REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS Sample Clauses
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. Class Members may elect to exclude themselves from this Settlement, relinquishing their rights to benefits under this Settlement Agreement. A Class Member wishing to exclude himself/herself from the Settlement must send to the Settlement Administrator his or her own, personally signed letter or request including (i) his/her name, (ii) address, (iii) telephone number,
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. Any member of the Settlement Class that wishes to be excluded (“opt out”) from the Settlement Class must send a written Request for Exclusion to the Claims Administrator, so that it is received by the Claims Administrator at the address indicated in the Notice on or before the close of the opt out period. The Request for Exclusion shall fully comply with the requirements set forth in the Settlement Agreement. Members of the Settlement Class may not exclude themselves by filing Requests for Exclusion as a group or class, but must in each instance individually and personally execute a Request for Exclusion and timely transmit it to the Claims Administrator.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. 13. Each person wishing to opt out of the Settlement Class must sign and timely mail written notice of such intent to the designated address established by the Settlement Administrator. The written notice must clearly manifest an intent to be excluded from the Settlement Class. To be effective, written notice must be postmarked no later than 75 days after the date of entry of this Order.
14. Persons who submit valid and timely notices of their intent to be excluded from the Settlement Class shall neither receive any benefits of nor be bound by the terms of the Settlement.
15. Persons falling within the definition of the Settlement Class who do not timely and validly request to be excluded from the Settlement Class shall be bound by the terms of the Settlement, including its releases, and all orders entered by the Court in connection therewith.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. Each person wishing to opt out of the Settlement Class must individually sign and 3 timely mail written notice of such intent to the Settlement Administrator at the address set forth 4 in the Class Notice. The written notice must clearly manifest the Settlement Class Member’s 5 intent to be excluded from the Settlement Class. To be effective, written notice must be 6 postmarked no later than 45 days after the Class Notice Date.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. Class Members may elect to exclude themselves from this Settlement, relinquishing their rights to benefits under this Settlement Agreement. A Class Member wishing to exclude himself/herself from the Settlement must send to the Settlement Administrator his or her own, personally signed letter or request (or, where appropriate due to disability, incapacity or other conditions, a signed letter or request from a Class Member’s conservator, custodian, or person with applicable power of attorney along with documentation establishing such authority) including (i) his/her name, (ii) address, (iii) telephone number, (iv) model and year of vehicle(s), (v) the VIN number of the vehicle(s), and (vi) a clear statement communicating that he/she elects to be excluded from the Settlement Class. Subject to the above conditions, a request signed only by a representative or attorney for the Class Member is not valid. A single written letter or request for exclusion submitted on behalf of more than one Class Member will be deemed invalid; provided, however, that an exclusion request received from one Class Member will be deemed and construed as a request for exclusion by all co-owners or co-lessees of the vehicle. Mass or class opt-outs shall not be allowed. No Class Member shall be deemed opted-out of the Settlement Class through any purported “mass” or “class” opt-outs.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. 57. Persons or entities in the Settlement Class may elect to opt out of the settlement, relinquishing their rights to benefits hereunder; provided, however, that any such person or entity who or which owns or operates multiple Truck Stop or Retail Fueling Facility locations may not opt out only some but not all such locations from the Settlement Class. For avoidance of doubt, that means that any such persons or entities who or which operate multiple Truck Stop or Retail Fueling Facility locations must remain fully in the Settlement Class, or fully exclude itself and all of its locations from the settlement.
58. Opt-Outs will not release their claims pursuant to this Settlement Agreement. Any member of the Settlement Class wishing to opt out of the settlement must send to the Settlement Administrator a letter including its name, address, and telephone number and providing a clear statement communicating that it elects to be excluded from the Settlement Class, does not wish to be a Settlement Class Member, and elects to be excluded from any judgment entered pursuant to the Settlement. Any request for exclusion or opt out must be postmarked on or before the opt-out deadline provided in the Court’s Preliminary Approval Order. The date of the postmark on the return mailing envelope shall be the exclusive means used to determine whether a request for exclusion has been timely submitted.
