Common use of How Do I Get More Information? Clause in Contracts

How Do I Get More Information?. This Notice only summarizes the Settlement. The full Settlement Agreement and Exhibits (including copies of this Notice and the Claim Form) are located on the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. If you need more information or have any questions, you may contact the Settlement Administrator via the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx, by toll-free telephone at 0- 000-000-0000, or by email at xxxx@XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. PLEASE DO NOT WRITE OR CALL THE COURT, THE CLERK OF THE COURT, NIBCO, OR COUNSEL FOR NIBCO FOR INFORMATION ABOUT THE SETTLEMENT OR THIS LAWSUIT. EXHIBIT 3 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION XXXXX XXXXXX, et al, Individually and on Behalf of All Similarly Situated, Plaintiffs, V. NIBCO INC., Defendant. CASE NO. SA-19-CV-00717-JKP [PROPOSED] ORDER GRANTING PRELIMINARY APPROVAL TO CLASS ACTION SETTLEMENT, PROVISIONALLY CERTIFYING SETTLEMENT CLASS, DIRECTING NOTICE TO THE SETTLEMENT CLASS, AND SCHEDULING FINAL APPROVAL HEARING Plaintiffs in the above-captioned litigation (“Plaintiffs”) and Defendant NIBCO Inc. (“NIBCO” or “Defendant”), have participated in mediation and executed a proposed Settlement Agreement (the “Settlement Agreement” or “Settlement”). Pursuant to the Settlement Agreement, Plaintiffs have moved for entry of an order granting preliminary approval of the Settlement. The Court hereby adopts and incorporates the terms of the Settlement Agreement for the purposes of this Preliminary Approval Order, including the Definitions set forth in the Settlement Agreement. A copy of the Settlement Agreement has been filed with the Court and is also located at the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. Having reviewed the Settlement Agreement and considered the submissions in support of preliminary approval of the Settlement, the Court now orders as follows:

Appears in 1 contract

Samples: Settlement Agreement

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How Do I Get More Information?. This Notice only notice summarizes the proposed Settlement. The full You can find more details in the Settlement Agreement. You can obtain a copy of the Settlement Agreement and Exhibits (including copies of this Notice and at xxx.XxxxxXxxxXxxxxxxxxXxxxxxxxxx.xxx. You may also write with questions to Checking Account Overdraft Litigation, P.O. Box , [City, State, Zip] or call the Claim Form) are located on the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. If you need more information or have any questions, you may contact the Settlement Administrator via the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx, by toll-free telephone at 0- 000number, 1-000-0000, 800- . Do not contact ZFNB or by email at xxxx@XxxxxxxXxxxxXXXxxxxxxxxxx.xxxthe Court for information. PLEASE DO NOT WRITE OR CALL THE COURT, THE CLERK OF THE COURT, NIBCO, OR COUNSEL FOR NIBCO FOR INFORMATION ABOUT THE SETTLEMENT OR THIS LAWSUIT. EXHIBIT Exhibit 3 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO UTAH CENTRAL DIVISION XXXXX XXXXXXX XXXXXX, et alXXXXXXX XXXXXXX, Individually J. XXXXX XxXXX, XXXXX XXXXXXX, XXXXXX X. XXXXXX, XXXXXX X. XXXXX XX, and XXXXXXX XXXXXXXX XX., individually and on Behalf behalf of All Similarly Situatedall others similarly situated, Plaintiffs, V. NIBCO INC.v. Consolidated Case No. 2:11-cv-00929-BSJ Judge Xxxxx X. Xxxxxxx ZIONS BANCORPORATION, Defendanta Utah corporation; ZIONS FIRST NATIONAL BANK, a federally chartered bank; AMEGY BANK NATIONAL ASSOCIATION, a national banking association; NATIONAL BANK OF ARIZONA, a national banking association; and VECTRA BANK COLORADO, N.A., a national banking association, Defendants. CASE NO. SA-19-CV-00717-JKP [PROPOSED] ORDER GRANTING PRELIMINARY APPROVAL TO PRELIMINARILY APPROVING CLASS ACTION SETTLEMENT, PROVISIONALLY SETTLEMENT AND CERTIFYING THE ZFNB SETTLEMENT CLASS, DIRECTING NOTICE TO THE SETTLEMENT CLASS, AND SCHEDULING FINAL APPROVAL HEARING CLASS Plaintiffs in the above-captioned litigation Xxxxxxx Xxxxxx (“Xxxxxx”); J. Xxxxx XxXxx (“XxXxx”); and Xxxxxxx Xxxxxxx (“Xxxxxxx”) (together, “ZFNB Plaintiffs”) and Defendant NIBCO Inc. defendants Zions First National Bank (“NIBCO” or ZFNB”) and Zions Bancorporation (DefendantBancorp)) have agreed to a settlement of the class action claims asserted in this action by the ZFNB Plaintiffs1 against ZFNB and Bancorp, have participated the terms and conditions of which are set forth in mediation and an executed a proposed Settlement Agreement and Release (the “Settlement Agreement” or “ZFNB Settlement”). Pursuant to the Settlement Agreement) that was filed with this Court on or before September 4, Plaintiffs have moved for entry of an order granting preliminary approval of the Settlement2013. The Court hereby adopts and incorporates Parties reached the ZFNB Settlement through arms-length negotiations following private mediation. Under the 1 Capitalized terms of not defined in this order have the Settlement Agreement for the purposes of this Preliminary Approval Order, including the Definitions meanings set forth in the ZFNB Settlement. ZFNB Settlement, and subject to Court approval, the ZFNB Plaintiffs and the ZFNB Settlement Agreement. A copy Class would fully and finally release all claims asserted in this action against by the ZFNB Plaintiffs against ZFNB and Bancorp in exchange for ZFNB’s payment of the sum of $5,497,673.51 into a common fund for the benefit of the ZFNB Settlement Agreement has been filed with the Court and is also located at the Settlement WebsiteClass, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. Having reviewed the Settlement Agreement and considered the submissions in support of preliminary approval of from which would be paid all amounts due to Class Members under the Settlement, including any attorneys’ fees and costs to Class Counsel or Service Awards to the ZFNB Plaintiffs that may hereafter be allowed by the Court. The ZFNB Plaintiffs have filed a Motion for Preliminary Approval of Class Settlement and for Certification of a ZFNB Settlement Class (the “Motion”). Upon considering the Motion and exhibits thereto, the ZFNB Settlement, the record in these proceedings, the representations and recommendations of Class Counsel, and the requirements of law, the Court now finds and orders as follows:

