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the Lawsuit for claims released in Paragraph 2 above. Plaintiff's duty to indemnify Defendants against such claims related to medical care, shall include, without limitation, reimbursement for any and all costs ...
be made payable to AZELLA F'RANK:Llli'. No individual defendant shall be responsible for payment of aey 8Ull1 under this Agreement. 2. The Parties understand that the Settlement Amount is subject ...
Brief • March 29, 2021
Offices of Davii:1 s. Lipschultz, Inc." No individual Defendant shall t,1;3 responsible for payment of'any ·sum under this Agreement. 2. . availability of funds in the St.ite Tref)sury and the operations ...
, and any agents, employees, independent contractors, or subcontractors of Armor Correctional Health Services, Inc. 2. No Admission of Liability It is understood and agreed that the Lake County Released ...
Brief • September 26, 2019
made in the Action. This release includes, but is not limited to, any claim Plaintiff or his counsel may have, or had, for payment of attorney's fees, reimbursement of expenses or court costs. 2 ...
Indemnification Act (5 ILCS 350/0.01 et 'seq.) with $7,000.00 ~fthe draft payable to Barry Morris. The Plaintiff understands that the amount payable· under this Agreement ls . 2. Subject to state laws governing ...
any action by CMS to recover or recoup any type of Medicare benefits, including but not limited to a subrogation action by CMS pursuant to 42 U.S.C. §l395y(b)(2) to recover any over_payment made by CMS ...
to a subrogation action by CMS pursuant to 42 U.S.C. §139Sy(b)(2) to recover any overpayment made by CMS. E. Dismissal of Complaint. Releasors shall take such action as may be necessary to have the above ...
Brief • August 4, 2023
related to any rights surrendered by virtue of this Release and Settlement Agreement. 2. RELEASOR is the proper party to bring an action for any injuries and any other damages arising out of the above ...
Brief • May 6, 2021
Filed under: Wrongful Death
, recklessness, intentional acts or other tortious or wrongful conduct by the RELEASED PARTIES in connection with this claim. 2. RELEASOR acknowledges that he has abandoned all claims against RELEASED PARTIES ...
Brief • September 21, 2023
. Cover letter from Peter Marchesi to Matthew Morgan transmitting the $30,000 settlement check payable to Jonathan Afanador and McKee Law LLC PA; 2. MCCA Risk Pool Reconciliation Detail for the period ...
Publication
Filed under: Telephones
. Pennstlvania has a policy to send inmates far. away fr.om the~r home region to discourage th~ potential flow of contraband through visits. I can earn from 19¢ to 42¢ tor prison labor minus 20% to be appli~rl ...
Publication • May 26, 2016
Detainee Deaths 2004 - November 2007, ICE, 2008 Detainee Deaths 2004 - November 2007 ALIEN NAME DOB DOD LOCATION OF LAST DETENTION 1 2 LOCATION OF DEATH Cause of Death San Joaquin General ...
Publication
Filed under: Private Prisons
outside the correctional system (page 47). OBSERVATIONS AND COMMENTS The audit also discusses the following issues: (1) the high rate of correctional officer turnover at department facilities; (2 ...
Publication • February 24, 2016
at department facilities; (2) the failure of some counties to submit Final Cost Settlements in a timely manner; (3) the lack of centralized monitoring of employee training; (4) the failure of some prisons ...
Publication • February 19, 2016
enumerated various aggravating and mitigating circumstances to be reflected in the sentencing guidelines, such as multiple offenses and substantial assistance to the Government.42 2. Promulgation ...
Brief • 2011
, in order to prove a Fourth Amendment claim of excessive force under 14 42 U.S.C. § 1983, Plaintiff must present evidence which shows: “(1) the severity of the 15 crime at issue, (2) whether the suspect ...
Filing • February 25, 2022
Filed under: PLN Litigation, Censorship
of the Nebraska Department of Corrections Services, states: INTRODUCTION 1. This is a civil rights action under 42 U.S.C. § 1983 seeking, among other relief, to enjoin Director Frakes from enforcing the Nebraska ...
Publication
Filed under: Sexual Assault
explicitly ∗ Community Corrections Covered implicitly √ √2 Contractors covered explicitly √1 Contractors covered implicitly Covers private facilities Consent is NOT a defense √ √3 Sexual assault ...
Brief • February 25, 2022
Filed under: PLN Litigation, Censorship
of the Nebraska Department of Corrections Services, states: INTRODUCTION 1. This is a civil rights action under 42 U.S.C. § 1983 seeking, among other relief, to enjoin Director Frakes from enforcing the Nebraska ...
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