Authorized Claimants Sample Clauses

Authorized Claimants. To each Tier 1 Authorized Claimant, Old Navy shall issue one (1) $5.00 Settlement Purchase Certificate.
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Authorized Claimants. A Tier 1 Authorized Claimant is one who does not submit any proof of Qualifying Purchase(s) with his or her timely and valid Claim Form or if the Qualifying Purchase(s) during the Class Period identified on a timely and valid Claim Form are less than $50.
Authorized Claimants. A Tier 2 Authorized Claimant is one who has Qualifying Purchase(s) during the Class Period totaling $90.00 or more and submits proof of such purchase(s) with their timely and valid Claim Form.
Authorized Claimants. To qualify as an Authorized Claimant, the Eligible Claimant must complete a valid eligibility form and submit it on a timely basis prior to the Claims Bar Deadline along with a copy of one or more pieces of the following government-issued proof of identification (Proof of Identification”):
Authorized Claimants. Those Class Members who were initially offered a rental agreement or renewal at Presidential Towers in Chicago, Illinois between December 2, 2017 and December 2, 2019, who submit a valid and timely Claim Form to register their claim for recovery pursuant to this Settlement.
Authorized Claimants. To each Tier 1 Authorized Claimant, Guess shall issue one (1) Settlement Voucher for $4 off any purchase or $5 off a purchase of $20 or more.
Authorized Claimants. Those 449 identified sets of individual or multiple “Class Members” sharing a lease, not including the two named Plaintiffs, who were initially offered a rental agreement or renewal at an apartment owned or managed by a Defendant at the addresses: 6012 N Kenmore 1608 W Sherwin 7700 N Marshfield 6201 N Kenmore 1609-1611 W Juneway 7710 N Sheridan 6826 N Ridge 1638-1642 W Jonquil 7722 X. Xxxxxxx 6942 N Xxxxxxx 1722-1724 W Juneway 7736 N Ashland 7357 N Ashland 1902-1908 W Xxxxx 1055-1067 W Glenlake 6120 N Kenmore 2451 W Xxxxxx 1058-1114 W Glenlake 6021 N Winthrop 3048-3050 W Xxxxxx 1456-1460 W Fargo 6029 N Winthrop 3631-3641 W Xxxxxxx 0000 X Xxxxxxx 0000 X Xxxxxxxx 0000 X Xxxxxxxxx 0000 X Xxxxxxxx 0000 X Xxxxxx 0000 X Greenview 4701-0000 X Xxxxxx 0000 X Xxxxxxxxx 0000 X Xxxxxxxx 7526 X. Xxxxxx 5534 N Kenmore 7545 N Winchester 5860 N Kenmore 7616 N Marshfield 0000 X Xxxxxxx in Chicago, Illinois between December 3, 2017 and October 31, 2020 who submit a valid and timely Claim Form to register their claim for recovery pursuant to this Settlement.
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Related to Authorized Claimants

  • Settlement Class Members “Settlement Class Members” shall mean all persons in the Class who do not exclude themselves pursuant to Section F, herein, and those who submit a Valid Claim.

  • Disputed Claims 4.1 Notwithstanding paragraph 4.5 of this Schedule, payment by the Authority of all or any part of any invoice rendered or other claim for payment by the Contractor shall not signify approval of such invoice/claim. The Authority reserves the right to verify invoices/claims after the date of payment and subsequently to recover any sums which have been overpaid.

  • Covered Claims Claim" means any claim, dispute or controversy between you and us that in any way arises from or relates to this Agreement, the Account, the issuance of any Card, any rewards program, any prior agreement or account. "Claim" includes disputes arising from actions or omissions prior to the date any Card was issued to you, including the advertising related to, application for or approval of the Account. "Claim" has the broadest possible meaning, and includes initial claims, counterclaims, cross-claims and third-party claims. It includes disputes based upon contract, tort, consumer rights, fraud and other intentional torts, constitution, statute, regulation, ordinance, common law and equity (including any claim for injunctive or declaratory relief). "Claim" does not include disputes about the validity, enforceability, coverage or scope of this Arbitration Provision or any part thereof (including, without limitation, the prohibition against class proceedings, private attorney general proceedings and/or multiple party proceedings described in Paragraph C.7 (the "Class Action Waiver"), the last sentence of Paragraph

