I had previously held the role of State Practice Group Leader of the Civil Liability team in Victoria and also lead the Superannuation & Disability
Insurance national practice.
Not exact matches
(1) The following shall be exempt from the Credit Services Organization Act: (a) A person authorized to make loans or extensions of credit under the laws of this state or the United States who is subject to regulation and supervision by this state or the United States or a lender approved by the United States Secretary of Housing and Urban Development for participation in a mortgage
insurance program under the National Housing Act, 12 U.S.C. 1701 et seq.; (b) A bank or savings and loan association whose deposit or accounts are eligible for insurance by the Federal Deposit Insurance Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this state; (d) A nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to practice law in this state acting within the course and scope of the person's practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm, corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to 6
insurance program under the
National Housing Act, 12 U.S.C. 1701 et seq.; (b) A bank or savings and loan association whose deposit or accounts are eligible for
insurance by the Federal Deposit Insurance Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this state; (d) A nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to practice law in this state acting within the course and scope of the person's practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm, corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to 6
insurance by the Federal Deposit
Insurance Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this state; (d) A nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to practice law in this state acting within the course and scope of the person's practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm, corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to 6
Insurance Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this state; (d) A nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to
practice law in this state acting within the course and scope of the person's
practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm, corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to 69 - 1217.
«Credit Services Organization» does not include any of the following: (i) a person authorized to make loans or extensions of credit under the laws of this State or the United States who is subject to regulation and supervision by this State or the United States, or a lender approved by the United States Secretary of Housing and Urban Development for participation in a mortgage
insurance program under the National Housing Act (12 U.S.C. Section 1701 et seq.); (ii) a bank or savings and loan association whose deposits or accounts are eligible for insurance by the Federal Deposit Insurance Corporation or the Federal Savings and Loan Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act
insurance program under the
National Housing Act (12 U.S.C. Section 1701 et seq.); (ii) a bank or savings and loan association whose deposits or accounts are eligible for
insurance by the Federal Deposit Insurance Corporation or the Federal Savings and Loan Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act
insurance by the Federal Deposit
Insurance Corporation or the Federal Savings and Loan Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act
Insurance Corporation or the Federal Savings and Loan
Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act
Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to
practice law in this State acting within the course and scope of the person's
practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of 1987.
The fact sheets make extensive use of photographs and drawings to illustrate
National Flood
Insurance Program (NFIP) regulatory requirements, the proper siting of coastal buildings, and recommended design and construction
practices for building components, including structural connections, the building envelope, utilities, and accessory structures.
Our
national Insurance Coverage
Practice advises clients and litigates complex commercial coverage issues.
Current Issues Impacting
Insurance Defense
Practice,
National Business Institute, October 2005; Co-Author
David has more than 35 years of jury trial, products liability, and
insurance litigation experience and is board certified in civil trial law and in civil pretrial
practice advocacy by the
National Board of Legal Specialty Certification.
National firm Mills & Reeve has made up three new partners, with the firm's professional indemnity
insurance practice gaining two new partners across Birmingham and Leeds, with the promotions of David Gooding and Neil Howes respectively.
Mr. Hufford and Mr. Cowart lead Zuckerman Spaeder's
national practice representing patients and health care providers such as doctors, hospitals, and medical equipment companies in disputes with health
insurance companies.
Though he has a broad background in California
insurance law, David's
practice is truly
national in scope.
Jerry has previously served on the State Bar of Texas Grievance Committee for Attorney Discipline (Houston Division) and the State Bar of Texas Unauthorized
Practice of Law Committee (Houston Division) and as a Professor for the
National Insurance Crime Bureau.
Thompson Hine's nationally recognized Privacy & Cybersecurity
practice offers clients an interdisciplinary group of lawyers with experience in complex
national and international issues of privacy, data protection, information security, records retention, employment and labor law, consumer protection, internet law,
insurance law and intellectual property matters.
Chair and Speaker, Numerous Regional,
National and International Legal Seminars, Programs and Symposia on Federal and State
Practice and Procedure, Electronic Discovery, Antitrust, Securities, RICO, Class Actions,
Insurance, Damages and International
Practice and Dispute Resolution
Wystan M. Ackerman has a
national appellate
practice focusing on
insurance coverage and class actions, regularly representing insurers and
national insurance industry associations (as amicus curiae) on critical
insurance coverage issues.
Mark previously
practiced as a litigator with Lang Michener LLP, a
national business law firm, and as an in - house counsel for RBC
Insurance, a large disability insurance
Insurance, a large disability
insuranceinsurance company.
His
national practice includes complex corporate cases; commercial
insurance claims and coverage disputes involving property and casualty
insurance, liability
insurance, environmental
insurance, professional liability
insurance, and directors and officers
insurance; financial institution litigation; product quality claims; professional liability claims involving attorneys, accountants,
insurance brokers, and stock brokers; employment and restrictive covenant claims; computer software disputes; and intellectual property matters.
Marshall Dennehey's Maritime Litigation
Practice Group serves
national and international clients in all facets of admiralty and marine
insurance law from offices in New York, New Jersey, Delaware, Pennsylvania and Florida.
