Friday, July 13, 2012

A Management Anchor in a Change-Management Storm | Business ...

Thursday, 12 July, 2012 19:01 Last Updated on Thursday, 12 July, 2012 19:02 Written by Doug Watsabaugh

Change is a frightening concept for most managers. There are various reasons why, but the one I sense the most often is this: managers and leaders alike, tend to think that change is only encouraged or initiated when something is wrong. And obviously, whenever we associate something as the adverse alternative of two options ? stability (good)/change (bad) ? we are going to prefer the former to the latter. It?s human nature. And with that, it?s no wonder so many professionals pity the process of change ? they think it?s a bad thing because it?s associated with negative meanings.

And I won?t sugarcoat, sometimes change is necessary because things aren?t working and things have gone wrong ? but that doesn?t mean change has to be bad. In fact, change should be considered the savior of it all, a hopeful possibility if anything. It?s the one thing that?s in our control when all else has gone awry. This is where you (the manager and/or leader) come into the picture.

I like to think of your role as the anchor to an unstable ship. Regardless of the reason (good or bad) change is happening in your team, organization or process, change inevitably alters something. By its very nature, change is variable. And we all know that when things are out of routine and unfamiliar, security comes from stability ? and this is the anchor?s role when the ship?s lost its stillness. So, what does all of that mean for you (the manager)? A LOT. Three things specifically.

#1. Your attitude has the ability to alter things (negatively or positively). While change is being driven, are you the calm for the storm or the eye of the storm? Be aware of the power of your presence.

#2. Your actions affect the ship (your team) and the storm (the change). What you do and how you address the need for change will either define the direction your team needs to go or leave them lost at sea hopeless and astray. Do everyone a favor and don?t drift aimlessly ? give your team what they need to sail through the storm successfully.

#3. Your perspective shapes their experience. While you?re all in process of driving this change (amidst the storm), are you taking the time to draw their attention to the things that matter? In other words, are you stopping to soak in the scenery that makes the journey worthwhile? Or are you rushing to reach the end, ignorant of the lessons and experiences you could have captured along the way?

Now, I ask you: When the change-management storm roars your team?s way, what role do you want to play? Hopefully, after some time and reflection, you choose to be the anchor amidst the storm.

Source: http://wcwpartners.com/organizational-change/a-management-anchor-in-a-change-management-storm/

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Thursday, July 12, 2012

Sprint Epic 4G Touch (Update: but not US Cellular Galaxy S II) ICS update is official, start rolling out today

Just as the leak last night indicated, Samsung is finally ready to deliver Ice Cream Sandwich to Sprint's Galaxy S II Epic 4G Touch. Samsung also announced today that US Cellular's similar but WiMAX-less SCH-R760 Galaxy S II is getting the same (Update: an entirely different) FF18 update as well. The changelogs are available at the source links below, interestingly Android Beam is mentioned since these devices lack NFC, it's hard to see how that could be on the list. US Cellular users can download and install the update right now using a SimpleDL tool on a Windows PC, however unfortunately there's no support for any other operating systems at this time. On Sprint the update is coming out OTA and will slowly arrive on devices over the next few days, but if you're impatient then we'd keep an eye on the thread at XDA Developers for reports on how well it works as well as some sideloaded workarounds.

Update: So sorry for US Cellular folks, it appears your wait will continue. While sharing a tag, the update for your phone resolves an issue with getting GPS lock... and that's it. There's always CyanogenMod or AOKP, right? Also, while we're at it, check out the updated ZDA Developers link to download ICS for the Epic 4G Touch directly, plus a quick how-to install video (embedded after the break.) [Thanks @jbro456]

Continue reading Sprint Epic 4G Touch (Update: but not US Cellular Galaxy S II) ICS update is official, start rolling out today

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Sprint Epic 4G Touch (Update: but not US Cellular Galaxy S II) ICS update is official, start rolling out today originally appeared on Engadget on Thu, 12 Jul 2012 16:09:00 EDT. Please see our terms for use of feeds.

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Source: http://www.engadget.com/2012/07/12/sprint-epic-4g-touch-and-us-cellular-galaxy-s-ii-ics-updates-are/

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Ohio freight train derails, causing fiery blast

Flames rise from a derailed freight train early Wednesday July 11, 2012 in Columbus, Ohio. Part of a freight train derailed and caught fire in Ohio's capital city early Wednesday, shooting flames skyward into the darkness and prompting the evacuation of a mile-wide area as firefighters and hazardous materials crews worked to determine what was burning and contain the blaze.(AP Photo/Chris Mumma)

Flames rise from a derailed freight train early Wednesday July 11, 2012 in Columbus, Ohio. Part of a freight train derailed and caught fire in Ohio's capital city early Wednesday, shooting flames skyward into the darkness and prompting the evacuation of a mile-wide area as firefighters and hazardous materials crews worked to determine what was burning and contain the blaze.(AP Photo/Chris Mumma)

Flames rise from a derailed freight train early Wednesday July 11, 2012 in Columbus Ohio. Part of a freight train derailed and caught fire in Ohio's capital city early Wednesday, shooting flames skyward into the darkness and prompting the evacuation of a mile-wide area as firefighters and hazardous materials crews worked to determine what was burning and contain the blaze.(AP Photo/Chris Mumma)

