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Displaying 39-53 of 157 results

No. 1048740994

Document WHITSON, ALLEN v. ISSAC, EDUARDO, CJ-2018-856, No. 1048740994 (Oklahoma State, Tulsa County, District Court Mar. 2, 2021)
ALLEN WHITSON, PLESANT SANDERS, and
EDUARDO ISAAC, and WHEELING EQUIPMENT,
STATE OF OKLA, TULSACoun
2021 at Status conference in the above-referenced caseis set for
OMS heeywe MAa the District Court Judge/of Conference \d.
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No. 1054911293

Document CAPITAL PREMIUM FINANCING INC v. ZIMMERMAN, MICHAEL STEPHEN, CJ-2017-3194, No. 1054911293 (Oklahoma State, Tulsa County, District Court Apr. 10, 2023)
we IN THE DISTRICT COURT IN AND FOR TULSA COUNDismay COURT
COMESNOWthePlaintiff, Capital Premium Financing Inc., and hereby dismisses without prejudice the above-styled and numbered action against the Defendant, Michael Stephen Zimmerman d/b/a Mike ZimmermanInsurance Agency.
Respectfully submitted,
I, Richard D. White,
, 2023, I mailed a true and correct copy of the Dismissal Without Prejudice, with proper postage duly affixed,to: Dan S. Folluo, Esq. Austin T. Jackson, Esq.
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No. 1048331265

Document UNDERWOOD, SHONNA v. SHERWOOD HEALTH SERVICES LLC, CJ-2017-3894, No. 1048331265 (Oklahoma State, Tulsa County, District Court Dec. 21, 2020)
Approving Wrongful Death Settlement and Disbursement of Settlement Proceeds It appearing to the Court that Plaintiff, Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis desires to accept a settlement in this Nursing Home Case.
The Court has examined the terms of the settlement and grants permission for Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis to accept the settlement of the Nursing Home Case.
The Court, having reviewed the application, FINDS, ADJUDGES, and DECREES thatit is in the best interest ofthis case to approvethe said settlementofthe Nursing Home Case, The Court further FINDS, ADJUDGES and DECREES that the Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis disburse the settlement proceeds, as follows:
3, The following subrogationshall be paid: A. Medicare: B. Medicaid: C. Community Care: $ $ 0.00 0.00 $2,785.52 4, Pursuant to 12 OKLA. STAT. ANN.
The remaining sum shall then be distributed equally to the three wrongful death beneficiaries.
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No. 1047914112

Document UNDERWOOD, SHONNA v. SHERWOOD HEALTH SERVICES LLC, CJ-2017-3894, No. 1047914112 (Oklahoma State, Tulsa County, District Court Dec. 1, 2020)
Approving Wrongful Death Settlement and Disbursement of Settlement Proceeds It appearing to the Court that Plaintiff, Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis desires to accept a settlementin this Nursing Home Case.
The Court has examined the terms of the settlement and grants permission for Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis to accept the settlement of the Nursing Home Case.
The Court further FINDS, ADJUDGES and DECREES that the Shonna Underwood, Wrongful Death Beneficiary of Ola Lewis disburse the settlement proceeds, as follows:
The requested legal expenses in the amount of $3,430.93 are fair and reasonable and shall be paid from said settlement.
The following subrogation shall be paid: A. Medicare: B. Medicaid: C. Community Care: $ $ 0.00 0.00 $2,785.52 Pursuant to 12 OKLA. STAT. ANN.
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No. 1051769874

Document CAPITAL PREMIUM FINANCING INC v. ZIMMERMAN, MICHAEL STEPHEN, CJ-2017-3194, No. 1051769874 (Oklahoma State, Tulsa County, District Court Mar. 11, 2022)
Asto the first sentence contained in Plaintiff's Undisputed Fact 4, Mr. Zimmerman disputes the accuracy of the statement, states that the referenced rationale is not included or incorporated in the Agreement, and denies that this portion is material to the issues before this Court.
In the event of early cancellation of the policy, Provision 7 of the Agreement directly and unambiguously places responsibility for this exact scenario upon the Borrower (Champion Truck Lines, LLC): If there is a balance due after receipt by Capital ofany unearnedpremiums, dividends, loss payments, or other refunds from the insurancecarrier, the Borrower agrees to pay the balance to Capital with interest at the rate shownin this agreement or the maximum rate prescribed by law.
Plaintiffhas failed to meet this burden.First, the majority ofPlaintiffs facts are supported only by a conclusory,all-encompassing affidavit signed by Plaintiff's own Chief Operating Officer.
For example, Plaintiff asserts that the missing, unearned premium is dueto the “addition of the seventy (70) new trucks” by Mr. Zimmerman,but offers no support beyondthe self-serving affidavit of Mr. Heugly.
Plaintiff's own actionsin affirmativelyreinstating the insurance coverage, after having being told that Champion wasseeking an increase in the number of covered trucks, provides an additional basis upon which a jury may find in favor of Mr. Zimmerman.
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No. 1053424191-1

