1689 search results for AT
- F53 - Opposition to GRI Exception - Plaintiff - 8 17 17
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/f53---opposition-to-gri-exception---plaintiff---8-17-17.pdf?sfvrsn=53884c52_2
- to terminating coverage; failed to invoice subscribers
2
A copy of the Agreement was attached to the original, , 2014, was attached as "Exhibit 2A" to the Amended Petition. Id.
2
accurately; failed to properly, atif5l.However,ratherthandeclinetakingonajob
thatwasoutsideofitscapabilities, GRIwronglyagreedtoreplaceCGIandserve asTPA for
LAHC.Id. atif47.Infact,GRIwasevenlessqualifiedandlesspreparedthanCGIforthejob.Id.
atif34.Asaresult,LAHC"wentfromthefryingpanintothefire."Id.atif31(z
- AL07-05-CurRequestThatInsurersU
- https://ldi.la.gov/docs/default-source/documents/legaldocs/advisoryletters/al07-05-currequestthatinsurersu.pdf?sfvrsn=59dd7352_6
- come to my attention that authorized property and casualty insurers
and approved unauthorized, . This has allowed P&C insurers to both
save money by spending less on attorney fees and litigation expenses, .
FutureProceduretoRequestMediation:
AttherecommendationoftheAAA, goingforward toinitiateamediation, and the
extension of the LDOI Hurricane Mediation Program to Mr. Barry Ward, Chief
Attorney, Louisiana Department of Insurance, via e-mail [email protected].
or telephone at (225) 219-4750
- 2020 AGENDA
- https://ldi.la.gov/docs/default-source/documents/ldi-convention/2020-tentative-agenda.pdf?sfvrsn=9de24f52_12
-
(Atrium)
8:30am 9:00am
Welcome Remarks
Jim Donelon, Louisiana Commissioner of Insurance
(Premier, is Liable?
John Cattie, Attorney
(Premier Ballroom 3)
LH / PC / ADJ
12:00pm 12:45pm
Lunch
(Premier, of insurance CE credit, producers and adjusters must attend the conference program in its
entirety. Failing to attend the conference programs or leaving early will result in either partial or no credit being, be relevant to the license and lines held by the attendee.
LH = Life and Health PC = Property and Casualty
- AL05-01-Cur-RecordsDamagedAsARes
- https://ldi.la.gov/docs/default-source/documents/legaldocs/advisoryletters/al05-01-cur-recordsdamagedasares.pdf?sfvrsn=5fdd7352_19
- Evidence
Attached? (if available)
(Mark one with X)
No Continue to Part 2
PART 2. Attestation, includes an attestation (1) to the damage to the
records,(2)thatwater,contaminantsand, forinspectionand/orauditofrecords
bytheDepartmentofInsurance, see"AttachmentA. Affidavit-RecordsWere, .
If power of attorney used, a copy of the power of attorney must accompany the affidavit, and/or site that housed the records and can attest to the following:
amarepresentative
- Rule10 Cur ContinuingEducation
- https://ldi.la.gov/docs/default-source/documents/legaldocs/rules/rule10-cur-continuingeducation.pdf?sfvrsn=9cbe7c52_18
- of
Paragraph B.4 above shall attest to his eligibility for the
exemption on a form provided, in a state or national insurance association in
any of the following methods:
a. attenda formal, and attendance is verified in a manner consistent
with the provisions of this Rule;
b. serve, participation. Attendance at meetings which are
otherwise approved for continuing education credit do, of the attendance or
completion of the program by the licensee, or any other
method approved
- 2018 LHCC Report to the Legislature
- https://ldi.la.gov/docs/default-source/documents/health/lhcc/reports/2018-lhcc-report-to-the-legislature.pdf?sfvrsn=9be24852_0
- i s i a n a S tate Medical Society.
( 6 ) L o u i s i a n a A s s o c i aton for Justce.
(7, .
• Not required to meet an actuarial value.
• Healthy populatons will likely be atracted, they are simpler to set up.
• To d ate, ten insurers have submited applicatons in Louisiana and nine, during the 2018
Regular Legislatve Session that approved the authorizaton waiver but denied atempts, , 2018 at the Crowne Plaza Baton Rouge
Hotel.
A diverse audience of more than 400 atendees representng
- M136 - Memo in Opp to Plaintiff's Motion to Compel - GRI - 6 23 20
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/m136---memo-in-opp-to-plaintiff's-motion-to-compel---gri---6-23-20.pdf?sfvrsn=ec804c52_2
- not implicate the attorney-client privilege or work
product doctrine. Rather, Plaintiffs Motion to Compel, response to Request No. 5
confirms their production.
1
Plaintiffs motion is an attempt to harass and badger GRI, not obtain
1
Attached hereto as Exhibit 1 in globo is a small sample of the secure, screen that appears as seen in the screen shot attached hereto as
Exhibit 2. The recipients, itself by copy and pasting, or as text, and can download
any attachments in the form sent. GRI had
- 6 Public Comment - Glenna Mitchell
- https://ldi.la.gov/docs/default-source/documents/legaldocs/public-comments-dec23/6-public-comment---glenna-mitchell.pdf?sfvrsn=808a4552_0
- could be mentioned but these
are a few reasons for my strong opposition.
Sent from AT&T Yahoo Mail
- S194 -Milliman's Notice of Filing of Certificate of Mailing - 1 15 21
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/louisiana-health-cooperative/lahc/s194--milliman's-notice-of-filing-of-certificate-of-mailing---1-15-21.pdf?sfvrsn=5ba4c52_2
-
lerk of Court,
East Baton
Rouge Parish
19
th Judicial
District Court
300
North Blvd.
B
aton,
HULEFELD,ALLIED WORLD
SPECIAL
INSURANCE
C
OMPANY a/k/a DARWIN
NATIONAL
ASSURANCE COMPANY,
ATLANTIC, into the record the certificate ofservice attached hereto as Exhibit"A."
Undersigned counsel
certifies, ,
2021. The proofof
delivery via
commercial courier is
attached hereto as Exhibit
"B."
T
his,
[email protected]
c
[email protected]
Counselfor Defendant Milliman, Inc.
2
- C23 - Peremptory Exception of No Right No Cause - Thomas and Oliver - 2 17 17 (Donelon v. Shilling) (00612537xC312F)
- https://ldi.la.gov/docs/default-source/documents/financialsolvency/receivership/Louisiana-Health-Cooperative/c23---peremptory-exception-of-no-right-no-cause---thomas-and-oliver---2-17-17-(donelon-v-shilling)-(00612537xc312f).pdf?sfvrsn=c35b7452_6
- : (225) 248-3048
[email protected]
Attorneysfor Defendants,
Warner L. Thomas, IV and William, attributes all of the alleged misconduct to all of the D&O
Defendants, a scenario that is simply, of the shareholders of a for-profit
corporation). See LAHC Articles of Incorporation, attached as Exhibit A. Unlike, Selected Minutes of the Meeting of LAHC's
Board of Directors, attached as Exhibit B. Before Mr, .
Donelon to the Board of Directors of the LAHC, attached as Exhibit C. Pat Powers was the last