EXECUTION BY PARTIES AND COUNSEL Sample Clauses
The 'Execution by Parties and Counsel' clause defines the requirement that both the parties involved in the agreement and, in some cases, their legal representatives must formally sign the document to indicate their consent and understanding. This typically involves each party and their counsel providing signatures, either physically or electronically, on the final version of the contract. By ensuring that all relevant parties and their legal advisors have executed the agreement, this clause helps confirm that everyone is aware of and agrees to the terms, thereby reducing the risk of disputes over authorization or understanding of the contract's provisions.
POPULAR SAMPLE Copied 1 times
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2021 ▇▇▇▇▇▇ ▇▇▇▇▇ By: 12/21/2021 Dated: , 2021 ▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇ By: Dated: , 2021 WESTWAYS STAFFING SERVICES, INC. By: Name: Title: 12/21
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: Mar 29, 2023 ▇▇▇▇ ▇▇▇▇▇▇ (Mar 29, 2023 11:18 PDT) Plaintiff ▇▇▇▇ ▇▇▇▇▇▇ Dated: 4/20/2023 | 7:22 AM PDT For Defendant ▇▇▇▇▇▇ ▇▇, LLC Dated: 3/29/23 __________________________________ ▇▇▇▇ ▇▇▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇▇▇ Nordrehaug ▇▇▇▇▇▇▇ ▇▇ ▇▇▇▇▇ LLP Attorney for Plaintiff Dated: 4/20/2023 ▇▇▇▇▇▇ ▇. ▇▇▇▇ ▇▇▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇, ALC Attorney for Defendant The proposed Settlement has two main parts: (1) a Class Settlement requiring Defendant to fund Individual Class Payment payments to Class Members, and (2) a PAGA Settlement requiring Defendant to fund the PAGA Penalties to pay penalties to the California Labor and Workforce Development Agency (“LWDA”) and to Aggrieved Employees. Based on Defendant’s records, and the Parties’ current assumptions, your Individual Class Payment is estimated to be <<$ >> (less withholding) and your share of the PAGA Penalties is estimated to be <<$ >>. The actual amount you may receive likely will be different and will depend on a number of factors. (If no amount is stated for your share of the PAGA Penalties, then according to Defendant’s records you are not eligible for share of the PAGA Penalties under the Settlement because you didn’t work during the PAGA Period.) The above estimates are based on Defendant’s records showing that you worked << >> workweeks during the Class Period and you worked << >> pay periods during the PAGA Period. If you believe that you worked more workweeks and/or pay periods during either period, you can submit a challenge by the deadline date. See Section 5 of this Notice below. The Court has already preliminarily approved the proposed Settlement and approved this Notice. The Court has not yet decided whether to grant final approval. Your legal rights are affected whether you act or do not act. Read this Notice carefully. You will be deemed to have carefully read and understood it. At the Final Approval Hearing, the Court will decide whether to finally approve the Settlement and how much of the Settlement will be paid to Plaintiff and Plaintiff’s attorneys (“Class Counsel”). The Court will also decide whether to enter a judgment that requires Defendant to make payments under the Settlement and in exchange requires Class Members to give up their rights to assert certain claims against Defendant. If you worked for Defendant during the Class Period and/or the PAGA Period, you have two basic options under the Settlement:
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: 12 / 06 / 2022
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: May , 2018. ▇▇▇▇▇ ▇▇▇▇▇▇▇ 05/24/2018 Dated: May , 2018. Dated: May , 2018. Dated: May , 2018. FALCOLN SUBSIDIARY LLC d/b/a AXISPOINT HEALTH By: Name: Its: Dated: May , 2018. ▇▇▇▇▇ ▇. ▇▇▇▇▇▇ By: Dated: May , 2018. ▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇▇▇▇
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: ▇▇▇▇▇▇▇▇ ▇▇▇▇▇ Dated: Name: ▇▇▇▇ ▇▇▇▇▇ Title: General Counsel DocuSign Envelope ID: 2C764882-0C5E-4E9C-A708-B26C3670FA71 Dated: May 12, 2021 MARA LAW FIRM, PC ▇▇▇▇▇ ▇▇▇▇, Esq. ▇▇▇▇ ▇▇▇▇▇▇, Esq. Attorneys for Plaintiff, on behalf of himself, and all others similarly situated Dated: ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. ▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. ▇▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇▇, Esq. Attorneys for ▇▇▇▇ Industries, Inc. and ▇▇▇▇ Industries Group, Inc. Dated: MARA LAW FIRM, PC Dated: ▇▇▇▇▇ ▇▇▇▇, Esq. ▇▇▇▇ ▇▇▇▇▇▇, Esq. Attorneys for Plaintiff, on behalf of himself, and all others similarly situated ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. ▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. ▇▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇▇, Esq. Attorneys for ▇▇▇▇ Industries, Inc. and ▇▇▇▇ Industries Group, Inc. • A former employee, ▇▇▇▇▇▇▇▇ ▇▇▇▇▇, filed a proposed class action lawsuit against ▇▇▇▇. The lawsuit alleges that ▇▇▇▇ failed to provide employees with lawful meal and rest periods, failed to pay employees all wages owed, failed to reimburse for business expenses, failed to provide lawful paychecks to employees, and failed to pay all wages due at termination of employment. The lawsuit also seeks to recover penalties pursuant to the California Private Attorneys General Act (“PAGA”). ▇▇▇▇ denies all alleged violations and denies liability. The Court has not made a ruling on the merits of the case. The Parties have agreed to settle the claims set forth in the lawsuit. • Your legal rights are affected whether you act or do not act. Read this notice carefully. DO NOTHING Get a settlement payment and give up any rights to ▇▇▇ for the Released Claims (defined below). If you are still employed by ▇▇▇▇ and choose to receive a settlement payment, this will not affect your employment. EXCLUDE YOURSELF Get no payment. This is the only option that allows you to ever be part of any other lawsuit against ▇▇▇▇ about the legal claims and statutory period alleged in this case. OBJECT Write to the Court about why you don’t agree with the settlement. • These rights and options—and the deadlines to exercise them—are explained in this Notice. • The Court still has to decide whether to approve of the settlement. Payments will be made if the Court approves the settlement. Please be patient.
