Mabry TCPA Settlement

This official website is maintained by the Settlement Administrator supervised by Class Counsel in the action entitled, Johansen v The Northwest Mutal Life Insurance Company, Eric Mabry and Landon Pilcher Case No. 2:21-cv-00036 (the “Action”), pending in the United States District Court for The Southern District of Ohio.




If You are a person in the United States (1) whose telephone numbers were on the National Do Not Call Registry for at least 31 days, (2) but who received more than one telemarketing call from or on behalf of Eric Mabry, (3) within a 12-month period, (4) from four years prior to January 6, 2021, may be a class member.


IF YOU ARE A MEMBER OF THIS CLASS OF PERSONS, YOU SHOULD READ THE NOTICE CAREFULLY BECAUSE IT MAY AFFECT YOUR LEGAL RIGHTS AND OBLIGATIONS.


The information contained on this web page is only a summary of information presented in more detail in the Notice of Class Action And Proposed Settlement (the “Notice”). You may download a full copy of the Notice by clicking here or you may call the Mabry TCPA Settlement Helpline at 877-307-7871 to request a copy of the Notice by mail. Since this website is just a summary, you should review the Notice for additional details.

• A settlement (“Settlement”) has been proposed in the class action lawsuit referenced above pending in the United States District Court for the Southern District of Ohio (“Action”). You may be a class member in the proposed Settlement and may be entitled to participate in the proposed Settlement.

• The United States District Court for the Southern District of Ohio has ordered the issuance of the notice in this Action. The Northwestern Mutual Insurance Company, Eric Mabry and Landon Pilcher (“Defendants”) deny they did anything wrong and has defended themselves throughout the lawsuit. The Court has not decided who is right. Both sides have agreed to settle the dispute to avoid burdensome and costly litigation.

• If the Court gives final approval to the Settlement, Defendants will create a fund of $600,000. If you do not opt out of the settlement, you may be eligible to obtain a share from this fund in the amount of approximately $375 depending on the number of exclusions that are submitted. The value of a Settlement Class Member’s individual award will depend upon the number of Settlement Class Members who exclude themselves.


YOUR LEGAL RIGHTS AND OPTIONS IN THIS SETTLEMENT
Do Not Exclude Yourself From The Settlement: • Be a member of the Settlement Class
• Be eligible to receive an award under the settlement
• Be able to object to the terms of the settlement
• Be bound by judgments and orders in the Action
• Be prohibited from filing suit asserting Released Claims
Exclude Yourself From The Settlement: • Not be a member of the Settlement Class
• Not be eligible to receive an award under the settlement
• Not be able to object to the terms of the settlement
• Not be bound by judgments and orders in the Action
• Not be prohibited from filing suit asserting Released Claims
The Court in charge of this Action has preliminarily approved the Settlement and must decide whether to give final approval to the Settlement. The relief provided to Settlement Class Members will be provided only if the Court gives final approval to the Settlement and, if there are any appeals, after the appeals are resolved in favor of the Settlement. Please be patient.

Please read the Notice carefully. If you have questions, you may call the Mabry TCPA Helpline at 877-307-7871 or email info@MabryTCPASettlement.com.