2320 search results for k
- June 2024- Volume 15, Issue 2
- https://ldi.la.gov/consumers/resources-publications/consumer-advocacy/newsletters/volume-15-issue-2
- know how to prepare for a storm and stock up on supplies. I would like to turn your attention, items but do not throw them away. Keeping damaged items will give the claims adjuster a more complete, a tarp over your roof or boarding up broken windows. Keep your receipts for these expenses. Remain, company and agent know if you’ve taken photos or videos of the damage or have cost estimates,
2000 Kaliste Saloom Rd., Lafayette Homeowners 101 Who: Louisiana Department of Insurance
- baton rouge regional resources
- https://ldi.la.gov/docs/default-source/documents/health/lhcc/regional-resources/baton-rouge-regional-resources.pdf?sfvrsn=f4637252_18
- School Based Health Center
(225) 683-1360
Provides KIDMED counseling, GYN services and immunizatons.
RKM Primary Care
(225) 683-5292
Provides KIDMED counseling, GYN services and immunizatons.
Slaughter Health Center
(225) 683-1370
Provides KIDMED counseling and immunizatons.
Southest Community Health System
(225) 306-2000
Provides WIC and KIDMED counseling and OB/GYN services.
West Baton Rouge Primary Care
(225) 389-1311
Provides KIDMED counseling, GYN services and immunizatons
- First Amending Petition (filed 11-29-16) Donelon v. Shilling (added actuaries) (00587335xC312F)
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/Louisiana-Health-Cooperative/first-amending-petition-(filed-11-29-16)-donelon-v-shilling-(added-actuaries)-(00587335xc312f).pdf?sfvrsn=4c5e7452_6
- .
The D&O Defendants knew or should have known that Beam Partners was unqualified and
unsuited to develop and manage LAHC.
9
29.
The D&O Defendants knew or should have known that GRI, Partners is grossly negligent in that it knew or should have known that CGI was
unqualified to serve,
Partners is grossly negligent in that it knew or should have known that GRI was unqualified, contract, Beam
Partners is grossly negligent in that it knew or should have known that terminating
- Amending Petition (filed 11-29-16)
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/Louisiana-Health-Cooperative/amending-petition-(filed-11-29-16).pdf?sfvrsn=644a7552_0
- .
The D&O Defendants knew or should have known that Beam Partners was unqualified and
unsuited to develop and manage LAHC.
9
29.
The D&O Defendants knew or should have known that GRI, Partners is grossly negligent in that it knew or should have known that CGI was
unqualified to serve,
Partners is grossly negligent in that it knew or should have known that GRI was unqualified, contract, Beam
Partners is grossly negligent in that it knew or should have known that terminating
- Z258 - Notice of Hearing on Motions - 9 29 21 - 9 7 21
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/z258---notice-of-hearing-on-motions---9-29-21---9-7-21.pdf?sfvrsn=4f714352_6
- : HON. TIMOTHY E KELLEY
DMSION: 22 ROOM: 10D
YOU ARE HEREBY
NOTIFIED OF THE FOLLOWING ACTION,
JOHN ASHLEY
MOORE
JOHN WILLIAM
HITE III
JUSTIN J MAROCCO
JUSTIN KATTAN
JUSTINE N.
MARGOLIS
KARL H SCHMID /
MATTHEW JOSEPH FARLEY
MICHAEL
A BALASCIO
MIRAIS M HOLDEN
MONICA
M. VELA-VICK
REID ASHINOFF
RICHARD E BAUDOUIN
ROBERT
B BIECK JR
ROBERT J DAVID JR
ROBERT W BARTON
RYAN
K,
OF INS.
FORSTATE OFLA.
NO.651,069,
SECTION 22
JT]DGE TIMOTIIY E. KELLEY
TERRY S. SHILLING,
ET AL
- HWK 5_US v. Anthem Complaint 20-cv-2593
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/henry-kinney/hwk-5_us-v-anthem-complaint-20-cv-2593.pdf?sfvrsn=f0b34552_0
- knowingly disregarded its duty to ensure the accuracy
of the risk adjustment diagnosis data, beneficiaries enrolled in Anthem’s Part C plans.
4. Anthem knew that, because the diagnosis codes it, , and truthful” according to its “best knowledge, information and
belief.” See infra ¶¶ 83-90. As Anthem knew, the promises and attestations it made to CMS
placed on Anthem an obligation to make,
to CMS the diagnosis codes reported by providers. Anthem knew that the results of chart review
could
- Reg84-Cur-RecognitionAndUseOfC
- https://ldi.la.gov/docs/default-source/documents/legaldocs/regulations/reg84-cur-recognitionanduseofc.pdf?sfvrsn=37c27352_18
-
as custodian and the insurance company; and
That, to the best of h is or her k n owledge and belief,
of that table and the select and ultimate form o f that table
and inclu d es both the smo ker, not distin g u ish between smo kers and
nonsmokers.
Smoker and Nonsmoker Mortality Ta b l esmortality tables
with separate rates of mortality for smo kers and nonsmokers.
Valuation Manual manual o f, (September 2022).
§10709. Conditions
A. For each plan of insurance with separate rates for
smo kers
- 2024-01-23 Elevance Health and ATH Holding's Initial Witness List
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/2024-01-23-elevance-health-and-ath-holding's-initial-witness-list.pdf?sfvrsn=857b4652_0
- the following
witnesses:
1. Morgan Kendrick
2. Felicia F. Norwood
3. Christy Valentine Theard
4, Health Service & Indemnity Company d/b/a Blue
Cross and Blue Shield of Louisiana
Henry W. Kinney
Kinney, Ellinghausen & DeShazo
1250 Poydras Street, Suite 2450
New Orleans, LA 70113
- Elevance Health and ATH Holding Final Witness List 2.9.24 - Reorg Hearing
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/elevance-health-and-ath-holding-final-witness-list-2-9-24---reorg-hearing.pdf?sfvrsn=99814552_0
- the following witnesses in the order listed:
1. Morgan Kendrick
2. Christy Valentine Theard
3. Shantanu, Cross and
B l ue Shield of Louisiana
Henry W. Kinney
Kinney, Ellingh ausen & DeShazo
1250 Poydras
- Act 427 - Ratemaking Methodology
- https://ldi.la.gov/docs/default-source/documents/propertycasualty/Forms/act-427---ratemaking-methodology.pdf?sfvrsn=9da07152_6
- by Hurricane ............................................................. 18
Hurricanes Katrina, .................................................................................................................. 18
Exhibit 5 ‐ Hurricane Katrina Insured Damage by Louisiana Parish, of Act 427 do not apply to insurance for creditor‐placed
property (also known as lender‐placed or force, premium and direct paid loss by parish or zip code. When the parish
is not known it is coded as unknown and when the zip code is not known it is coded as 99999.
Though the statewide data reflects