Claims Covered and Released Sample Clauses

Claims Covered and Released. 4.1 Xxxxxxx’x Release of Proposition 65 Claims
Claims Covered and Released. 5.1 Englander’s Release of Proposition 65 Claims
Claims Covered and Released. 4.1 CRC’s Release of Xxxxxxx
Claims Covered and Released. 4.1 EHA’s Release of DeLallo This Settlement Agreement is a full, final, and binding resolution between EHA, on its own behalf and not on behalf of the public, and DeLallo of any violation of Proposition 65 that was or could have been asserted by EHA, on its own behalf, on behalf of its past and current agents, representatives, attorneys, successors and assignees, against DeLallo and each of its respective parents, subsidiaries, affiliated entities under common ownership, directors, officers, members, employees, attorneys, each upstream entity from whom the Product was purchased by DeLallo and each entity to whom DeLallo directly or indirectly distributes or sells the Product, including, but not limited to, Ralph’s Grocery Company and any other of DeLallo’s downstream distributors, wholesalers, customers, retailers, franchisees, cooperative members and licensees (“Releasees”), based on the failure to warn about exposures to Acrylamide in the Product manufactured, sold or distributed for sale in California by DeLallo before the Effective Date, as alleged in the Notice. In further consideration of the promises and agreements herein contained, EHA on its own behalf and not on behalf of the public, on behalf of its past and current agents, representatives, attorneys, successors, and assignees hereby waives any and all rights it may have to institute or participate in, directly or indirectly, any form of legal action and releases all claims against DeLallo and Releasees including, without limitation, all actions and causes of action, suits, liabilities, demands, obligations, damages, costs, fines, penalties, losses, or expenses including, but not exclusively, investigation fees, expert fees and attorney fees arising under Proposition 65 with respect to the alleged or actual failure to warn about exposures to Acrylamide in the Product manufactured, distributed, sold or offered for sale by DeLallo, before the Effective Date. 4.2 Xxxxxx XxXxxxx Company Inc.’s Release of EHA DeLallo, on its own behalf and on behalf of its past and current agents, representatives, attorneys, successors, and assignees, hereby waives any and all claims against EHA and its attorneys and other representatives, for any and all actions taken or statements made by EHA and its attorneys and other representatives, whether in the course of investigating claims, otherwise seeking to enforce Proposition 65 against it in this matter, or with respect to the Product.
Claims Covered and Released. KASB’s Release of Auto Parts Outlets and Xxxxxx.xxx, Inc.
Claims Covered and Released. 6.1 XxXxxxx’x Release of Noticed and Related Parties
Claims Covered and Released. 5.1 Full, Final and Binding Resolution of Proposition 65 Allegations
Claims Covered and Released. 4.1 EHA’s Release of BCG 4.2 BCG's Release of EHA
Claims Covered and Released. 4.1 Dr. Held’s Release of Proposition 65 Claims