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2019 ▇▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇ Dated: , 2019 ▇▇▇▇ ▇▇▇▇▇▇▇▇ Dated: , 2019 ▇▇▇▇ ▇▇▇▇▇ Dated: , ▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇▇ Dated: , 2019 G6 Hospitality, LLC Name: Authorized to sign on behalf of G6 Hospitality, LLC Dated: , 2019 Motel 6 Operating LP Name: Authorized to sign on behalf of Motel 6 Operating LP Dated: , 2019 ▇▇▇▇▇▇▇▇▇▇ Nordrehaug ▇▇▇▇▇▇▇ ▇▇ ▇▇▇▇▇, LLP By:_ ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇▇▇ Attorneys for Plaintiffs Dated: , 2019 Zakay Law Group, APLC By:_ ▇▇▇▇▇ ▇. ▇▇▇▇▇ Attorneys for Plaintiffs Dated: , 2019 The Law Offices of ▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇ By:_ ▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇ Attorneys for Plaintiffs Dated: , 2019 ▇▇▇▇▇▇ Law Group, APC By:_ ▇▇▇▇▇ ▇▇▇▇▇▇ Attorneys for Plaintiffs Dated: 12/5 , 2019 ▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇ ▇▇▇▇▇ & ▇▇▇▇▇▇▇, P.C. By:_ ▇▇▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇▇▇▇▇▇▇▇▇ Attorneys for Defendants
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel execute this Agreement. Dated: 7/6/2022 , 2022 PLAINTIFF ▇▇▇▇▇ ▇▇▇▇▇ Dated: , 2022 ▇▇▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ LLC Name Representative for ▇▇▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ LLC Dated: , 2022 ▇▇▇▇▇ ▇▇▇▇▇▇▇ CENTRAL PLASTICS Name Representative for ▇▇▇▇▇ ▇▇▇▇▇▇▇ CENTRAL PLASTICS
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: November 04/1,12/02222 ▇▇▇▇▇ ▇▇▇▇▇ Plaintiff on behalf of himself and all others similarly situated DocuSign Envelope ID: AF3F0E41-649F-446A-8996-0159E9E35ACF Dated: November 4 , 2022 LAVI & ▇▇▇▇▇▇▇▇▇▇, LLP ▇▇▇▇▇▇ ▇▇▇▇ ▇▇▇▇ ▇▇▇▇▇▇▇▇▇▇ Attorneys for Plaintiff ▇▇▇▇▇ ▇▇▇▇▇ Dated: November , 2022 KEMBER FLOORING, INC. ▇▇▇ ▇▇▇▇▇▇▇ President Dated: November , 2022 ▇▇▇▇, ▇▇▇▇▇▇, ▇▇▇▇▇▇▇▇ & ▇▇▇▇▇▇▇▇▇▇▇ LLP By: ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇, ▇▇. ▇▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇ Attorneys for Kember Flooring, Inc. DocuSign Envelope ID: AF3F0E41-649F-446A-8996-0159E9E35ACF If you are or were a non-exempt hourly employee who works or worked for Defendant Kember Flooring, Inc. in California, a class action settlement may affect your rights. Plaintiff ▇▇▇▇▇ ▇▇▇▇▇ (“Plaintiff”), on behalf of himself and other similarly situated employees, sued Defendant Kember Flooring, Inc. (“Defendant”) on a class basis for (i) failure to pay minimum wages; (ii) failure to pay overtime wages; (iii) failure to provide meal periods; (iv) failure to provide rest periods; (v) failure to timely pay wages during employment; (vi) failure to provide complete and accurate wage statements;
EXECUTION BY PARTIES AND COUNSEL. The Parties and their counsel hereby execute this Agreement. Dated: , 2019 ▇▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇ Dated: , 2019 ▇▇▇▇ ▇▇▇▇▇▇▇▇ Dated: , 2019 ▇▇▇▇ ▇▇▇▇▇ Dated: , ▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇▇ Dated: , 2019 G6 Hospitality, LLC Name: Authorized to sign on behalf of G6 Hospitality, LLC Dated: , 2019 Motel 6 Operating LP Name: Authorized to sign on behalf of Motel 6 Operating LP Dated: , 2019 ▇▇▇▇▇▇▇▇▇▇ Nordrehaug ▇▇▇▇▇▇▇ ▇▇ ▇▇▇▇▇, LLP By:_ ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇▇▇ Attorneys for Plaintiffs Dated: , 2019 Zakay Law Group, APLC By:_ ▇▇▇▇▇ ▇. ▇▇▇▇▇