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Publication
George Swanson Powerpoint Solitary Confinement Solitary Confinement . . . By George Swanson Left click to advance. 1 Solitary Confinement . . . Is it torture? 2 Torture 3 . . . any act by which ...
in the state until the judgment is satisfied. This legislation intends to eliminate fly-by-night bonding practices. Model Legislation Section 1. {Definitions} Section 2. {Forfeiture upon Failure to Appear} Upon ...
Publication • December 7, 2015
/research_reports/RR200/RR266/RAND_RR266.pdf. 1 Reinstating eligibility for incarcerated students will not take away resources from anyone who meets the income eligibility requirements for a grant. In fact ...
Publication • October 30, 2014
by the Department of Justice through the Federal Interagency Reentry Council, whose “chief focus is to remove federal barriers to successful reentry.”1 However, we believe there are additional steps that you and your ...
transactions or occurrences between PLAINTIFFS and DEFENDANTS to date, on the terms set forth in this Agreement. THEREFORE, IT IS HEREBY AGREED AS FOLLOWS: 1. Payment. In exchange for the promises and warranties ...
Brief • December 27, 2020
hereafter shall or may exist, and which (1) are alleged or set forth or attempted to be set forth in the pleadings on file in that certain action entitled “Taulib Ikharo vs. City and County of San Francisco ...
of Corrections ("!DOC"). 2 • I i • I 7. The subject of any prescription for . nust be provided to Mr. Williams within sixty ( ays o t e ate sue 1 ev1ce 1s prescribed, absent extraordinary circumstances ...
Brief • October 26, 2017
Filed under: False Arrest
with and which may 3 .1eA.1as x-ed £00/v 3DYd WV 01:lz:9 lTOZ/BT/OT .1a1,..1es x-e.:1 be necessary or appropriate to give full force and effect to the basic tenns and intent of this Release and City ...
Brief • June 22, 2017
to the terms set forth in this Release. Further, in consideration of the above payment, the UNDERSIGNED ALSO EXPRESSLY DECLARES AND AGREES: 1) That all claims, past, present, or future, are disposed ...
attorney, Jessica L. Griff, Assistant Corporation Counsel Supervisor, herein stipulate and agree to the following: 1. This action has been brought by Plaintiff, Marlena Farmer, as Administrator ...
35875 Attorney No. __ , J rvr\ DATE: Gr.th n iller, K ri:stn . 'talf, FEIN: DATE:~ 772/20? 1:. Respectfully submitted, CITY OF CHICAGO a Municipal Corporation Andrew Cook, Attorneys for defendants ...
, Voelker & Allen), agents, servants, employers, employees (including, but not limited to, Defendant CHANDRA and any other WEXFORD HEALTH SOURCES, INC., employees Page 1 of 7 previously named in this claim ...
, the Settling Parties agree as follows: 1. Effective Date: This Agreement shall take effect as of the date on which the last of the Settling Parties executes a copy of the Agreement (the "Effective Date"). 2 ...
by such persons. 2.4 Dudley represents and warrants that all insurers and others with an j interest in the settlement proceeds, have been fully paid, or will be fully paid from ,.i ···1 ~:J '¾~ .•:J ! . J I ...
No. 3: l 5-cv-00344-SMY-RJD, wherein the undersigned, Michael Johnson, is Plaintiff. Furthermore, the Released Parties are 1·eleased fro_m any liability to any person or entity for contribution ...
DOJ Settlement Between USA and Michigan DOC, Right to Religious Worship, 2021 AGREEMENT BETWEEN THE UNITED STATES AND THE MICHIGAN DEPARTMENT OF CORRECTIONS (“AGREEMENT”) I. 1. INTRODUCTION ...
and Release ("Agreement") is made and t:llll\!L'eel into by and between Plaintiff, Floyd May ("Plaintiff''), Holly Logan ("Logan"} and 1/exford Health Sources, Inc. ("Wexford"). Plaintiff, Logan and Wexford ...
or to result from any and all care provided by the Released 4914745.1 1 Parties through and including the date of this Settlement Agreement and Release to Joecephus Mitts, including without limitation, any ...
Norwood v. Obaisi, IL, Settlement, Medical Neglect, 2017 GENERAL RELEASE OF ALL CLAIMS In full ·and ·complete consideration of Wexford Health Sources, Inc, to provide Plaintiff with: 1} Three ...
, insurance representatives, and attorneys from any claims related to the conduct of the Released Parties and/or their attorneys in their defense of this claim/lawsuit. 3:11-cv-8 19-DGW Page 1 of7 ...
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