Requesting Exclusion Sample Clauses

Requesting Exclusion. Class Members who want to be excluded from the 19 settlement must send a letter or postcard to the Claims Administrator postmarked no later than 20 one hundred and thirty-five (135) calendar days from when the Court enters this Order stating: (a) 21 the name of the Action, “In re EasySaver Rewards Litigation”; (b) the full name, address, and 22 telephone number of the person requesting exclusion; and (c) a statement that he/she does not 23 wish to participate in the Settlement.
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Requesting Exclusion. Settlement Class Members may elect not to be part of the Class and not to be bound by this Settlement Agreement. Individual requests for exclusion may be submitted to the Settlement Administrator by postal mail. No mass opt-outs are allowed. All requests for exclusion must be in writing and must: (a) clearly identify the case name and number;
Requesting Exclusion. Settlement Class Members may elect to opt out of the Settlement, relinquishing their rights to benefits hereunder. The Notice shall include a procedure for Settlement Class Members to exclude themselves from the Settlement Class by notifying the Settlement Administrator in writing of the intent to exclude himself or herself from the Settlement Class. Settlement Class Members who opt out of the Settlement will not release their claims pursuant to this Agreement. Such written notification must be postmarked no later than the Opt-Out Deadline, as specified in the Notice. The written notification must include the individual’s name and address; a statement that he or she wants to be excluded from the Action; and the individual’s signature. The Settlement Administrator shall provide the Parties with copies of all opt-out notifications, and a final list of all who have timely and validly excluded themselves from the Settlement Class, which Class Counsel may move to file under seal with the Court no later than 10 days prior to the Fairness Hearing. Any Settlement Class Member who does not timely and validly exclude himself or herself shall be bound by the terms of the Settlement.
Requesting Exclusion. Any Settlement Class Member who wishes to be excluded from the Settlement Class must submit to the Settlement Administrator a written request for exclusion by email or by U.S. Mail.
Requesting Exclusion. Class Members who want to be excluded from the 12 Settlement must send a signed letter or postcard to the Claims Administrator stating: (a) the name 13 and case number of the Action; (b) the full name, address, and telephone number of the person 14 requesting exclusion; and (c) a statement that the person does not wish to participate in the 15 Settlement, postmarked no later than seventy-five (75) calendar days after Defendant, through the 16 Claims Administrator, issues Notices to the Class.
Requesting Exclusion. A Class Member may elect to be excluded from the 5 Settlement Class and to not be bound by the Settlement Agreement. To make this election, a Class 6 Member must mail a written request for exclusion to the Settlement Administrator at the address 7 provided in the Long-Form Notice, postmarked by the Exclusion Deadline ordered by the Court in 8 the Preliminary Approval Order. The request must (a) state the Class Member’s name, address, 9 and telephone number; (b) reference Xxxxxxxx v. ADT Security Services, Inc. BC510665; and (c) 10 clearly state that the Class Member wants to be excluded from the Class, not participate in the 11 Agreement and not receive any Agreement benefits, and otherwise comply with the terms stated in 12 the Long-Form Notice and Preliminary Approval Order. All Class Members will be by bound by 13 the Final Order and Final Judgment unless such Class Members timely file valid written requests 14 for exclusion or opt out in accordance with this Preliminary Approval Order.
Requesting Exclusion. Class Members who want to be excluded from the 28 Settlement must send a signed letter or postcard to the Claims Administrator stating: (a) the name SMRH:0000-0000-0000.1 -4- 1 and case number of the Action; (b) the full name, address, and telephone number of the person 2 requesting exclusion; and (c) a statement that the person does not wish to participate in the 3 Settlement, postmarked no later than , 2020.
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Requesting Exclusion. Class Members may elect to not be part of the Class and 16 not be bound by this Settlement Agreement. To request to be excluded from the Settlement, Class
Requesting Exclusion. Opt Out.” Any Settlement Class Member who does not wish to be a member of the Class or participate in this Settlement must submit a Request for Exclusion to the Claims Administrator stating an intention to be “excluded” from this Settlement. The Request for Exclusion must contain the name of the Action, Worth v. CVS Pharmacy, Inc., Case No. 16-cv- 00498, and must also contain the Settlement Class Member’s name, current address, and telephone number. The Request for Exclusion must also contain a clear statement of the Class Member’s intent to exclude him or herself, such as “I wish to be excluded from the Class.” The Request for Exclusion must be either (i) personally signed by the Settlement Class Member, dated and mailed to the Claims Administrator and postmarked on or before the Objection/Exclusion Deadline, or
Requesting Exclusion. Persons within the Settlement Class who want to be excluded from the Settlement must send a letter, postcard, or other writing to the address listed in the Notice that is signed by the Person within the Settlement Class seeking exclusion from the Settlement no later than [INSERT DATE 90 DAYS AFTER ENTRY OF THIS PRELIMINARY APPROVAL ORDER]. Persons within the Settlement Class seeking to request exclusion must include in the written request (a) his or her name and U.S. mailing address (as well as his or her former U.S. mailing address if his or her current U.S. mailing address is different from the U.S. mailing address listed on the Notice sent to the Person within the Settlement Class), (b) the telephone number(s) at which he or she allegedly received a call regarding the sale or leasing of a residential solar panel system, (c) the caption for the Action (i.e., Xxxxxx v. NRG Residential Solar Solutions LLC, Case No. 3:15-cv-05089 (D.N.J.)), and
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