Recognized by Chambers USA as a top
national maritime practice and by U.S. News & World Report - Best Lawyers ® as a National, Tier 1 law firm for Admiralty & Maritime Law, the attorneys in Marshall Dennehey's Maritime Litigation Practice Group handle matters in all facets of admiralty and marine insura
national maritime
practice and by U.S. News & World Report - Best Lawyers ® as a National, Tier 1 law firm for Admiralty & Maritime Law, the attorneys in Marshall Dennehey's Maritime Litigation Practice Group handle matters in all facets of admiralty and marine insura
practice and by U.S. News & World Report - Best Lawyers ® as a
National, Tier 1 law firm for Admiralty & Maritime Law, the attorneys in Marshall Dennehey's Maritime Litigation Practice Group handle matters in all facets of admiralty and marine insura
National, Tier 1 law firm for Admiralty & Maritime Law, the attorneys in Marshall Dennehey's Maritime Litigation
Practice Group handle matters in all facets of admiralty and marine insura
Practice Group handle matters in all facets of admiralty and marine
insurance law.
As our
practice has expanded from our base in the Northeast to cover matters across the United States, many of our lawyers have taken leadership roles in national and international professional organizations related to insurance law, including the Property Insurance Law Committee and the Professionals», Officers» and Directors» Liability Committee of the Tort Trial and Insurance Practice Section (TIPS) of the ABA, the Property Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associatio
practice has expanded from our base in the Northeast to cover matters across the United States, many of our lawyers have taken leadership roles in
national and international professional organizations related to
insurance law, including the Property Insurance Law Committee and the Professionals», Officers» and Directors» Liability Committee of the Tort Trial and Insurance Practice Section (TIPS) of the ABA, the Property Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
insurance law, including the Property
Insurance Law Committee and the Professionals», Officers» and Directors» Liability Committee of the Tort Trial and Insurance Practice Section (TIPS) of the ABA, the Property Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
Insurance Law Committee and the Professionals», Officers» and Directors» Liability Committee of the Tort Trial and
Insurance Practice Section (TIPS) of the ABA, the Property Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
Insurance Practice Section (TIPS) of the ABA, the Property Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associatio
Practice Section (TIPS) of the ABA, the Property
Insurance Committee of Federation of Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
Insurance Committee of Federation of
Insurance and Corporate Counsel (FICC), the Property Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
Insurance and Corporate Counsel (FICC), the Property
Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Associati
Insurance Committee of the International Association of Defense Counsel (IADC), and the Loss Executives Association (LEA).
FisherBroyles partner and co-chair of the firm's FinTech and Blockchain
practice group, Michael Pierson, is speaking at the Northeast Conference for the
National African American
Insurance Association in New York on May 17, 2018.
Mr. Johnson has a
national practice representing clients in commercial,
insurance and energy - related litigation.
Kimberly represents a wide array of clients, from individuals to
national and international companies, and a considerable portion of her
practice is devoted to the representation of regional,
national and international
insurance carriers.
Lou has a diverse and sophisticated
national practice with an emphasis on representing major parties, including banks,
insurance companies, hedge funds and other large institutional lenders, noteholders and bondholders, in complex commercial restructurings and reorganizations throughout the country.
«Trends in Law
Practice Management — Calculating the Risks» will be presented on Feb. 28, 2012, by the CBA's Legal Profession Assistance Conference, the Canadian Lawyers
Insurance Association and the
National Law
Practice Management and Technology Section live via webconference.
Her multifaceted
practice encompasses a broad spectrum of sectors within the
national and global economy, including manufacturing, retailers, health care, hotels, professional sports teams, banking and
insurance companies.
Some of the underwriting
practices insurance companies use are baffling, says Ruth Susswein, deputy director of
national priorities for Consumer Action, a group based in San Francisco.
Statutory accounting
practices are interspersed in the
insurance laws, regulations, and administrative rulings of each state and are usually based on the National Association of Insurance Commissioners («NAIC») Accounting Practices and Procedure
insurance laws, regulations, and administrative rulings of each state and are usually based on the
National Association of
Insurance Commissioners («NAIC») Accounting Practices and Procedure
Insurance Commissioners («NAIC») Accounting
Practices and Procedures manual.
National General
Insurance Customers: Once you become a customer of
National General
Insurance, and annually thereafter while you remain a customer of
National General
Insurance, we will provide you a Privacy Notice describing our privacy
practices related to the collection and sharing of personal information about our customers, as required by law.
According to California's life
insurance settlement property search website, in 2008 the California State Controller's Office began an audit of
national insurance company
practices.
The second part would create a review process for pricing
practices among auto
insurance companies, which, supporters say, would prevent providers from enacting the kind of pricing
practices that have resulted in Michigan's
insurance rates far exceeding the
national average.
Vice President Joe Biden addressed the
National Association of
Insurance Commissioners yesterday to tackle the issue of insurance rate reviews, a practice that would give insurance commissioners across the U.S. additional power to control hikes in
Insurance Commissioners yesterday to tackle the issue of
insurance rate reviews, a practice that would give insurance commissioners across the U.S. additional power to control hikes in
insurance rate reviews, a
practice that would give
insurance commissioners across the U.S. additional power to control hikes in
insurance commissioners across the U.S. additional power to control hikes in premiums.
In their place, Circle plans to offer a secure network architecture audited by a
national cybersecurity firm, one that will incorporate best
practices such as multi-signature transactions and offline cold storage vaults, as well as free
insurance on deposits.
ValuAmerica serves as a
national title and settlement services provider in compliance with the ALTA's Title
Insurance and Settlement Company best
practices.
The minimum floodplain requirements for communities participating in the NFIP (
National Flood
Insurance Program) are designed to ensure the
practice of sound floodplain management.
For about 60 or 70 clients of his firm's clients in the Houston region, there are around 200 claims — many of those connected to multifamily properties, strip shopping centers and schools, says Brian Dove, Dallas - based
national real estate
practice leader at USI
Insurance Services.