Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day, 2023. If you stay in the Settlement, you may object to it by Month Day, 2023. A more detailed notice is available to explain how to exclude yourself or object. Please visit the website or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 2023, the Court will hold a Fairness Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ fees, costs, and expenses not to exceed $2,500,000 and an incentive award of $10,000 for the two Representative Plaintiffs. The Motion for attorneys’ fees will be posted on the website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇▇▇▇▇ v. Progressive Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New York, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is required. We will use this information to contact you and process your claim. It will not be used for any other purpose. If any of the following information changes, you must promptly notify the Settlement Administrator using the contact section of the Settlement Website or by writing to the address above.
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive the Met Opera for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day, 20232024. If you stay in the Settlement, you may object to it by Month Day, 20232024. A more detailed notice is available to explain how to exclude yourself or object. Please visit the Settlement website (▇▇▇.▇▇▇▇▇▇.▇▇▇) or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 20232024, the Court will hold a Fairness Final Approval Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ fees, costs, and expenses not to exceed $2,500,000 and an incentive award of $10,000 250,000, and service awards of $2,500 for the two Representative three named Plaintiffs. The Motion motion for attorneys’ fees will be posted on the Settlement website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing Final Approval Hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇Exhibit B UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF NEW YORK This is not junk mail, an advertisement, or a solicitation from a lawyer. • A settlement has been proposed in a class action lawsuit against the Metropolitan Opera Association, Inc. (“the Met Opera”) relating to the unauthorized access of certain computer systems at the Met Opera between September 30, 2022 and December 6, 2022 (the “Met Opera Data Security Incident”). The computer systems accessed may have contained some combination of name, date of birth, financial account information, driver’s license number, passport number, Social Security number, and/or tax identification number that you provided to the Met Opera. • If you received a notification from the Met Opera on or about May 3, 2023, you may be included in this Settlement as a “Settlement Class Member.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇▇▇▇▇ v. Progressive ” • The Settlement provides payments to Settlement Class Members who submit valid claims for reimbursement of certain expenses caused by the Met Opera Data Security Incident. Settlement Class Members can also submit a claim for credit monitoring and identity theft protection services. The Settlement also provides for continuing improvements to be made to the Met Opera’s data security systems. • Your legal rights are affected regardless of whether you do or do not act. Read this notice carefully. Submit a Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TOBY: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New York, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇DEADLINE The only way you can receive payment and/or credit monitoring services is if you submit a valid claim form.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is required. We will use this information to contact you and process your claim. It will not be used for any other purpose. If any of the following information changes, you must promptly notify the Settlement Administrator using the contact section of the Settlement Website or by writing to the address above.
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefitsClass, and you will be bound by the decisions of the Court and give up your rights to sue Progressive ▇▇▇ ▇▇▇▇▇▇ for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by [Month Day, 2023]. If you stay in the Settlement, you may object to it by [Month Day, 2023]. A more detailed notice is available to explain how to exclude yourself or object. Please visit the website below or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 2023[DATE], the Court will hold a Fairness Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ feesfees of $2,375,000, costscosts and expenses, and expenses not to exceed $2,500,000 and an incentive award of $10,000 5,000 for the two Representative PlaintiffsPlaintiff. The Motion for attorneys’ fees will be posted on the website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇A Settlement has been reached in a class action lawsuit concerning Dream Key annual passes sold to the Disneyland Resort by ▇▇▇▇ v. Progressive Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New YorkDisney Parks and Resorts U.S., NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is requiredInc. (“WDPR”). We will use this information The lawsuit claims WDPR made misrepresentations in marketing the Dream Key pass and breached its contracts with Dream Key pass holders when it promised purchasers that they could make reservations to contact you access to Disney’s Disneyland Park and process your claimCalifornia Adventure Park with “no blockout dates” and whenever park reservations were available but failed to make reservations as promised. It will not be used for any other purpose. If any Disney denies all of the following information changes, claims and denies any liability or wrongdoing. WHO IS INCLUDED? Disney’s records show you must promptly notify the Settlement Administrator using the contact section likely are a member of the Settlement Website or Class. The Settlement Class includes all persons who purchased a Dream Key, which were sold by writing to the address aboveWDPR between August 25, 2021 and October 25, 2021.
