Claims Covered and Released Sample Clauses

The "Claims Covered and Released" clause defines the specific types of claims, disputes, or liabilities that are being relinquished or settled by the parties under the agreement. Typically, this clause outlines the scope of claims included—such as those arising from past events, known or unknown issues, or related to a particular subject matter—and clarifies whether future claims are also covered. By clearly identifying which claims are released, the clause ensures that both parties understand the extent of their obligations and protections, thereby preventing future disputes over the same matters and providing finality to the settlement or agreement.
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Claims Covered and Released. 4.1 ▇▇▇▇▇▇▇’▇ Release of Proposition 65 Claims
Claims Covered and Released. 4.1 ▇▇▇▇▇▇▇’▇ Release of Proposition 65 Claims 4.2 ▇▇▇▇▇▇▇’▇ Individual Release of Claims 4.3 Ningbo Zhenda’ Release of ▇▇▇▇▇▇▇
Claims Covered and Released. 4.1 CRC’s Release of ▇▇▇▇▇▇▇▇
Claims Covered and Released. 6.1 ▇▇▇▇▇▇▇’▇ Release of Noticed and Related Parties
Claims Covered and Released. 5.1 Englander’s Release of Proposition 65 Claims
Claims Covered and Released. 4.1 CRC’s Release of N Nat4life CRC, acting on its own behalf and not on behalf of the public, fully releases and discharges Nat4life and its respective officers, directors, shareholders, members, employees, agents, parent companies, subsidiaries, divisions, affiliates, franchisees, licensees, customers, suppliers, distributors (the “ Nat4life Releasees”) and all entities to which Nat4lifeReleasees directly or indirectly distribute or sell the Product, and any other distributors, wholesalers, customers, retailers, franchisees, licensors, and licensees, (collectively, the "Released Parties" and individually, a “Released Party”). CRC, on behalf of itself and its officers, directors, shareholders, employees, agents, parent companies, subsidiaries and divisions hereby fully releases and discharges the Released Parties from any and all claims, actions, causes of action, suits, demands, liabilities, damages, penalties, fees, costs, and expenses asserted, or that could have been asserted based on or related to the manufacturing, marketing, handling, use, sale, distribution or consumption of the Product in California, as well as any alleged violation of Proposition 65 or its implementing regulations, including without limitation any failure to provide Proposition 65 warnings on the Product with respect to exposures to lead. 4.2 Nat4life ’s Release of CRC BLU on behalf of its past and current agents, representatives, attorneys, successors and assignees hereby waives any and all claims against CRC and its attorneys and other representatives, for any and all actions taken, or statements made by CRC and its attorneys and other representatives, whether in the course of investigating claims, otherwise seeking to enforce Proposition 65 against it in this matter, or with respect to the Product.
Claims Covered and Released. 4.1 ▇▇▇▇▇▇▇’s Release of Proposition 65 Claims ▇▇▇▇▇▇▇ acting on his own behalf, and not on behalf of the public, releases Five Below, its parents, subsidiaries, affiliated entities under common ownership including, but not limited to 1616 Holdings, Inc., directors, officers, agents employees, attorneys, upstream manufacturers, distributors or suppliers of the Products or any component part thereof (but only with respect to Products actually acquired by or sold to Five Below, Inc. or 1616 Holdings), and each entity to whom Five Below or 1616 Holdings, Inc. directly or indirectly distributes or sells Products, including, but not limited, to downstream distributors, wholesalers, customers, retailers, franchisees, cooperative members, importers, and licensees (collectively, “Releasees”), from all claims for violations of Proposition 65 through the Effective Date relating to unwarned exposures to DEHP in the Products. The Parties further understand and agree that except as expressly stated in the above, this Section 4.1 release shall not extend upstream to any entities that manufactured the Products or any component parts thereof, or any distributors or suppliers who sold the Products or any component parts thereof to Five Below or 1616 Holdings, Inc. 4.2 ▇▇▇▇▇▇▇’s Individual Release of Claims ▇▇▇▇▇▇▇, in his individual capacity only and not in his representative capacity, provides a release herein which shall be effective as a full and final accord and satisfaction, as a bar to all actions, causes of action, obligations, costs, expenses, attorneys' fees, damages, losses, claims, liabilities, and demands of ▇▇▇▇▇▇▇ of any nature, character, or kind, whether known or unknown, suspected or unsuspected, arising out of alleged or actual exposures to DEHP in the Products manufactured, imported, distributed, or sold by Five Below or 1616 Holdings, Inc. prior to the Effective Date. The Parties further understand and agree that, except with respect to upstream manufacturers, distributors or suppliers of the Products or any component part thereof (but only with respect to Products actually acquired by or sold to Five Below, Inc. or 1616 Holdings), this Section 4.2 release shall not extend upstream to any entities that manufactured the Products, or any component parts thereof, or any distributors or suppliers who sold the Products, or any component parts thereof to Five Below or 1616 Holdings, Inc.
Claims Covered and Released. 4.1 ▇▇▇▇▇▇▇’▇ Release of Proposition 65 Claims 4.2 ▇▇▇▇▇▇▇’▇ Individual Release of Claims 4.3 Best Accessory’s Release of ▇▇▇▇▇▇▇
Claims Covered and Released. 4.1 EHA’s Release of BCG 4.2 BCG's Release of EHA
Claims Covered and Released. 5.1 Full, Final and Binding Resolution of Proposition 65 Allegations