Appears in 1 contract

Samples: Settlement Agreement

How Do I Get More Information?. This Notice only summarizes the Settlement. The full Settlement Agreement and Exhibits (including copies of this Notice and the Claim Form) are located on the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. If you need more information or have any questionsIF YOU NEED MORE INFORMATION OR HAVE ANY QUESTIONS, you may contact the Settlement Administrator via at the Settlement Websitetelephone number listed below, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx, by toll-free telephone at 0- 000-000-0000, or by email at xxxx@XxxxxxxXxxxxXXXxxxxxxxxxx.xxxtoll free. PLEASE DO NOT WRITE OR CALL THE COURT, THE CLERK OF THE COURT, NIBCO, OR COUNSEL FOR NIBCO FOR INFORMATION ABOUT THE SETTLEMENT OR THIS LAWSUIT. EXHIBIT 3 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION XXXXX XXXXXX, et al, Individually and on Behalf of All Similarly Situated, Plaintiffs, V. NIBCO INC., Defendant. CASE NO. SA-19-CV-00717-JKP [PROPOSED] ORDER GRANTING PRELIMINARY APPROVAL TO CLASS ACTION SETTLEMENT, PROVISIONALLY CERTIFYING SETTLEMENT CLASS, DIRECTING NOTICE TO THE SETTLEMENT CLASS, AND SCHEDULING FINAL APPROVAL HEARING Plaintiffs in the above-captioned litigation (“Plaintiffs”) and Defendant NIBCO Inc. (“NIBCO” or “Defendant”), have participated in mediation and executed a proposed Settlement Agreement (Please refer to the “Settlement AgreementThe Lyrical Foods, Inc. d/b/a Kite Hill Co. class action and PAGA settlement.or “Settlement”). Pursuant to the Settlement Agreement, Plaintiffs have moved for entry of an order granting preliminary approval of the Settlement. The Court hereby adopts and incorporates This Notice does not contain all the terms of the proposed Settlement Agreement or all the details of these proceedings. For more detailed information, you may refer to the underlying documents and papers on file with the Alameda County Superior Court, at the Xxxx X. Xxxxxxxx Courthouse located at 0000 Xxxxxx Xxxxxx, Xxxxxxx, Xxxxxxxxxx 00000, between 8:30 a.m. and 2:30 p.m. Records may be viewed here in person via the public terminals at the Civil Division. You can also access the Court’s file online, free-of-charge by visiting the Superior Court of Alameda County Public Portal webpage: xxxxx://xxxxxxx.xxxxxxx.xxxxxx.xx.xxx/. Once on this webpage, select “Searches.” Doing so will take you to the “Search” webpage, where you can select “Case Number Search.” This will take you to the “User account” webpage, where you can select the “Create new account” tab, under which you can select the bubble for “Public Users,” which will then ask you to create an account using your name, email address, and phone number. After creating an account, you can use the case number of the Action (22CV005107) to search for and access the documents the Court has on file for the purposes of this Preliminary Approval OrderAction. You may also contact Class Counsel with any questions you may have regarding the Action, including the Definitions set forth in the proposed Settlement Agreement. A copy of the Settlement Agreement has been filed with Action, or this Notice or any other documents or information you have received pertaining to the Court Action and is also located at the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. Having reviewed the Settlement Agreement and considered the submissions in support of preliminary approval of the Settlement. You may contact Class Counsel directly by visiting Justice Law Corporation at 000 Xxxxx Xxxx Xxxx Xxxxxx, the Court now orders as follows:Xxxxx 000, Xxxxxxxx, Xxxxxxxxxx 00000 during regular business hours, from 9:00

