Common use of Defendant’s Declaration in Support of Preliminary Approval Clause in Contracts

Defendant’s Declaration in Support of Preliminary Approval. Within 30 days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 2 contracts

Sources: Class Action and Paga Settlement Agreement, Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 14 days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 2 contracts

Sources: Class Action and Paga Settlement Agreement, Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 15 court days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver advise that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 fourteen (14) calendar days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 14 days of the full execution of this Agreement, Defendants DEFENDANT will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants DEFENDANT that shall aver that they are it is not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 14 business days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 14 (fourteen) days of the full execution of this Agreement, Defendants will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement

Defendant’s Declaration in Support of Preliminary Approval. Within 30 14 days of the full execution of this Agreement, Defendants Defendant will prepare and deliver to Class Counsel a signed Declaration from Defendants and Defense Counsel disclosing all facts relevant to any actual or potential conflicts of interest with the Administrator. In their Declarations, Defense Counsel and Defendants shall aver that they are not aware of any other pending matter or action asserting claims that will be extinguished or adversely affected by the Settlement.

Appears in 1 contract

Sources: Class Action and Paga Settlement Agreement