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • July 10th, 2019 • Salon Media Group Inc • Services-advertising • California

This Confidential Settlement Agreement and Release (this “Agreement”) is entered into as of July 1, 2019 by and between JORDAN HOFFNER (“CLAIMANT”) and SALON MEDIA GROUP, INC. (“COMPANY”). Collectively, Claimant and Company shall be referred to as the “Parties”.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • December 19th, 2008 • Nitromed Inc • Pharmaceutical preparations • Colorado

This Settlement Agreement and Release (the “Agreement”) is made and entered into as of the date of the last signature below (the “Effective Date”), by and among Gilead Sciences, Inc. (in its own capacity and as successor in interest to NeXstar Pharmaceuticals, Inc., successor in interest to NeXagen, Inc.), a Delaware corporation, with its principal place of business at 333 Lakeside Drive, Foster City, CA, 94404 (“Gilead”), Archemix Corp., a Delaware corporation, with its principal place of business at 1 Hampshire Street, 5th Floor, Cambridge, MA 02139 (“Archemix”), and University License Equity Holdings, Inc. (formerly known as University Technology Corporation, successor in interest to University Research Corporation), a Colorado corporation, having a mailing address at 4001 Discovery Drive, Suite 390C, Boulder, CO 80309 (“ULEHI”). Gilead, Archemix and ULEHI are referred to herein individually as a “Party” and collectively as the “Parties”.

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • March 31st, 2008 • Wireless Age Communications Inc • Telephone communications (no radiotelephone) • Nevada

This Settlement Agreement and Release (this “Agreement”) is made and entered into on June 29, 2007 by and among Newlook Industries Corp. (“Newlook”) and Wireless Age Communications, Inc. (“Wireless Age,” and together with Newlook, each a “Party” and collectively the “Parties”):

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • May 31st, 2006 • Mirant Americas Generating LLC • Electric services • District of Columbia

This Settlement Agreement and Release (this “Agreement”) is dated as of May 30, 2006, by and among (i) Potomac Electric Power Company (“Pepco”); Conectiv Energy Supply, Inc.; Pepco Energy Services, Inc.; Pepco Gas Services, Inc.; Pepco Holdings, Inc.; and Potomac Capital Investment Corporation (Pepco and the other entities identified in this clause (i) are referred to herein collectively as the “Pepco Settling Parties”) and (ii) Mirant Corporation (“New Mirant”); Mirant Power Purchase, LLC, f/k/a Mirant Oregon, LLC (“MPP”); MC 2005, LLC, f/k/a Mirant Corporation (“Old Mirant”); Mirant Mid-Atlantic, LLC; Mirant Potomac River, LLC; Mirant Chalk Point, LLC; Mirant Piney Point, LLC; Mirant MD Ash Management, LLC; Mirant Energy Trading, LLC; Mirant Services, LLC; and the MC Plan Trust (as defined in Schedule 1) (New Mirant and the other entities identified in this clause (ii) are referred to herein collectively as the “Mirant Settling Parties”).

SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • January 11th, 2024 • California
SETTLEMENT AGREEMENT AND RELEASE
Settlement Agreement and Release • December 15th, 2008 • MATECH Corp. • Industrial instruments for measurement, display, and control • California

THIS SETTLEMENT AGREEMENT AND RELEASE (“Agreement”), dated as of August 19, 2008, is by and among Material Technologies, Inc., a Delaware corporation (“MaTech”), RBC Dexia Investor Services Bank Luxembourg (“Julius Baer”), Anima S.G.R.P.A. Rubrica Anima America (“Anima”), and Kreuzfeld Ltd., (“Kreuzfeld”) (Julius Baer, Anima, and Kreuzfeld shall collectively be referred to as, the “Claimants”) (individually, a “Party”; collectively, the “Parties”).

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