Document C David Rhoades v. Charles Schiavo Randall Wickersham James Taylor Richard Wickersham Christopher Edwards Allan Polhill Steven Browning Triepiq Medical Group LLC Alpha Pain Managem...
IN THE DISTRICT COURT OF OKLAHOMA COUNTY oct 4 1 2022
COMESNOWPlaintiff C. David Rhoadesin his capacity as the court appointed Receiver for: Healthcare Holdings LLC, TriEpiq Group, LLC, TriEpiq Lab Group LLC, Advanced Laboratory Services LLC f/k/a Alan R. McKown D.C., LLC, TLG Toxicology El Paso LLC, TLG Toxicology-Tahlequah LLC, Oklahoma Toxicology Group LLC, TLG Toxicology-Kansas #1 LLC,Kansas Toxicology Group, LLC, Lone Star Toxicology Group LLC, Centerpoint Healthcare Services LLC, New York Toxicology Group LLC, Tennessee Toxicology Group LLC, TLG Toxicology-Sweetwater Group LLC, and High Plains Toxicology Group LLC,Plaintiff in the above-styled action, and hereby dismisses his claims against Defendants with prejudice to future re-filing.
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No. 1052817447-1

Document Willette Lindesay v. Marriott Fairfield Inn And Suites Oklahoma City Airport Sky Hospitality Inc Champion Hotels Marriott International Inc Minal Hotels Llc, CJ-2018-3709, No. 1052817447-1 (Okla...
COMES NOWthePlaintiff,Willette Lindésay, by and through her counsel of record, LambertD.Dunn,Ir,and dismisses any and all claims, against all Defendants with prejudice to future refiling, all issues oflaw and fact having been resolved, Respectfullysubmitted,
.ChosbertD.
Dum, Tr, OBA #20682 2548 Northwest Ey bressway, Suite 102 Qklahoma City, Oklahoma 73112 Gtiorney,“forPlaintiff
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No. 1050952419

Document WHITSON, ALLEN v. ISSAC, EDUARDO, CJ-2018-856, No. 1050952419 (Oklahoma State, Tulsa County, District Court Nov. 8, 2021)

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No. 1050952744

Document WHITSON, ALLEN v. ISSAC, EDUARDO, CJ-2018-856, No. 1050952744 (Oklahoma State, Tulsa County, District Court Nov. 5, 2021)

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No. 1052812782

Document JAMES FOSTER v. ALEXIS GOINGS Liberty Mutual Insurance Company, CJ-2018-4129, No. 1052812782 (Oklahoma State, Oklahoma County, District Court Jun. 28, 2022)

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No. 1052264885

Document JAMES FOSTER v. ALEXIS GOINGS Liberty Mutual Insurance Company, CJ-2018-4129, No. 1052264885 (Oklahoma State, Oklahoma County, District Court Apr. 26, 2022)

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No. 1049667266

Document WHITSON, ALLEN v. ISSAC, EDUARDO, CJ-2018-856, No. 1049667266 (Oklahoma State, Tulsa County, District Court Jun. 23, 2021)

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No. 1049395675

Document WHITSON, ALLEN v. ISSAC, EDUARDO, CJ-2018-856, No. 1049395675 (Oklahoma State, Tulsa County, District Court May. 21, 2021)

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No. 1049497740

Document Kevin Newton Lori Newton v. Tommy Vails A.r. Webb Trucking, Llc, Dba Webb Trucking Shelter General Insurance Company The Cummins Construction Company, Inc. Overland Construction Com...

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No. 1051223554

Document Lloyd Plunkett v. 333 Park Macarthur, Llc One Gas Inc, CJ-2018-5908, No. 1051223554 (Oklahoma State, Oklahoma County, District Court Dec. 7, 2021)

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