Appears in 1 contract

Samples: Joint Stipulation and Settlement Agreement

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How Do I Get More Information?. This Notice only notice summarizes the proposed Settlement. The full Settlement Agreement For the precise terms and Exhibits (including copies conditions of this Notice and the Claim Form) are located on Settlement, please see the Settlement WebsiteAgreement, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. If you need more information or have any questions, you may contact the Settlement Administrator via the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxxavailable at xxx.xxxxxxxxxxxx.xxx, by toll-free telephone contacting Class Counsel at 0- xxxx@xxxxxxxxxx.xxx or 000-000-00000000 (Toll Free), by accessing the Court docket in this case, at xxxxxx.xxxxxx.xx.xxx. Please do not telephone the Court or by email at xxxx@XxxxxxxXxxxxXXXxxxxxxxxxx.xxxthe Court Clerk’s Office to Inquire about this Settlement or the claim process. The Settlement Agreement, the notice documents, the Complaint, all papers filed in connection with the preliminary and final approval proceedings, Class Counsel’s fee motion, and all court orders and judgments relating to the Settlement will be available on the website: xxx.xxxxxxxxxxxx.xxx. IF YOU WANT ADDITIONAL INFORMATION, OR HAVE ANY QUESTIONS REGARDING THESE LAWSUITS, HOW THE SETTLEMENT AFFECTS YOUR RIGHTS, OR HOW TO FILE A CLAIM, PLEASE CONTACT THE SETTLEMENT ADMINISTRATOR OR CLASS COUNSEL. PLEASE DO NOT WRITE OR CALL CONTACT THE COURT. Questions? visit xxx.xxxxxxxxxxxx.xxx or call (xxx) xxx-xxxx EXHIBIT C EXHIBIT C EMAIL NOTICE IF YOU PURCHASED XXXX XXXX ESSENTIAL LASH SERUM, THE CLERK OF THE COURTXXXX XXXX EYELASH SERUM, NIBCOBABE AMPLIFYING BROW SERUM OR BABE BROW SERUM ENHANCEMENT SERUMS FOR PERSONAL, FAMILY, HOUSEHOLD, OR COUNSEL FOR NIBCO FOR INFORMATION ABOUT THE SETTLEMENT OR THIS LAWSUIT. EXHIBIT 3 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION XXXXX XXXXXXPROFESSIONAL PURPOSES BETWEEN JUNE 1, et al2019 AND , Individually and on Behalf of All Similarly Situated2023, Plaintiffs, V. NIBCO INC., Defendant. CASE NO. SA-19-CV-00717-JKP [PROPOSED] ORDER GRANTING PRELIMINARY APPROVAL TO A CLASS ACTION SETTLEMENT, PROVISIONALLY CERTIFYING SETTLEMENT CLASS, DIRECTING NOTICE TO THE SETTLEMENT CLASSMAY AFFECT YOUR RIGHTS, AND SCHEDULING FINAL APPROVAL HEARING Plaintiffs in YOU MAY BE ENTITLED TO A CASH PAYMENT The Superior Court of California, Solano County, authorized this notice. This is not a solicitation from a lawyer. YOUR UNIQUE ID: XXXXXXXXXXXX PLEASE SAVE THIS NUMBER TO FILE A CLAIM On , 2023, the above-captioned litigation (“Plaintiffs”) and Defendant NIBCO Inc. (“NIBCO” or “Defendant”)Superior Court of California, have participated in mediation and executed a proposed Settlement Agreement (the “Settlement Agreement” or “Settlement”). Pursuant to the Settlement Agreement, Plaintiffs have moved for entry of an order granting Solano County granted preliminary approval of the this class action Settlement. The Court hereby adopts and incorporates directed the terms of parties to send this notice to inform Settlement Class Members about the class action, the Settlement Agreement for and Settlement Class Members’ options. Because you may be a Settlement Class Member, you may be eligible to receive a cash payment from the purposes of this Preliminary Approval Order, including the Definitions set forth in the Settlement AgreementSettlement. A copy of the Settlement Agreement has been filed with If the Court and is also located at the Settlement Website, xxx.XxxxxxxXxxxxXXXxxxxxxxxxx.xxx. Having reviewed the Settlement Agreement and considered the submissions in