Appears in 1 contract
Sources: Class Action Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive Defendant for the claims resolved by this Settlement. If you do not want You may object to be legally bound by the Settlement, you must exclude yourself Settlement by Month Day, 2023. If you stay in the Settlement, you may object to it by Month Day, 20232022. A more detailed notice is available to explain how to exclude yourself or object. Please visit the website or call 1-XXX-XXX- XXX-XXXX for a copy of the more detailed notice. On Month Day, 20232022, the Court will hold a Fairness Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ fees, costsfees of $400,000 and reasonable litigation costs and expenses, and expenses not to exceed $2,500,000 and an incentive a service award of $10,000 3,000 for each of the two Representative Plaintiffs. The Motion for attorneys’ fees will be posted on the website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX COMMONWEALTH OF MASSACHUSETTS WORCESTER, ss. SUPERIOR COURT DEPARTMENT CIVIL SESSION B ▇▇▇▇▇ ▇▇▇▇▇▇ v. Progressive Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: ▇▇and ▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New York, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇.’▇▇▇▇▇▇▇▇▇▇▇▇▇▇, Individually and on behalf of all others similarly situated, Plaintiffs, v. UMASS MEMORIAL HEALTH CARE, INC.▇▇▇ All information listed below is required, Defendant. We will use this information Case No. 2185 CV 01210 The Court, having considered Plaintiffs’ Assented to contact you and process your claim. It will not be used Motion for any other purpose. If any Preliminary Approval of the following information changesClass Action Settlement (“Motion for Preliminary Approval”), you must promptly notify the supporting Memorandum, the Parties’ Settlement Administrator using Agreement, dated October 2022, the contact section of proposed Postcard Notice (also known as the Settlement Website or by writing to “Short-Form Notice”), Long-Form Notice, and Claim Form, and being otherwise fully advised in the address above.premises, finds and orders as follows:
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive the Met Opera for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day, 20232024. If you stay in the Settlement, you may object to it by Month Day, 20232024. A more detailed notice is available to explain how to exclude yourself or object. Please visit the Settlement website (▇▇▇.▇▇▇▇▇▇.▇▇▇) or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 20232024, the Court will hold a Fairness Final Approval Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ fees, costs, and expenses not to exceed $2,500,000 and an incentive award of $10,000 250,000, and service awards of $2,500 for the two Representative three named Plaintiffs. The Motion motion for attorneys’ fees will be posted on the Settlement website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing Final Approval Hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇This is not junk mail, an advertisement, or a solicitation from a lawyer. • A settlement has been proposed in a class action lawsuit against the Metropolitan Opera Association, Inc. (“the Met Opera”) relating to the unauthorized access of certain computer systems at the Met Opera between September 30, 2022 and December 6, 2022 (the “Met Opera Data Security Incident”). The computer systems accessed may have contained some combination of name, date of birth, financial account information, driver’s license number, passport number, Social Security number, and/or tax identification number that you provided to the Met Opera. • If you received a notification from the Met Opera on or about May 3, 2023, you may be included in this Settlement as a “Settlement Class Member.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇▇▇▇▇ v. Progressive ” • The Settlement provides payments to Settlement Class Members who submit valid claims for reimbursement of certain expenses caused by the Met Opera Data Security Incident. Settlement Class Members can also submit a claim for credit monitoring and identity theft protection services. The Settlement also provides for continuing improvements to be made to the Met Opera’s data security systems. • Your legal rights are affected regardless of whether you do or do not act. Read this notice carefully. Submit a Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TOBY: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New York, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇DEADLINE The only way you can receive payment and/or credit monitoring services is if you submit a valid claim form.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is required. We will use this information to contact you and process your claim. It will not be used for any other purpose. If any of the following information changes, you must promptly notify the Settlement Administrator using the contact section of the Settlement Website or by writing to the address above.