59. Any Opt-Out may not file an objection to the settlement and shall be deemed to have waived any rights or benefits under this settlement.
60. Not later than five (5) business days after the deadline for submission of requests for exclusion or opt out, the Settlement Administrator shall provide to Plaintiffs’ Class Counsel a complete list of Opt-Outs together with copies of the opt-out requests and any other related information. Plaintiffs’ Class Counsel shall provide the complete list of Opt-Outs with copies of the opt-out requests and any other information relating to Opt-Outs furnished to Plaintiffs’ Class Counsel by the Settlement Administrator within two (2) business days of receiving them to Defense Counsel.
61. Any member of the Settlement Class who does not file a valid and timely written request for exclusion as provided in this Section shall be bound by all subsequent proceedings, orders and judgments in the Actions, including, but not limited to, the Release, the Final Order, and the Final Judgment, even if such Settlement Class Member has litigation pending or subse...
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. Requests for Exclusion from the Settlement Class shall list the name, address and social security number or taxpayer identification number of the person seeking exclusion.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. 12. Each Person wishing to opt out of the Settlement Class shall sign (individually, or, if the Person opting out is less than 18 years of age, through the signature of a parent, legal guardian or other legal representative) and timely mail written notice of such intent to the designated Post Office box established by the Settlement Administrator. The written notice must clearly manifest an intent to be excluded from the Settlement Class. To be effective, written notice must be postmarked no later than [Month, , 20 ] (the “Opt-Out Date”).
13. Persons who submit valid and timely notices of their intent to be excluded from the Settlement Class shall neither receive any benefits of nor be bound by the terms of the Settlement.
14. Persons falling within the definition of the Settlement Class who do not timely and validly request to be excluded from the Settlement Class shall be bound by the terms of the Settlement and all orders entered by the Court in connection therewith.
15. Each Settlement Class Member wishing to object to the Settlement shall submit a timely written notice of his or her objection. Such notice shall state: (i) the objector’s full name, address, and email address; (ii) information identifying the
16. Unless otherwise ordered by the Court, any Settlement Class Member who does not timely object in the manner prescribed above shall be deemed to have waived all such objections and shall forever be foreclosed from making any objection to the fairness, adequacy, or reasonableness of the Settlement, the Order and Final Judgment approving the Settlement, and Lead Class Counsels` application for an award of attorneys’ fees, costs, expenses, and Representative Plaintiff service awards.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. 5.1. Opt-Out Forms. The Email, Mail, and Website Notice shall advise all Settlement Class Members of their right to exclude themselves from the Settlement. This Settlement Agreement will not bind Settlement Class Members who exclude themselves from the Settlement.
REQUESTS FOR EXCLUSION FROM THE SETTLEMENT CLASS. A Person may opt out of the Settlement Class by requesting exclusion on or before the Exclusion Deadline. To request exclusion, the Person must write to the Settlement Administrator at the address provided in the Notice stating a request to “opt out” or be “excluded” from the Settlement Class. In order to be effective, the request must (i) be signed by the Person making the request; (ii) include the statement, “I wish to exclude myself from the Settlement Class” or “I wish to opt out of the Settlement Class”; (iii) include the case name, case number, and jurisdiction; and (iv) be received on or before the Exclusion Deadline. Each request for exclusion shall be made individually by the Person requesting the opt-out or exclusion; no generic or “mass” opt-outs shall be allowed. The Settlement Administrator shall process requests for exclusion received pursuant to this Section 9.1 and promptly provide to Defense Counsel and Class Counsel copies thereof upon receipt. Prior to the entry of the Final Approval Order, any Person who has elected to opt out may withdraw that election by notifying the Settlement Administrator in writing at the address provided in the Notice and including the statement “I wish to be a member of the Class and to withdraw my notice of exclusion from the class.” The Settlement Administrator shall process withdrawals of exclusion requests received pursuant to this Section 9.1 and promptly provide to Defense Counsel and Class Counsel copies thereof upon receipt.