support of preliminary gives final approval of to the Settlement, Elixir will give each Settlement Class Member who properly and timely completes and submits a Claim Form by [DATE] a cash payment in the amount of up to $25 per unit claimed. Please visit xxx.xxxxxxxxxxxx.xxx for more information. After you read the information in this notice, you may click on the button below to file a claim: FILE A CLAIM Este aviso en inglés es referente al acuerdo propuesto en una demanda colectiva referente a Xxxx Xxxx Essential Lash Serum, Xxxx Xxxx Eyelash Serum, Babe Amplifying Brow Serum o Babe Brow Serum. El acuerdo propuesto posiblemente afecte sus derechos legales. Para el mismo aviso en español, por favor visite xxx.xxxxxxxxxxxx.xxx. WHAT IS THE LAWSUIT AND THIS SETTLEMENT ABOUT? The lawsuit alleges that Elixir Cosmetics OPCO, LLC (Elixir) failed to disclose material information regarding Xxxx Xxxx Essential Lash Serum, Xxxx Xxxx Eyelash Serum, Babe Amplifying Brow Serum and Babe Brow Serum Enhancement Serums and the potential side effects and risks of adverse reactions allegedly presented by one of its ingredients, Isopropyl Cloprostenate. Plaintiff alleges that Elixir is liable to her for, among other things, the failure to disclose material information about the alleged side effects of Xxxx Xxxx Essential Lash Serum, Xxxx Xxxx Eyelash Serum, Babe Amplifying Brow Serum and Babe Brow Serum. Elixir denies Plaintiff’s allegations and denies liability or any wrongdoing of any kind associated with the claims asserted in this lawsuit. Xxxx Xxxx Essential Lash Serum, Xxxx Xxxx Eyelash Serum, Babe Amplifying Brow Serum and Babe Brow Serum are safe cosmetic products with a proven track record of overwhelmingly positive consumer satisfaction. Comprehensive product safety testing substantiates the safety of the Enhancement Serums while no scientific study has ever found that the Enhancement Serums cause any of the serious adverse events alleged in Plaintiff’s lawsuit. Elixir contends that it has always marketed the Enhancement Serums as cosmetics, that the U.S. FDA is the sole administrative body authorized to determine the regulatory status of products subject to its jurisdiction, and the FDA has never alleged or found the Enhancement Serums are adulterated, misbranded or unapproved drugs. The Court now orders as follows:has not decided in favor of any party and has not evaluated Plaintiff’s claims or Xxxxxx’s defenses. The parties have entered into a settlement to compromise disputed claims. In settling the litigation, neither side admits the allegations or arguments of the other. WHO IS AFFECTED BY THE SETTLEMENT? You are a Settlement Class Member affected by the Settlement if you purchased Xxxx Xxxx Essential Lash Serum, Xxxx Xxxx Eyelash Serum, Babe Amplifying Brow Serum or Babe Brow Serum for personal, household, family, or professional use between June 1, 2019 and [date], 2023 excluding (a) any individuals who have pending litigation against Elixir; (b) any Settlement Class Members who file a timely request for exclusion; (c) any officers, directors, or employees, or immediate family members of the officers, directors, or employees, of Elixir or any entity in which Elixir has a controlling interest; (d) any legal counsel or employee of legal counsel for Elixir; (e) any federal, state, or local government entities; and (f) any judicial officers presiding over the Action and the members of their immediate family and judicial staff (collectively, “Settlement Class Members”). For more details about who is affected, visit xxx.xxxxxxxxxxxx.xxx.

Appears in 1 contract

Samples: Stipulated Class Settlement Agreement and Release

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