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive ▇▇▇ Overlake for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day, 20232021. If you stay in the Settlement, you may object to it by Month Day, 20232021. A more detailed notice is available to explain how to exclude yourself or object. Please visit the website or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 20232021, the Court will hold a Fairness Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ fees, costs, and expenses not to exceed of $2,500,000 195,000 and an incentive a service award of $10,000 1,000 for the two Representative PlaintiffsPlaintiff. The Motion for attorneys’ fees will be posted on the website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇▇▇▇▇ v. Progressive Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New York, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLE, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇ ▇▇▇ ▇▇▇.▇▇ ▇▇ ▇▇▇▇▇▇▇▇▇▇, ▇▇▇▇.▇▇▇ All OF KING • A settlement has been proposed in a class action lawsuit against Overlake Hospital Medical Center and Overlake Medical Clinics, LLC (collectively “Overlake”) relating to a cyberattack against Overlake’s computer systems that occurred in December 2019 (the “Data Incident”). An investigation by Overlake could not rule out that the third parties accessed specific information listed below stored in the email accounts, which may have included one or more of the following: demographic information (such as full name, date of birth, phone number, address), health insurance information (such as name of insurer or insurance ID number), and certain health information (such as diagnosis and treatment information) related to the care received at Overlake. • If you received a notification from Overlake, you may be included in this Settlement as a “Settlement Class member.” • The Settlement provides payments to people who submit valid claims for out-of-pocket expenses and charges that were incurred and plausibly arose from the Data Incident, and for other extraordinary unreimbursed monetary losses. • Your legal rights are affected regardless of whether you do or do not act. Read this notice carefully. YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT SUBMIT A CLAIM FORM This is requiredthe only way you can get payment. We will use this information to contact you and process your claim. It EXCLUDE YOURSELF FROM THE SETTLEMENT You will not get any payment from the Settlement, but you also will not release your claims against Overlake. This is the only option that allows you to be used for part of any other purpose. If any of lawsuit against Overlake or related parties for the following information changes, you must promptly notify the Settlement Administrator using the contact section of the Settlement Website or legal claims resolved by writing to the address abovethis Settlement.
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefitsbenefits other than the credit monitoring, and you will be bound by the decisions of the Court and give up your rights to sue Progressive Advent Health for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day_ , 2023202 . If you stay in the Settlement, you may object to it by Month Day, 2023202 . A more detailed notice is available to explain how to exclude yourself or object. Please visit the website or call 1-XXX-XXX-XXXX at www. .com for a copy of the more detailed notice. On Month Day, 2023202 , the Court will hold a Fairness Final Approval Hearing to determine whether to approve the Settlement, Settlement Class Counsel’s request for payment of attorneys’ fees, costs, and expenses not to exceed $2,500,000 and an incentive award in the amount of $10,000 255,000 and named representative Service Award for the two Class Representative PlaintiffsPlaintiff in the amount of $1,500. The Motion for attorneys’ fees will Details about how to attend the hearing may be posted found on the website after it is filedsettlement website. You or your own do not need to attend the hearing to make a claim. www. .com This is not a solicitation from a lawyer, if you have onejunk mail, may ask to appear and speak at the hearing at your own cost, but you do not have toor an advertisement. This is only A court authorized this Notice. A proposed Settlement has been reached in a summary. For more information, call or visit the website below. class action lawsuit known as J. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX ▇▇▇▇▇▇▇▇ v. Progressive Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: ▇▇▇▇▇▇▇▇ v. Progressive c/▇ ▇▇▇▇▇ Settlement Administration P.O. Box XXXXX New YorkAdvent Health Partners, NY XXXXXInc., Case No. 3:22-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLEcv-00287 (D. Tenn. 2022). This lawsuit arises out of a targeted cyber-attack causing disruption to Advent Health’s computer systems in September 2021, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT ▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is required. We will use this information to contact you and process your claim. It will not be used for any other purpose. If any which resulted in the compromise of the personally identifiable information (“PHI”) of 61,072 individuals (the “Data Breach”). The potentially compromised data in the Data Breach included individual’s first and last names, Social Security numbers, drivers’ license information, dates of birth, health insurance information, medical treatment information, and financial account information. Advent Health notified Settlement Class Members about the Data Breach in March 2022, at the earliest. All Settlement Class Members who timely submit claims can receive the following information changes, you must promptly notify benefits from the Settlement Administrator using the contact section of the Settlement Website or by writing to the address above.Settlement:
