Settlement and Release Sample Contracts

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SETTLEMENT AND PATENT LICENSE AGREEMENT
Settlement and Release • June 14th, 2007 • Forgent Networks Inc • Services-computer integrated systems design • Texas

This Settlement and Patent License Agreement (“Agreement”) is entered into as of April 25, 2007 (“the Effective Date”), by and between Forgent Networks, Inc. (hereinafter referred to as “Forgent” and more fully defined below), Motorola, Inc., a Delaware corporation (hereinafter referred to as “Motorola” and more fully defined below), and Digeo, Inc., a Delaware corporation (hereinafter referred to as “Digeo” and more fully defined below) by and through their duly authorized representatives. This Agreement is intended to finally and completely dispose of the lawsuit and all related claims as to these parties as more fully described herein.

SETTLEMENT AND RELEASE
Settlement and Release • October 5th, 2007 • American Mold Guard Inc • Services-to dwellings & other buildings • California
SETTLEMENT AND RELEASE
Settlement and Release • July 21st, 2005 • Green Mountain Capital Inc. • Railroad equipment

This Settlement and Release (“Settlement and Release”) is made as of 21st day of July, 2005, by and between GREEN MOUNTAIN CAPITAL, INC., a Nevada corporation (“Green Mountain”) and Sydney A. Harland (“Harland”).

SETTLEMENT AND RELEASE RECITALS
Settlement and Release • August 5th, 2005 • Prime Group Realty Trust • Real estate investment trusts

WHEREAS, (i) PGRT and PGP previously entered into a confidentiality and standstill letter agreement dated March 22, 2004 (the “PGP CA”), (ii) Mansur & Company (“Mansur & Co”) and PGRT previously entered into a confidentiality and standstill letter agreement dated March 24, 2004 (the “Mansur CA”), (iii) Mansur Interests II, LTD., an affiliate of Prime/Mansur (“MANI2”), TPGI, PGRT and PGRLP previously entered into an Exclusivity Agreement dated as of September 7, 2004 (the “Exclusivity Agreement”), which was also joined by PGP for certain purposes, and (iv) TPGI, PGP and PGRLP previously entered into a Termination and Release Agreement dated as of November 9, 2004 (the “Termination Agreement”);

IN THE UNITED STATES DISTRICT COURT WESTERN DISTRICT OF PENNSYLVANIA PITTSBURGH DIVISION
Settlement and Release • July 5th, 2018 • Texas

This Joint Stipulation of Settlement and Release (the “Agreement”) is made and entered into by and between Plaintiff Andrew Fritchman, individually and on behalf of himself and all others similarly situated (the “Plaintiff”) and Defendant Schlumberger Technology Corporation (the “Defendant”). This Agreement is subject to the terms and conditions herein and the approval of the Court.

RECITALS
Settlement and Release • July 16th, 2003 • Vital Living Inc • Pharmaceutical preparations • Arizona
SETTLEMENT AND RELEASE
Settlement and Release • June 11th, 2021

WHEREAS, a dispute has arisen between Escambia County (“Claimant”) on the one hand, and United Parcel Service, Inc. (“UPS”), on the other, regarding certain claims and demands arising out of a package transported by UPS in April 2020 (tracking number 1ZT7G79B4320013814) containing a mobile camera transporter that the Claimant alleges was lost in transit (the “Dispute”); and

RECITALS
Settlement and Release • January 14th, 2008 • Gottaplay Interactive, Inc. • Services-prepackaged software • Washington
AMENDED STIPULATION OF SETTLEMENT AND RELEASE
Settlement and Release • March 30th, 2017

This Amended Stipulation of Settlement and Release (“Stipulation of Settlement”) is made and entered into by and between Plaintiff Omar Rodriguez (“Plaintiff”), individually and on behalf of others similarly situated, and Defendant HAWK II ENVIRONMENTAL CORP. (“Defendant”), subject to the terms and conditions hereof and the Court’s approval.

