Common Contracts

3 similar Settlement and Release Agreement contracts

SETTLEMENT AND RELEASE AGREEMENT
Settlement and Release Agreement • January 21st, 2025

This Settlement and Release Agreement (the “Agreement”) is entered into by the California Insurance Commissioner, Ricardo Lara, on behalf of the People of the State of California (“Commissioner”), by and through the California Department of Insurance (“CDI”; together with the Commissioner, the “CDI Parties”), Plaintiff-Relator Brian Williams (“Relator”), Relator’s counsel at Cotchett, Pitre & McCarthy, LLP (“Relator’s Attorneys”), and Defendants Safelite Group, Inc., Safelite Solutions LLC, and Safelite Fulfillment, Inc. (collectively, “Safelite” or the “Defendants”). The Commissioner, Relator, Relator’s Attorneys, and Safelite are hereinafter individually referred to as a “Party” and collectively referred to as the “Parties.”

SETTLEMENT AND RELEASE AGREEMENT
Settlement and Release Agreement • January 21st, 2025

This Settlement and Release Agreement (the “Agreement”) is entered into by the State of Illinois, by and through Kwame Raoul, in his official capacity as Attorney General of Illinois (“the Attorney General”) and Eileen O’Neill Burke, in her official capacity as the Cook County State’s Attorney (“State’s Attorney” and, collectively with the Attorney General, the “State”), Plaintiff- Relator Brian Williams (“Relator”), Relator’s counsel at Cotchett, Pitre & McCarthy, LLP (“Relator’s Attorneys”), and Defendants Safelite Group, Inc., Safelite Solutions LLC, and Safelite Fulfillment, Inc. (collectively, “Safelite” or the “Defendants”). The Attorney General, the State’s Attorney, Relator, Relator’s Attorneys, and Safelite are hereinafter individually referred to as a “Party” and collectively referred to as the “Parties.”

SETTLEMENT AND RELEASE AGREEMENT
Settlement and Release Agreement • December 20th, 2024

This Settlement and Release Agreement (the “Agreement”) is entered into by the California Insurance Commissioner, Ricardo Lara, on behalf of the People of the State of California (“Commissioner”), by and through the California Department of Insurance (“CDI”; together with the Commissioner, the “CDI Parties”), Plaintiff-Relator Brian Williams (“Relator”), Relator’s counsel at Cotchett, Pitre & McCarthy, LLP (“Relator’s Attorneys”), and Defendants Safelite Group, Inc., Safelite Solutions LLC, and Safelite Fulfillment, Inc. (collectively, “Safelite” or the “Defendants”). The Commissioner, Relator, Relator’s Attorneys, and Safelite are hereinafter individually referred to as a “Party” and collectively referred to as the “Parties.”