1696 search results for at
- 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
- Z267 - Proposed Order on MSJ Hearing - 10 13 21
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/z267---proposed-order-on-msj-hearing---10-13-21.pdf?sfvrsn=28714352_6
- by
the
parties,
the exhibits attached
thereto which were
all admitted into evidence, appiicable,
and for those
reasons
set forth in the Receiver's
Opposition
Memorandum
and the
Attorney,
of La. R.5.22:2043.1(A) as Applied is DENIED.
so ORDERED this _ day of
october, 2021,
atBaton,
and revisions suggested by counsel for the Attorney General
were
made, counsel for Milliman agreed, of the Americas
New York, NY 10020
C. Austin Holliday
Assistant Attorney
General,
Civil Division
- October 2015
- https://ldi.la.gov/docs/default-source/documents/publicaffairs/commissionerscolumn/october-2015.pdf?sfvrsn=2d7d7052_0
- it more efficient for agents and brokers to conduct
business.
An attribute of the surplus lines, not that cyber liability is a new threat but with high profile
attacks such as those on Target and Anthem more and more businesses are now realizing that if
they were victims of such an attack, it could
- LDI 53 Deposition of Randall A. Stevenson 2.7.24 (000786-000822)
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/ldi/ldi-53-deposition-of-randall-a-stevenson-2-7-24-(000786-000822).pdf?sfvrsn=75ad4552_0
-
attorneys for the Department of
9
Insurance.
10
MR. LEE:
11
Got it.
12
And then, in alphabetical,
assumptions, but I discussed those with the
20
attorneys from the Department.
21
Q. Okay. Well, "discussed
24
those with the attorneys from the Department,"
25
are you saying
- Continuing Education Opportunities
- https://ldi.la.gov/ldiannualconference/lists/ldi-conference/life-health-and-accident-producer-continuing-education
- LEGAL: The LDI Conference 2023 has applied for 8.0 hours of CLE with the Louisiana State Bar Association.
INSURANCE PRODUCERS / ADJUSTERS: The LDI Conference 2023 has been approved for up to 11 hours of continuing education credit for insurance producers and insurance adjusters licensed by the Louisiana Department of Insurance. To receive the full 11 hours of insurance CE credit, producers and adjusters must attend the conference program in its entirety.
Failing to attend the conference
- R185 - Notice of Records Depo and SDT to LDI - Milliman - 11 17 20
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/r185---notice-of-records-depo-and-sdt-to-ldi---milliman---11-17-20.pdf?sfvrsn=e7bc4c52_2
- to
serve the attached
Subpoena Duces Tecum,
Notice of Records
Deposition
and
Exhibits, custodian ofrecords:
James J. Donelon
1702 N.Third Street
B
aton Rouge,LA 70802
T
he, LLP,
Attn: Steven Clark 4520
Main
Street, Suite 1100, Kansas City,
MO
64111-7700,
unless, this
subpoena
duces tecum are
contained in Exhibit A
attached hereto. Your failure
to comply, and
deposition may be
s
atisfied
by
producing
certified copies via
secure FTP to
Milliman's
- C26 - Exception of No Right Cause Vagueness and Ambiguity - Powers - 2 17 17Powers Exceptions and Memo.2 17 17 Donelon v. Shill (00612540xC312F)
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/Louisiana-Health-Cooperative/c26---exception-of-no-right-cause-vagueness-and-ambiguity---powers---2-17-17powers-exceptions-and-memo-2-17-17-donelon-v-shill-(00612540xc312f).pdf?sfvrsn=c9587452_6
- (225) 240-7297
Fax (866) 454-8139
Attornrysfor Defendan0 Patrick C. Powers
2
CERTIFICATE, be granted.
Attornrysfar Defendant, Patrick C. Powers
3
Donelon implicitly acknowledges the existence of his prescription problems by
attempting to plead around them. See, FSARP at ifif 139-142.
Y
- E46 - Reply to Opposition to Exception - Milliman - 5 25 17
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/e46---reply-to-opposition-to-exception---milliman---5-25-17.pdf?sfvrsn=76884c52_2
- , in citing this provision, the
Commissioner as Rehabilitator is improperly attempting to utilize, was not attempting to assert a cause of action for
breach of contract while seeking to avoid arbitrati.on, , the Plaintiff is suing Milliman for
breach of contract while at the same time attempting to avoid, attempt to equate the
facts in Taylor with the facts of the instant matter, Plaintiff states, r o f L o u i s i a n a H e a l t h C oop¢i:ativ~ ( " L A H C " ) , a n d t l u l C o u r t
a p p
- Elevance Responses to Bradford Discovery Requests(102045607.1)
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/elevance-responses-to-bradford-discovery-requests(102045607-1).pdf?sfvrsn=d8904552_0
-
******************************************************************************
ELEVANCE HEALTH, INC. AND ATH HOLDING, . BRADFORD
Elevance Health, Inc. (Elevance), and ATH Holding Company, LLC (ATH), object, in the Scheduling
Order. As a result, Elevance and ATH object in toto to the written discovery propounded by John,
[email protected]
Counsel to Elevance Health, Inc. and ATH Holding Company, LLC,
[email protected]
Attorneys for Louisiana Department of
Insurance
Ronnie L. Johnson
- 2024-01-15---petition-for-intervention---elevance-health
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/2024-01-15---petition-for-intervention---elevance-health.pdf?sfvrsn=e2434652_0
- ”) and ATH Holding Company, LLC (“ATH”) who respectfully
submit this Petition for Intervention, the Commissioner of Insurance. As more fully explained below,
Elevance Health’s and ATH’s interests are directly, Health and ATH respectfully request leave to
intervene in the above-captioned matter. In support of this Petition, Elevance Health and ATH aver
as follows:
Name and Address of Petitioners
Elevance Health, Inc.
220 Virginia Avenue
Indianapolis, Indiana 46204
ATH Holding Company, LLC
220