By: /s/ Pavel Merkoulov ------------------------------- Name: Title: Officer EXHIBIT A FORM OF WARRANT CERTIFICATE
Settlement and Release • October 9th, 2001 • Constellation 3d Inc • Computer storage devices • New York
SETTLEMENT AND RELEASE
Settlement and Release • July 23rd, 2014 • Sonora Resources Corp. • Wholesale-durable goods • British Columbia

FINDER PLATA S.A. DE C.V., a company existing under the laws of Mexico having an address of Privada Orquideas No. 23, Los Geranios, Guadalupe, Zacatecas, Mexico Postal Code 98600

SETTLEMENT AND RELEASE
Settlement and Release • July 6th, 2006 • Dyntek Inc • Services-business services, nec • California

This Settlement and Release Agreement (the “Agreement”) is entered into as of June 29, 2006 (the “Effective Date”) by and between, DynTek, Inc., a Delaware corporation (“DynTek”), and J. Michael Gullard (“Creditor”).

SETTLEMENT AND RELEASE
Settlement and Release • October 13th, 2005 • Dotronix Inc • Miscellaneous manufacturing industries

THIS SETTLEMENT AND RELEASE is entered into this 9th day of September 2005, by and between Dotronix, Inc., a Minnesota corporation; Dotronix Technology, Inc., a Minnesota corporation; The Estate of William S. Sadler; and Terry L. Myhre.

SETTLEMENT AND RELEASE
Settlement and Release • November 16th, 2023 • New Mexico

This Settlement and Release Agreement (“Agreement”) is made by NEW MEXICO STATE ETHICS COMMISSION (“Releasor”), and YVONNE OTERO

SETTLEMENT AND RELEASE OF TAURIGA SCIENCES, INC Between Tauriga Sciences Inc. & Solomon Sharbat (and all related entities) OCTOBER 23, 2018
Settlement and Release • October 31st, 2018 • Tauriga Sciences, Inc. • Medicinal chemicals & botanical products

This Settlement and Release (the “Agreement”) is made this 23rd day of October, 2018 by and between Seth Shaw and Tauriga Sciences, Inc., a Florida corporation (“also herein referenced as: “TAURIGA” TAUG” or the”Company”), having its principal place of business located at 555 Madison Avenue, 5th Floor, New York, NY 10022 (collectively hereinafter referred to as “Payer”) and Solomon Sharbat & all Related Sharbat Parties (Collectively herein referred to as “Payee”) an individual residing at Gush Halav 10, Tel Aviv, Israel and his entities (also collectively hereinafter referred to as “Claimant”).

JOINT STIPULATION OF CLASS ACTION SETTLEMENT AND RELEASE
Settlement and Release • June 7th, 2021 • California

This Joint Stipulation of Class Action Settlement and Release (hereinafter “Settlement Agreement”) is made and entered into by and between the following parties: Plaintiff Jose Loreto (“Plaintiff”), individually and on behalf of other members of the general public similarly situated, and Defendant General Dynamics Information Technology, Inc. (“GDIT”) (collectively, the “Parties”), and their respective counsel of record. This Settlement Agreement is subject to the terms and conditions set forth below and to the approval of the Court. This Settlement Agreement supersedes any and all prior memoranda of understanding and accurately sets forth the Parties’ class action settlement to resolve all claims as detailed below.

SETTLEMENT AND RELEASE AGREEMENT
Settlement and Release • April 4th, 2008 • Genesis Holdings, Inc. • Land subdividers & developers (no cemeteries)

This Settlement and Release (the “Settlement and Release”) is made this 30th day of March, 2008 (the “Effective Date”) by and between Soliton, LLC d/b/a BlueCar Partners also know as BlueCar Partners, LLC, a New York limited liability company (“Consultant”) and BioAuthorize Inc., a Colorado corporation (“BioAuthorize”). Consultant and BioAuthorize are sometimes referred to as the (“Parties”) and individually as a (“Party”). All terms used, but not otherwise defined herein, shall have the meanings ascribed to such terms in the BlueCar Partners, LLC Letter Agreement dated December 7, 2007 by and between Consultant and BioAuthorize, and later amended by the First Amendment to the Agreement dated January 18th, 2008 (collectively, the “Agreement”).

SETTLEMENT AND RELEASE
Settlement and Release • August 10th, 2023 • New Mexico

This Settlement and Release Agreement (“Agreement”) is made as of this 10th day of August, 2023, between and among the New Mexico State Ethics Commission (“Releasor”), and Michelle Lujan Grisham, Governor of the State of New Mexico, and the New Mexico Human Services Department (“HSD”) (collectively, “Releasees” or “Released Parties”). Each of the Releasor or Releasees may be referred to herein as a “Party” and collectively as the “Parties.”

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