In re Broiler Chicken Grower Antitrust Litigation No. II
(Perdue and Tyson Settlement)

Case No. 6:20-md-02977-RJS-CMR

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF OKLAHOMA

Update December 2022

If you received a distribution payment and you are unable to cash it due to the name on the check, please mail your check back to the Administrator along with a note as to why you are returning your check (i.e. you are requesting a name change), and provide documentation that supports your request. For example, if you received a check in the name of your farm, but your farm no longer exists, you can provide dissolution paperwork. If you have a sole proprietorship and cannot cash a check in the name of your existing farm/entity or if your farm is the dba name, please provide documents that reflect your affiliation with the farm. If a payment is in the name of a deceased family member, you can provide us with a copy of the death certificate and indicate to whom the payment should be made. Please be sure to make copies of all original documents before mailing. You may mail the payment and related note and documentation to: In re Broiler Chicken Grower Antitrust Litigation, Attn: Reissue Requests, 1650 Arch Street, Suite 2210, Philadelphia, PA 19103. If you have any questions, you may contact the Administrator by email at info@broilergrowersantitrustsettlement.com or by phone at 1-833-907-3700

Update November 2022

Distribution payments are being mailed out beginning on November 21, 2022 and concluding on November 22, 2022. Please allow time for the payment to reach you. Once your payment arrives, please be sure to cash the check promptly. The check will be void 90 days after the date of issue. If you do not cash your check within 90 days of issuance, you will irrevocably forfeit all recovery from the Settlements. After 30 days, if you do not receive your mailed check, you may contact the Administrator by email at info@broilergrowersantitrustsettlement.com or by phone at 1-833-907-3700 for assistance. Please be patient while the Administrator works to respond to your request.

If You Were Paid to Provide Broiler Grow-Out Services At Any Time Between January 27, 2013, and December 31, 2019, Two Class Action Settlements Totaling $35,750,000 May Affect Your Legal Rights.

Important Dates

December 6, 2021 — Objections to the Settlement and/or to Class Counsel’s Request for Attorneys’ Fees and Costs and Incentive Awards Must Be Postmarked By This Date

December 6, 2021 — Requests for Exclusion From the Settlement Must Be Postmarked By This Date

February 18, 2022 at 10:00 a.m. CT — Fairness Hearing (click here for Zoom hearing information)

April 10, 2022 — Claim Forms Must Be Submitted Online By This Date or Postmarked By This Date if Submitted By Mail

SUMMARY OF YOUR LEGAL RIGHTS AND OPTIONS DEADLINE

RECEIVE AN AUTOMATIC PAYMENT

If you received a Notice of Class Action Settlement with a Pre-Populated Claim Form that contains information about the amount you were paid by Defendants and/or Alleged Co-Conspirators for Broiler Grow-Out Services during the Class Period (“pre-populated payment information”), you will receive a payment from the Settlement Funds automatically and you do not need to submit the Pre-Populated Claim Form or do anything else to receive a Settlement payment.

If you disagree with the pre-populated payment information in the Pre-Populated Claim Form and wish to challenge or correct it, you have the right to submit a Claim Form with corrected information postmarked by April 10, 2022. For more information, see Question 9.

If you do not submit an updated Claim Form with corrected information postmarked by April 10, 2022, the pre-populated payment will be deemed accepted and you will be compensated based on that information.

By receiving a payment, you give up the right to sue Tyson and Perdue in a separate lawsuit related to the legal claims these Settlements resolve. Please see Question 16, which describes the release of claims in this action.

April 10, 2022 (to dispute Pre-Populated payment information)

SUBMIT A CLAIM

If you are a member of the Settlement Classes and received an Unpopulated Claim Form without pre-populated payment information, you must complete and submit an Unpopulated Claim Form and either (a) include supporting documentation concerning the amount you were paid for Broiler Grow-Out Services by Defendants and Alleged Co-Conspirators, or (b) answer a series of questions on the Unpopulated Claim Form, by which a reasonable estimate of the amount you were paid can be determined, postmarked by April 10, 2022 if you wish to receive a payment from the Settlement Funds. For more information, see Question 9.