People watch the flames shoot up from a freight train that derailed and some cars burst into flames, early Wednesday morning July 11, 2012 in Columbus Ohio. Lt. Terry Bush says the accident happened at about 2 a.m. Wednesday in a mixed-use part of the city, and people living in one-mile radius of the blast have been evacuated. (AP Photo/Andrew Spear)

People watch the flames shoot up from a freight train that derailed and some cars burst into flames, early Wednesday morning July 11, 2012 in Columbus Ohio. Lt. Terry Bush says the accident happened at about 2 a.m. Wednesday in a mixed-use part of the city, and people living in one-mile radius of the blast have been evacuated. (AP Photo/Andrew Spear)

Flames rise from a derailed freight train, left unseen, early Wednesday July 11, 2012 in Columbus Ohio. Part of a freight train derailed and caught fire in Ohio's capital city early Wednesday, shooting flames skyward into the darkness and prompting the evacuation of a mile-wide area as firefighters and hazardous materials crews worked to determine what was burning and contain the blaze.(AP Photo/Chris Mumma)

(AP) ? Part of a freight train carrying ethanol derailed and caught fire in Ohio's capital city early Wednesday, shooting flames skyward into the darkness and prompting the evacuation of a mile-wide area as firefighters and hazardous materials crews monitored the blaze.

Norfolk Southern Corp. said it appeared about 11 cars of a southbound train derailed around 2 a.m. near Interstate 71, southeast of the Ohio State University campus. The train, traveling from Chicago to Linwood, N.C., went off the tracks north of downtown, in an industrial area blocks from residential neighborhoods.

Joel Priester said he watched the blast from his home two blocks away.

"I saw flames, then I heard a loud sound, like a boom, and saw the flames shooting higher," he said. "It looked like the sun exploded."

Three of the burning cars were tankers carrying ethanol, said Assistant Chief David Whiting of the Columbus fire division. After viewing the scene in daylight, authorities decided to let the fire burn out instead of trying to extinguish it.

It wasn't immediately clear what caused the derailment, which blocked access to about half of the Central Ohio Transit Authority's fleet of vehicles, limiting the city's public bus service. The National Transportation Safety Board said it was sending an investigator to the scene.

Two people who ran toward the scene before the explosion were injured but were able to take themselves to a hospital, fire Battalion Chief Michael Fowler said.

None of the three personnel onboard the train was hurt, Norfolk Southern spokesman Dave Pidgeon said. He said he couldn't comment on the crew's safety record but said the company has been recognized in the industry for its overall safety record.

Photographer Chris Mumma said he was more than 10 miles away in New Albany when he saw the night sky brightened by a "huge illumination" that he later learned was an explosion. He said he went to the scene to take photos and saw punctures on top of the train that were spewing flames 20 to 30 feet high. He also noticed an odd odor.

"I noticed there was a chemical smell, and I was inhaling it so I backed up a little bit more because I wasn't sure what I was getting involved with," he said. Mumma said it made him so nauseous that he ended up at the hospital.

About 50 evacuees went to an American Red Cross aid site set up at the state fairgrounds. Among them was Linda Ogletree, who lives a block from the accident site.

"I was in the house and heard the explosion, then I ran outside to see where it was coming from. The whole outside was lit up," she said.

She said she walked to the end of the street with other people but took off running when an explosion occurred.

Norfolk Southern said trains blocked by the crash would be rerouted to other tracks in Columbus.

___

Associated Press reporter Shelley Adler in Washington, D.C., contributed to this report.

Associated Press

Source: http://hosted2.ap.org/APDEFAULT/386c25518f464186bf7a2ac026580ce7/Article_2012-07-11-Train%20Derailment%20Fire/id-7c3b5e839c3346c5ab337dadca87e0ea

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Video: Drought Disaster Spreads

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Source: http://video.msnbc.msn.com/cnbc/48155421/

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Wednesday, July 11, 2012

Ohio family finds treasure trove of baseball cards

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[ [ [['did not go as far his colleague', 8]], '29438204', '0' ], [ [[' the 28-year-old neighborhood watchman who shot and killed', 4]], '28924649', '0' ], [ [['because I know God protects me', 14], ['Brian Snow was at a nearby credit union', 5]], '28811216', '0' ], [ [['The state news agency RIA-Novosti quoted Rosaviatsiya', 6]], '28805461', '0' ], [ [['measure all but certain to fail in the face of bipartisan', 4]], '28771014', '0' ], [ [['matter what you do in this case', 5]], '28759848', '0' ], [ [['presume laws are constitutional', 7]], '28747556', '0' ], [ [['has destroyed 15 to 25 houses', 7]], '28744868', '0' ], [ [['short answer is yes', 7]], '28746030', '0' ], [ [['opportunity to tell the real story', 7]], '28731764', '0' ], [ [['entirely respectable way to put off the searing constitutional controversy', 7]], '28723797', '0' ], [ [['point of my campaign is that big ideas matter', 9]], '28712293', '0' ], [ [['As the standoff dragged into a second day', 7]], '28687424', '0' ], [ [['French police stepped up the search', 17]], '28667224', '0' ], [ [['Seeking to elevate his candidacy back to a general', 8]], '28660934', '0' ], [ [['The tragic story of Trayvon Martin', 4]], '28647343', '0' ], [ [['Karzai will get a chance soon to express', 8]], '28630306', '0' ], [ [['powerful storms stretching', 8]], '28493546', '0' ], [ [['basic norm that death is private', 6]], '28413590', '0' ], [ [['songwriter also saw a surge in sales for her debut album', 6]], '28413590', '1', 'Watch music videos from Whitney Houston ', 'on Yahoo! Music', 'http://music.yahoo.com' ], [ [['keyword', 99999999999999999999999]], 'videoID', '1', 'overwrite-pre-description', 'overwrite-link-string', 'overwrite-link-url' ] ]

