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Submission: On January 19 via api from CA — Scanned from US
Effective URL: https://www.assistancefeesettlement.com/
Submission: On January 19 via api from CA — Scanned from US
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Please enable JavaScript to load the website. Thank-you. ELGINDY ET AL. V. AGA SERVICE CO. ET AL., CASE NO. 4:20-CV-06304-JST (N.D. CAL.) TASAKOS V. AGA SERVICE CO. ET AL., CASE NO. 2:22-CV-00433-RSM (W.D. WASH.) MENUSubmit Claim * Home * Submit Claim * Opt Out * Important Documents * FAQs * Contact ATTENTION CALIFORNIA AND WASHINGTON PURCHASERS OF ALLIANZ GLOBAL ASSISTANCE TRAVEL AND EVENT PROTECTION PLANS BETWEEN SEPTEMBER 4, 2016 AND SEPTEMBER 30, 2023 The notice may affect your rights. Please read it carefully. A federal court has authorized the notice. This is not a solicitation from a lawyer. IMPORTANT DATES January 25, 2024 Claim Deadline January 25, 2024 Exclusion Deadline January 25, 2024 Objection Deadline February 22, 2024 at 2:00 PM PST Final Approval Hearing • This Notice concerns the cases Elgindy et al. v. AGA Service Co. et al., No. 4:20-cv-06304 (U.S. District Court, Northern District of California) (the “Elgindy Action”) and Tasakos v. AGA Service Co. et al., No. 2:22-cv-00433 (U.S. District Court, Western District of Washington) (the “Tasakos Action”) (collectively, the “Actions”). • This class action settlement (the “Settlement”) will resolve the Actions against AGA Service Company (d/b/a Allianz Global Assistance), Jefferson Insurance Company, and BCS Insurance Company (collectively, “Defendants”). In the Actions, Plaintiffs allege that Defendants’ sales were unlawful, unfair, and/or deceptive because the plan prices for Defendants’ Travel and/or Event Protection Plans include Assistance Fees for “non-insurance assistance services.” Defendants deny any wrongdoing. They contend that they have complied with the law in all respects regarding Assistance Fees collected in relation to the assistance services included with Defendants’ protection plans. • To settle the Actions on behalf of all Defendants, AGA has agreed to a Settlement Amount of $19.75 million from which Cash Payments may be made to affected Class Members. • The lawyers who brought the lawsuit have asked the Court to set aside some of the Settlement Amount for reimbursement of their out-of-pocket expenses, up to a maximum of $205,000, and up to 25% of the Settlement Amount in attorneys’ fees for investigating the facts, litigating the case, and negotiating the Settlement. They have also asked for $5,000 as an Incentive Award for each of the Plaintiffs who brought the Actions. If the Court approves these requests, these amounts would be paid to Plaintiffs and the lawyers out of the Settlement Fund. • Your legal rights may be affected whether or not you act. Read the Notice carefully. The Notice summarizes the proposed Settlement. For the precise terms and conditions of the Settlement, please see the Settlement Agreement available here, or contact the Settlement Administrator at Assistance Fee Settlement Administrator, 1650 Arch Street, Suite 2210, Philadelphia, PA 19103 or by email info@assistancefeesettlement.com or by telephone at 1-844-665-0015. Please do not telephone the Court of the Court Clerk's office to inquire about this settlement or the claim process. YOUR RIGHTS AND OPTIONS IN THIS SETTLEMENTSubmit a Claim Form The only way to receive a Cash Payment under the Settlement. Opt-Out Exclude yourself from the Actions and the Settlement. This is the only option that allows you to ever bring or join another lawsuit raising the same legal claims against Defendants. You will receive no Cash Payment from this Settlement and will be excluded from the Settlement. File an Objection Write to the Court about any aspect of the Settlement you don’t like or you don’t think is fair, adequate, or reasonable. (If you object to any aspect of the Settlement, you must submit a written objection by the Objection Deadline.) Do Nothing You will not receive a Cash Payment. Also, you will have no right to sue Defendants later for the Released Claims. © 2024 | Privacy Policy