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I <br /> the obligation" includes the requirement that Defendant use its best efforts to anticipate any potential <br /> force Majeure event and use best efforts to address the effects of any potential force Majeure event: (1) as <br /> J <br /> it is occurring. and (2) following the force majeure event, such that the delay is mnlnnized to the greatest <br /> extent possible. "Force Majeure"does not include financial inability to fund or complete the obligation. <br /> 5 <br /> 8. NOTICE <br /> 6 <br /> All submissions and notices required by this Final Judgment shall be sent to: <br /> 7 <br /> For the People: <br /> 8 David J. Irey <br /> Special Deputy District Attorney <br /> 9 Office of the District Attorney of San Joaquin County <br /> 10 222 E. Weber Ave., Room 202 <br /> Stockton,CA 95202 <br /> 11 David.frey@sjcda.org <br /> For Defendant McLane: <br /> Larry Parsons <br /> 1' Vice President, General Counsel <br /> 14 McLane Company, Inc. <br /> 4747 McLane Parkway <br /> 15 Temple,TX 76504 <br /> 16 With a copy to: <br /> 17 Charles H.Abbott III, Esq. <br /> 18 Jenner&Block <br /> 633 W. 5th Street, Suite 3600 <br /> 19 Los Angeles, CA 90071 <br /> 20 Chabbott@Jenner.com <br /> 21 Any Party may change its notice name and address by informing the other party in writing, but no <br /> 22 change is effective until it is received. All notices and other communications required or permitted under <br /> 23 this Final Judgment that are properly addressed as provided in this paragraph are effective upon delivery <br /> 24 if delivered personally or by overnight mail, or are effective five (5)days following deposit in the United <br /> 25 States mail, postage prepaid, if delivered by mail, or the day that electronic mail is sent if sent before 5 <br /> 26 p.m.to the electronic mail addresses of the designated recipients for notice concurrent with sending the <br /> 27 notice by overnight mail. <br /> 28 <br /> 10 <br /> STIPULATION FOR ENTRY OF FINAL JUDGMENT AND PERMANENT INJUtiCTION <br />