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Docusign Envelope ID: D1EF72EC-17B5-459A-93D1-E82ABEFBOE5C <br />Proposed California State -Subdivision Agreement <br />Regarding Distribution and Use of <br />Settlement Funds — Amneal Settlement <br />1. Introduction <br />Pursuant to the Amneal Settlement Agreement, dated as of April 4, 2025, and any revision <br />thereto (the "Amneal Settlement Agreement"), including Section V and Exhibit O, the State of <br />California proposes this agreement (the "CA Amneal Allocation Agreement") to govern the <br />allocation, distribution, and use of Settlement Fund payments made to California pursuant to <br />Sections IV and V of the Amneal Settlement Agreement. For the avoidance of doubt, this <br />agreement does not apply to payments made pursuant to Sections IX or XIV of the Amneal <br />Settlement Agreement. <br />Pursuant to Exhibit O, Paragraph 4, of the Amneal Settlement Agreement, acceptance of this CA <br />Amneal Allocation Agreement is a requirement to be an Initial Participating Subdivision. <br />2. Definitions <br />a) CA Participating Subdivision means a Participating Subdivision that is also (a) a <br />Plaintiff Subdivision and/or (b) a Primary Subdivision with a population equal to or <br />greater than 10,000. For the avoidance of doubt, eligible CA Participating <br />Subdivisions are those California subdivisions listed in Exhibit C (excluding <br />Litigating Special Districts) and/or Exhibit I to the Amneal Settlement Agreement. <br />b) CA Litigating Special District means a Litigating Special District located in <br />California. CA Litigating Special Districts include Central California Alliance for <br />Health, Health Plan of San Joaquin, Santa Barbara San Luis Obispo Regional Health <br />Authority d/b/a Cencal Health, and Ventura County Medi-Cal Managed Care <br />Commission d/b/a Gold Coast Health Plan. <br />c) Plaintiff Subdivision means a Subdivision located in California, other than a CA <br />Litigating Special District, that filed a lawsuit, on behalf of the Subdivision and/or <br />through an official of the Subdivision on behalf of the People of the State of <br />California, against one or more Opioid Defendants prior to October 1, 2020. <br />d) Opioid Defendant means any defendant including but not limited to Alvogen, Inc. <br />Amneal Pharmaceuticals LLC; Apotex Corp., Hikma Pharmaceuticals USA Inc. f/k/a <br />West -Ward Pharmaceuticals Corp.; Indivior Inc.; Viatris Inc. ("Mylan"); Sun <br />Pharmaceutical Industries, Inc.; Zydus Pharmaceuticals (USA) Inc.; Kroger Co., <br />Teva Pharmaceutical Industries Ltd., Allergan Finance, LLC, Allergan Limited, CVS <br />Health Corporation, CVS Pharmacy, Inc., Walgreen Co., Walmart Inc., Johnson & <br />Johnson, Janssen Pharmaceuticals, Inc., Purdue Pharma L.P., Cardinal Health, Inc., <br />Cencora, Inc. f/lda AmerisourceBergen Corporation, McKesson Corporation, Dr, <br />Richard S. Sackler, Beverly Sackler, Jonathan Sackler, David Sackler, Marianna <br />Sackler, Theresa Sackler, Ilene Sackler Lefcourt, Dr. Kathe Sackler, and Mortimer <br />