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Brief • December 28, 2010
by the evidence contained in file number 2007-51777. The patient referred to in this Statement of Charges is identified in the attached Confidential Schedule. 1. ALLEGED FACTS 1.1 On December 5, 1983, the state ...
Brief • February 6, 2008
ACTION NO.: 1:08-CV-0004 § § 1.04 ACRES OF LAND, MORE OR LESS, SITUATED IN CAMERON COUNTY, STATE OF TEXAS; AND ELOISA G. TAMEZ, ET AL. Defendants. _____________________________________ DEFENDANTS’ MOTION ...
: (1) failed to adhere to CCA’s own policies, procedures and training and as a result failed to prevent the disturbance on the evening of July 20, 2004, when there was reason to believe that some type ...
of $.28 per day for unassigned prisoners and $0.63, 1.03, 1.53, and 2.03 per day for assigned prisoners was cut effective July 1, 2003, to $.23 per day for unassigned and $.60 per day for assigned prisoners ...
Brief • March 18, 1998
, the plaintiffs seek to recover damages from these state parole officers.\1 During discovery, the plaintiffs served subpoenas to certain employees of the Office of Inspector General (“OIG”), requesting production ...
Brief • 2009
Graham v Owens Tx Order Sex Offender Conditions 2009 Case 1:08-cv-00006-SS Document 156 Filed 08/06/2009 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF TEXAS AUSTIN DIVISION Page ...
Brief • 2006
, on or about October 15, 2001, the filing of a complaint by 1. Plaintiff against DEFENDANT commenced Case No. CV-S-02-1599. (the "Action*); 2. WHEREAS, the Action concerned discrimination and retaliatory ...
Brief • 2002
. ) ) ) fEB 221.001. ----- Civil Action No. _ ) The Government of the District of Columbia, ) SERVE: Mayor Anthony Williams) ) or his designee \ MAYOR'S CORRESPONDENCE UNIT CASE; NUHBER 1:O?CV00343 441 ...
Brief • May 4, 2012
Rich v. Taser International, NV, Ptf's Response to Lack of Standing Mtn., Taser Death, 2012 Case 2:09-cv-02450-ECR-RJJ Document 122 Filed 05/04/12 Page 1 of 5 1 John Snow, Nevada State Bar No. 4133 ...
Brief • February 6, 2014
Filed under: Marriage
Complaint. (Doc. # 16 ¶¶ 1-3). Defendant stipulated that she “does not oppose Plaintiffs’ request for relief.” (Id. ¶ 7). For the reasons set forth below, the Court finds declaratory and permanent injunctive ...
Brief • 2002
Snyder-walsh v Department of Corrections Wa Appeal Disciplinary Sanction of Dismissal Neglect of Duty 2002 1 2 BEFORE THE PERSONNEL APPEALS BOARD 3 STATE OF WASHINGTON 4 5 DIANNA SNYDER-WALSH ...
Brief • 2010
their dental claim. Page 1 of 6 Between January 2009 and June 2010, Plaintiffs and Defendants engaged in extensive negotiations in an attempt to reach a settlement. In mid-June, the Parties reached an agreement ...
Brief • October 22, 2007
Executive Director of TYC, and entered by the Court on September 28, 2007, attached as Exhibit A hereto. In support of this motion, Plaintiffs show: I. FACTS 1. On September 13, 2007, Plaintiffs filed ...
Brief • 2012
Fogleman v County of Los Angeles Order Mtc Sanctions Use of Force Retaliation 2012 Case 2:10-cv-06793-GAF-SH Document 152 Filed 07/17/12 Page 1 of 6 Page ID #:1998 1 2 3 4 5 6 7 8 9 UNITED STATES ...
Brief • 2000
Washington Water Jet Workers Association v Yarbrough Wa Declaration of Paul a Wright 2000 Prison Labor ·"a • 1 Honorable James Docrty 2 Date ofl-lcaring: May 5. 2000 Time: 3:00 p.m. 3 4 5 6 7 ...
Brief
Administrative Procedures Act, (Utah Code Ann. 63-46b-1 et. seq.), the Licensure of Programs and Facilities Act (Utah Code Ann. 62A-2-101, et. Seq.), and Utah Department of Human Services Administrative Rules ...
Brief • 2009
13) 633-090 1 TO: SACHI A. HAMAl Executive Officer Board of Supervisors Attention: Agenda Preparation FROM: ROGER H. GRANBO Assistant County Counsel Law Enforcement Services Division RE: Raymond ...
Brief • 2006
No. ___________ Defendants. Plaintiff Charles Armstrong, for his Complaint against above-named Defendants, states and alleges as follows: I. INTRODUCTION 1. This is an action for money damages and declaratory relief against ...
Brief • 2008
SHERWIN (State Bar No. 189268) HADDAD & SHERWIN 505 Seventeenth Street Oakland, California 94612 Telephone: (510) 452-5500 Fax: (510) 452-5510 1 2 3 7 8 9 10 Attorneys for Plaintiffs 11 UNITED STATES ...
Brief • November 14, 2017
, that exist, existed, or may exist between them up to and including the ;date upon which this Agreement is Page 1 of 7 executed in accordance with the terms set out in this Agreement. For that reason ...
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