1674 search results for AT
- 2024-01-16---motion-for-admission-pro-hac-vice---jared-r-danilson
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/2024-01-16---motion-for-admission-pro-hac-vice---jared-r-danilson.pdf?sfvrsn=7c404652_0
- LLP to
appear as additional counsel for Elevance Health and ATH, pro hac vice. Elevance Health and
ATH represent the following in support of this motion:
1. Attached as “Exhibit, of the correspondence attached to this motion
as “Exhibit B.”
4. Elevance Health and ATH have submitted a proposed, . (“Elevance Health”) and
ATH Holding Company, LLC (“ATH”), who hereby move this this Honorable, . Danilson has been paid to the Louisiana
Attorney Disciplinary Board and the Louisiana Attorney
- 2017-2018 Annual Report
- https://ldi.la.gov/docs/default-source/documents/publicaffairs/annualreports/2017-2018-annual-report.pdf?sfvrsn=9feb4852_0
- actvely partcipates in local and natonal professional organizatons and atends conferences, atended numerous speaking engagements throughout
the state to educate consumers about insurance, of Individuals in Atendance at Presentatons 36,454 26,558 12,464
Number of Senior Health Counselor, aton Rouge; the University of Louisiana at Monroe and
the University of Louisiana at Lafayete, Commitee 0 0 0
Training/Seminars Conducted 23 20 3
Training/Seminar Atendees 932 1,361 674
- S198-7 - Exhibit 4 - 01-12-2021 Order (3)
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/s198-7---exhibit-4---01-12-2021-order-(3).pdf?sfvrsn=4dba4c52_2
- Company
Adam Whitworth for Defendant, RSUI Indemnity Company
Nicole Babb for Defendant, Atlantic, exhibits attached to the
pleadings which were
admitted into evidence and not specifically excluded, . Godofsky, attached
to the Opposition
Memorandum filed by Buck and offered
into evidence, , and/or each of their respective employees, agents,
attorneys, and/or
contractors, and/or other
parties, "), and their
employees,
agents, attorneys, and
contractors, of LAHC and
its officers
- LDI 50 United States of America v. Anthem, Inc. (000650-000763)
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/ldi/ldi-50-united-states-of-america-v-anthem-inc-(000650-000763).pdf?sfvrsn=baac4552_0
-
AUDREY STRAUSS
Acting United States Attorney for the
Southern District of New York
By: LI YU
PETER ARONOFF
RACHAEL DOUD
Assistant United States Attorneys
86 Chambers Street, 3rd Floor
New,
The United States (the “Government”), by its attorney, Audrey Strauss, Acting United
States Attorney, , Anthem repeatedly attested to CMS that its risk adjustment diagnosis data submissions
were “accurate, ¶¶ 83-90. As Anthem knew, the promises and attestations it made to CMS
placed on Anthem an obligation
- F56-1 - Transcript of Exception Hearing
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/f56-1---transcript-of-exception-hearing.pdf?sfvrsn=42884c52_4
- , THIS IS A LIQUIDATION S1'ATUTE, ISN 'T
IT? NOT A REHABILITATION STATUTE.
MR. CULLENS: THAT IS CERTAI NLY,
APPROPRI ATE, AND IF I WAS DEFEN DING THE
DEFENDANTS, I WOULD RAISE THIS POSSIBLE
INTELLECTUAL, PROVISIONS IN THE REHABILITATION ORDER
WHICH I WOULD LIKE TO r"ORMALLY INTRODUCE. IT
WAS ATTACHED TO OUR,
ARE PERY.ANENTLY ENJOINED FROM OBTAINING
PREFERENCES, JUDGMENTS, ATTACHMENTS OR OTHER
LIKE LIENS, OR THE M...l, , ACTUARIES,
ATTORNEYS, ANYONE AFFILIATED WITH L.A..H.C. ARE
HEREBY PERMANENTLY ENJOINED EXCEPT
- February 2014
- https://ldi.la.gov/docs/default-source/documents/publicaffairs/commissionerscolumn/february-2014.pdf?sfvrsn=90147c52_8
- am charged with attracting new insurance companies
to the state to create a broader choice, into the voluntary
market.
The Insure Louisiana Incentive Program was a grant program developed to attract new
homeowners and commercial property insurance companies to Louisiana. The program
attracted five, are also attracting new companies to our property and casualty market and continue to see
signs, , to reduce the market share of its book of business.
The efforts to attract competition to Louisiana
- O152-4 - MPSJ - Exhibit C
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/o152-4---mpsj---exhibit-c.pdf?sfvrsn=e2be4c52_2
- lacks
standing
ELPYENTH ATNRMATIVE DETENSE
LAHC fraudulently induced GRI to enter into an Administrative Services
Agreement with LAHC.
TlvEl,rrg ATTIRMATIYE
BJF',ENSE
LAIIC failed to
pay
Gzu, for lack of
sufficient
information to
justi&
a belief therein.
7.
The atlegations
contained
- Request for Pre-Application Eligibility Determination
- https://ldi.la.gov/docs/default-source/documents/licensing/producers/request-for-pre-application-eligiblity-determination-7-2022.pdf?sfvrsn=99374252_6
- .
□ Yes □ No
Required Attachments
The requestor must attach the following documents. If the appropriate, have been lost or destroyed must be attached. The confirmation must be on the letterhead of the authority and
signed by the authority or a designee. If all the required documents are not attached, the request will not be processed.
□ Documents from the District Attorney or Clerk of Court which, the District Attorney, Clerk of Court or Probation Office that the terms and conditions of the probation
- State of Insurance 10 Years Post Katrina
- https://ldi.la.gov/docs/default-source/documents/publicaffairs/consumerpublications/state-of-insurance-10-years-post-katrina.pdf?sfvrsn=48417152_0
- that, attract more property and casualty providers to
the state. The program attracted five, from areas all along
the Gulf and Atlantic Coasts following the storms.
As those larger companies, $ 15,500 $ 23,800
3 9/11 Atacks 2001 $ 18,800 $ 20,100
4 Hurricane Sandy 2012 $ 18,750 $ 19,300
5
- Z260 - Rule NISI - Motion to Compel Milliman - 9 10 21
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/z260---rule-nisi---motion-to-compel-milliman---9-10-21.pdf?sfvrsn=48714352_6
- infonrration that
is
protected
by the attorney-client
privilege, the attomey work-product
doctrine,
ON SEPTEMBER
29,2021.
Certified copies of this
document and the Court's
Order are
attached.
You MUST, Attorney:
CULLENS,
J. E., JR.
Q2s\236-3640
RULE
NISI
NUMBER
C-6st069 22
19th JUDICIAI,
and fully to the Receiver's written
discovery
as specified in the attached Memorandum in Support, in the attached Memorandum in Support, the
Receiver respectfuliy prays
that counsel for
Milliman