If you are a member of the Settlement Classes and received an Unpopulated Claim Form, you will give up the right to sue Tyson and Perdue in separate lawsuits about the legal claims these Settlements resolve regardless of whether you complete the Unpopulated Claim Form and submit it, unless you exclude yourself from the Settlements.

If you are a member of the Settlement Classes and received an Unpopulated Claim Form and did not receive a Pre-Populated Claim Form with pre-populated payment information, completing and submitting the Unpopulated Claim Form is the only way to receive a payment from the Settlements. Please see Question 16, which describes the release of claims in this action.

April 10, 2022
EXCLUDE YOURSELF You may submit a written request to exclude yourself from the Tyson Settlement, the Perdue Settlement, or both Settlements. If you do so, you will not participate in the Settlement(s) or get any monetary compensation from the Settlement Funds. You will keep any rights you currently have to separately sue Tyson and/or Perdue related to the legal claims these Settlements resolve, but you must retain your own lawyer at your own expense if you wish to have legal representation to do so, Settlement Class Counsel (defined infra) represent the Settlement Classes but do not represent excluded parties. For more information, see Question 17. December 6, 2021
OBJECT AND/OR ATTEND A HEARING If you do not exclude yourself from the Settlements, you still have the right to file a written objection to the Tyson Settlement, the Perdue Settlement, or both Settlements or anything else referenced in the Notice, to attend the Final Approval Hearing, and to request to be heard at the Final Approval Hearing. You may also retain a lawyer at your own expense to assist you in doing so, although it is not necessary to hire a lawyer in order to object or attend the hearing. See Question 14. Because of the ongoing coronavirus pandemic, the hearing may occur virtually or in person at the United States District Court for the Eastern District of Oklahoma, located at 101 N 5th St, Muskogee, OK 74401. Please monitor this website for updates on the Final Approval Hearing date and location. For more information, see Questions 18, 21-23. December 6, 2021

Please note, all information you provide in connection with receiving an automatic payment or submitting a Claim Form in this action will be maintained strictly confidentially and will not be made available publicly or to any Defendant or Alleged Co-conspirator. Only Settlement Class Counsel, the Court, and the Settlement Administrator will have access to any information you provide, including your identity, in connection with receiving an automatic payment or submitting a Claim Form in this action. The only way your identity will become public is if you exclude yourself from the Settlement(s) or file an objection to the Settlement(s).

1 “Broilers” excludes specialty chicken that is grown, processed, and sold according to halal, kosher, free range, pasture-raised, or organic standards. Specialty chicken does not include chicken raised without antibiotics, such as No Antibiotics Ever (“NAE”) or Antibiotic Free (“ABF”) standards. “Broilers” as used herein includes NAE and ABF chicken. See Settlement Agreements § 1(d).

2 “Broiler Grow-Out Services” means Broiler chicken growing services.

3 Defendants are Tyson Foods, Inc.; Tyson Chicken Inc.; Tyson Breeders, Inc.; Tyson Poultry, Inc.; Pilgrim’s Pride Corporation; Perdue Foods, LLC; Koch Foods, Inc.; Koch Meat Co. Inc. d/b/a Koch Poultry Co.; Sanderson Farms, Inc.; Sanderson Farms, Inc. (Food Division); Sanderson Farms, Inc. (Processing Division); and Sanderson Farms, Inc. (Production Division).

4 Alleged Co-Conspirators for purposes of the Settlements are Foster Farms, Mountaire Farms, Wayne Farms, George’s, Inc., Peco Foods, Inc., House of Raeford Farms, Simmons Foods, Keystone Foods, Fieldale Farms Corp., O.K. Industries, Case Foods, Marshall Durbin Companies, Amick Farms, Inc., Mar-Jac Poultry, Inc., Harrison Poultry, Inc., Claxton Poultry Farms, Norman W. Fries, Inc., and Agri Stats, Inc.