Appears in 1 contract
Sources: Settlement Agreement
Other Options. If you do nothing, you will remain in the class, you will not be eligible for benefits, and you will be bound by the decisions of the Court and give up your rights to sue Progressive ▇▇▇ ▇▇▇▇▇▇▇ for the claims resolved by this Settlement. If you do not want to be legally bound by the Settlement, you must exclude yourself by Month Day, 20232022. If you stay in the Settlement, you may object to it by Month Day, 20232022. A more detailed notice is available to explain how to exclude yourself or object. Please visit the website or call 1-XXX-XXX-XXXX for a copy of the more detailed notice. On Month Day, 20232022, the Court will hold a Fairness Hearing to determine whether to approve the Settlement, Class Counsel’s request for attorneys’ feesfees up to $300,000, costs, and reimbursement of Class Counsel expenses not to exceed $2,500,000 15,000, and an incentive a service award of $10,000 for to be split equally by the two Representative Plaintiffs. The Motion for attorneys’ fees will be posted on the website after it is filed. You or your own lawyer, if you have one, may ask to appear and speak at the hearing at your own cost, but you do not have to. This is only a summary. For more information, call or visit the website below. ▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇ 1-XXX-XXX-XXXX FILED DATE: 7/11/2022 8:54 PM 2021CH06274 A settlement has been proposed in a class action lawsuit against ▇▇▇▇▇▇▇ & ▇▇▇▇▇▇, L.L.P. (“Bansley”) relating to cyberattack against ▇▇▇▇▇▇▇’▇ v. Progressive computer systems that occurred in 2020 (the “Data Incident”). The computer systems possibly affected by the Data Incident potentially contained certain personal information (such as names, dates of birth, Social Security numbers, driver’s license or state-issued identification numbers, passport numbers, tax identification numbers, military identification numbers, financial account numbers, payment card numbers, and/or personal health information) relating to current and former Bansley clients. FILED DATE: 7/11/2022 8:54 PM 2021CH06274 If you were sent notification from Bansley of the Data Incident, you are included in this Settlement as a “Settlement Class member.” The Settlement provides payments to people who submit valid claims for out-of-pocket expenses and charges that were incurred and plausibly arose from the Data Incident, for other extraordinary unreimbursed monetary losses and for reimbursement for time spent dealing with the Data Incident. The Settlement also provides for identity theft protection services. Your legal rights are affected regardless of whether you do or do not act. Read this notice carefully. Submit a Claim Form TO SUBMIT A VALID CLAIM THIS CLAIM FORM MUST BE POSTMARKED BY xxxxxxxxxxx AND RETURNED TO: This is the only way you can get payment. Exclude Yourself FROM THE Settlement You will not get any payment from the Settlement, but you also will not release your claims against ▇▇▇▇▇▇▇▇ v. Progressive c/▇ . This is the only option that allows you to be part of any other lawsuit against ▇▇▇▇▇▇▇ or related parties for the legal claims resolved by this Settlement. Object to the Settlement Administration P.O. Box XXXXX New YorkWrite to the Court with reasons why you do not agree with the Settlement. Go to the Final Fairness Hearing You may ask the Court for permission for you or your attorney to speak about your objection at the Final Fairness Hearing. Do Nothing You will receive nothing from this Settlement and you will give up certain legal rights. Submitting a claim form is the only way to obtain benefits from this Settlement. FILED DATE: 7/11/2022 8:54 PM 2021CH06274 These rights and options—and the deadlines to exercise them—are explained in this Notice. For complete details, NY XXXXX-XXXX IF YOU WOULD LIKE TO RECEIVE YOUR PAYMENT VIA ZELLEview the Settlement Agreement, PAYPAL, VIRTUAL MASTERCARD OR VENMO, PLEASE SUBMIT YOUR CLAIM ONLINE AT available at ▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ All information listed below is required▇, or call 1-XXX- XXX-XXXX. We The Court in charge of this case still has to decide whether to grant final approval the Settlement. Payments will use this information to contact you and process your claim. It will not only be used for any other purpose. If any of made after the following information changes, you must promptly notify the Settlement Administrator using the contact section Court grants final approval of the Settlement Website or by writing to the address above.and after any appeals are resolved. FILED DATE: 7/11/2022 8:54 PM 2021CH06274 Basic Information Page 3
Appears in 1 contract
Sources: Settlement Agreement