  • Plaintiffs Dated: Xxxxx Xxxxxxx by and through her Successor in Interest Xxxxx Xxxxxxx Dated: 5/15/2023 Xxxxxx Xxxxx by and through his Successor in Interest Xxxxxx Xxxxx Dated: Xxxxxx Xxxxxxx by and through his Successor in Interest Xxxx Xxxxxxx Dated: Xxxxxx Xxxxxxxx Dated: Xxxxxxx Xxxxxxxx by and through his Successor in Interest Xxxxxx Xxxxxxxx Dated: Xxxxxxx Xxxxxxxx by and through her Guardian ad Litem Xxxxxx Xxxxxx DocuSign Envelope ID: 2AA3F8C9-7439-440A-84AC-030939959524

  • Notice to Settlement Class Members 5.1 The Parties agree that the following Notice Program provides reasonable notice to the Settlement Class.

  • Released Claims In consideration of these additional benefits, you, on behalf of your heirs, spouse and assigns, hereby completely release and forever discharge Ikanos, its past and present affiliates, agents, officers, directors, shareholders, employees, attorneys, insurers, successors and assigns (collectively referred to as the “Company”) from any and all claims, of any and every kind, nature and character, known or unknown, foreseen or unforeseen, based on any act or omission occurring prior to the date of you signing this Release Agreement, including but not limited to any claims arising out of your offer of employment, your employment or termination of your employment with the Company or your right to purchase, or actual purchase of shares of stock of the Company (including, but not limited to, all rights related to or associated with stock options and restricted stock units), including, without limitation, any claims for fraud, misrepresentation, breach of fiduciary duty, breach of duty under applicable state corporate law, and securities fraud under any state or federal law. The matters released include, but are not limited to, any claims under federal, state or local laws, including claims arising under the Age Discrimination in Employment Act of 1967 (“ADEA”) as amended by, including but not limited to, the Older Workers’ Benefit Protection Act (“OWBPA”) and any common law tort contract or statutory claims, and any claims for attorneys’ fees and costs. You understand and agree that this Release Agreement extinguishes all claims, whether known or unknown, foreseen or unforeseen, except for those claims expressly described below. You expressly waive any rights or benefits under Section 1542 of the California Civil Code, or any equivalent statute. California Civil Code Section 1542 provides as follows: “A GENERAL RELEASE DOES NOT EXTEND TO CLAIMS WHICH THE CREDITOR DOES NOT KNOW OR SUSPECT TO EXIST IN HIS FAVOR AT THE TIME OF EXECUTING THE RELEASE, WHICH IF KNOWN BY HIM MUST HAVE MATERIALLY AFFECTED HIS SETTLEMENT WITH THE DEBTOR.” You fully understand that, if any fact with respect to any matter covered by this Release Agreement is found hereafter to be other than or different from the facts now believed by you to be true, you expressly accept and assume that this Release Agreement shall be and remain effective, notwithstanding such difference in the facts.

  • Defendants “Defendants” means Xxxx X. XXXX, Acting Secretary of Homeland Security, in his official capacity; Xxxxxxx XXXX, Attorney General of the United States, in his official capacity; Xxxxxxx X. XXXXXXX, Deputy Director for ICE (Senior Official Performing the Duties of the Director, ICE), in his official capacity; Xxxxxxx X. XXXXXXXXXX, Senior Official Performing the Duties of the Director, USCIS, in his official capacity; Xxxx X. XXXXXX, Acting Commissioner of CBP, in his official capacity; and Xxxxx XXXXXXX, Director of EOIR, in his official capacity.

  • Class Counsel Fees include the fees, disbursements, costs, interest, GST or HST (as the case may be) and other applicable taxes or charges thereon, including any amounts payable by Class Counsel or the Settlement Class Members to any other body or Person as a result of the Settlement Agreement, including the Fonds d’aide aux actions collectives in Québec.

  • Participating Class Members The Administrator will send, by U.S. mail, a single check to every Participating Class Member (i.e., every Class Member who doesn’t opt-out) including those who also qualify as Aggrieved Employees. The single check will combine the Individual Class Payment and the Individual PAGA Payment.

  • Notice to Class Members 8.4.1 No later than three (3) business days after receipt of the Class Data, the Administrator shall notify Class Counsel that the list has been received and state the number of Class Members, PAGA Members, Workweeks, and Pay Periods in the Class Data.

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