Call or email us anytime
(805) 484-0333
Search Guide
Today is Wednesday, May 15, 2024 -

SEARCH RESULTS

326 Results

Carroll, Wesley

06/01/2013
referencing something that is "transitory" and "not permanent." 6 During the 1993-1994 season when applicant played for the Bengals the team played seven games outside of Ohio as part of their regular NFL schedule. However each of those away games constituted just 116th of the team's regular schedule. By

Category: Panel

Bowen v. WCAB

12/17/2020
only when as and if it shall be approved by the Commissioner of the National Football League.' There a player signed three sets of contract forms covering the 73 Cal.App.4th 21 years 1960 1961 and 1962 to play for the Los Angeles Rams. fn. 9 However the National Football League NFL

Category: Cases

VaughnJonathan

01/01/2014
30 1994; following that employment he worked for the Pittsburg Steelers and the Rhein Fire an NFL Europe team before leaving football in June 1998.1 Id. at pp. 106-113. The Agreed Medical Evaluator AME in orthopedics Dr. Lynn E. Wilson reported as follows continuous trauma which he

Category: Panel

WardGermeine-1

08/01/2018
examination showed no erythema no swelling negative drop arm test negative empty can Neer NFL Touchdown Test negative push off test negative Subacromial Impingement Test and Spurling Test. PX2 On May 29 2013 during a physical therapy appointment at Heartland Health Center Petitioner said he hurt

Category: Panel

Pew: Big Opioid Pharma = Big Tobacco?

10/25/2017
Nation Sues Wal-Mart CVS Walgreens Over Tribal Opioid Crisis." AlterNet 31617 "Going After the Opioid Profiteers." CNN 31317 "Lawsuit alleges that NFL teams gave painkillers recklessly." HuffPost 3717 "Taking Aim At The Opioid

Category: Industry Insights

House, Milford Andrew

01/01/2013
BOARD 6 7 8 I CONCUR U ALFONSO J. ORES 9 10 i DE-PUTY FPT 57 11 12 13 14 15 16 17 NFL P. SULLIVAN DATED AND FILED AT SAN FRANCISCO CALIFORNIA 18 19 20 21 22 23 24 25 26 27 JAN 2 9 2013 SERVICE MADE ON THE ABOVE DATE ON THE PERSONS LISTED BELOW AT

Category: Panel

PolkCarlos

01/01/2016
and 15 the NFL Player Retirement Plan to support its claim that applicant had knowledge of his right to file a 16 workers' compensation claim. Report p. 7-8; Def. Exhs. N and P. The WCJ found that defendant's 17 evidence did not establish applicant had actual knowledge and therefore

Category: Panel

Richardson, Michael

05/01/2013
. Additionally applicant appeared to testify that when he began playing for the San Francisco 49ers he felt that he was able to compete in the NFL. However he also felt that he was playing at about 70 of his previous capacity. December 10 2012 Minutes of HearingSummary of Evidence MOHISOE 1212-18

Category: Panel

SpellmanKarlA

10/01/2016
in the affirmative. However there was no evidence or testimony that the service had been terminated or that termination was imminent; in fact the bill submitted shows that he actually added services NFL Sunday Ticket Max. TECO electric bill The bill submitted is dated 081916 and

Category: Panel

SamuelFreeman

05/01/2014
exercise of plenary equitable jurisdiction. See Luces v. Red Ventures 39 Fla. L. Weekly D471 Fla. 1st DCA February 28 2014. However a JCC may interpret a contract to determine under the parties rights law. and See responsibilities workers compensation Tampa Bay Area NFL Football Inc. v

Category: Panel

Start | < Previous | 27 28 29 30 31 32 | Next > | End

Advertisements

Upcoming Events

  • May 13-15, 2024

    NCCI's Annual Insights Symposi

    Join us May 13–15, 2024, for NCCI's Annual Insights Symposium (AIS) 2024, the industry’s premier e …

  • May 22-23, 2024

    San Diego Elevate Workers' Com

    About #ELEVATEWORKCOMP This annual event is all about championing the cause to improve Workers’ C …

  • Jun 12-14, 2024

    20th Annual Conference: Legisl

    Registration Our signature event of the year annually draws a high-level audience of participants …

Workers' Compensation Events

Social Media Links


WorkCompCentral
c/o Business Insurance Holdings, Inc.
PO Box 1010
Greenwich, CT 06836
(805) 484-0333