Source: http://news.yahoo.com/ohio-family-finds-treasure-trove-baseball-cards-223900239--mlb.html

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Bed bugs may be tracked using DNA

Biologist Toby Fountain is fascinated by bed bugs.

He was originally intrigued by their "traumatic" reproductive behaviour; males injecting sperm directly into females' abdomens.

But Toby is now leading a study to find out why the infamous insects have spread so much in the last decade.

He and his colleagues are using DNA fingerprinting techniques in an effort to track down the origin of the great bed bug boom.

He discussed his project at the First Joint Congress for Evolutionary Biology in Ottawa.

Continue reading the main story

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The global surge in bed bugs, Toby explained, was first documented just after the 2000 Sydney Olympics.

"It's been getting more and more prevalent since then," says the scientist.

The cost of the spread has been exorbitant, although the exact figure is difficult to estimate, it has been placed in the tens of millions.

Primarily, this cost comes from law suits against hotels that are accused of being infested and leaving their guests badly bitten.

Other law suits have been taken out against pest controllers who, if and when a bed bug infestation returns, are accused by customers of failing to do their job properly.

This is where the University of Sheffield study could ultimately settle some expensive arguments.

Tracking 'pests'

The team's genetic techniques are pinpointing "signatures" in a bed bug's DNA that reveal which particular infestation a bug has come from.

"If you've picked up bed bugs from a hotel, you could look at the genetic markers of that bed bug and be fairly sure that they came from that place," Toby explains.

"And if every pest controller keeps a [sample and a] record of any infestation, we'll eventually be able find out whether any repeat infestations came from the same place, and whether that pest controller has done his job properly."

Currently, this prospective bed bug tracing tool is in the very early stages of development.

Toby is still in the process of gathering his bug DNA evidence, joining pest control teams across London to gather samples and trace the spread of the insects around the capital.

He says London is a "bed bug hotspot" and the psychological trauma the bugs cause is palpable.

"People in infested properties get extremely distressed," he explains.

There is even a condition, known as delusory parasitosis, in which people can actually break out in a bite-like rash, apparently caused by the stress of worrying about bed bugs.

"I've been to places in London and you can see it spreading through entire council blocks.

"The effect it has on people is terrible.

"I didn't realise how bad it could be until I went into some of these properties," Toby says.

Toby showed images of bed bugs, taken during his pest control trips, which revealed hundreds or even thousands of bugs crowded into crevices between sofa cushions.

He recalls one man in particular, in a badly infested London council flat.

"He sat in one chair and the bed bugs were all living in the other chair, so they would emerge in a line, walk over to his chair, feed on him and then go back home."

Hitching on humans

Despite all the discomfort, cost and upset they cause, Toby is clearly quite impressed by the sheer hardiness and capabilities of the bugs.

The fact that they have been able to spread throughout the globe in such a short time is remarkable.

The blood-sucking insects cannot fly and, since a single human can provide essentially an unlimited amount of food for a colony, finding a new home does not make much sense for their survival.

Leaving the comfort of their sofa crevice is actually quite risky. But it seems that bed bugs instinctively search for new places to hide and reproduce.

Toby Fountain did not believe how bad infestations could be until he witnessed it for himself.

"They have this horrible little habit of sneaking into your clothes or your bags whenever you stay at an affected property.

"So that means that the next time you step on a train or a plane they can suddenly move thousands of miles in one go.

"And this is quite a new thing, because it's only fairly recently that global air travel has become accessible to the general public."

This could explain the link between an Olympic year and a bed bug boom.

The genetic techniques Toby is using are just starting to get to the core of how global travel affects bed bug biology; how they are mutating, adapting and surviving.

One thing he has discovered is that they seem to be untroubled by the genetic effects of inbreeding, so they can just keep reproducing within their colonies.

To solve the mystery of bed bugs' worldwide success, Toby and his colleagues are now starting to work outside of the UK, primarily in Kenya, taking samples from homes in towns around Nairobi, and some smaller villages.

"In Kenya, bed bugs have always been there. So one theory is that that's where [the UK's bug resurgence] came from," explains Toby.

"Another theory is that they've always been in the UK, but in little, tiny pockets, and for some reason they've exploded out of these pockets in the last 10 years."

If Toby and his team find a genetic link between Kenya's bed bugs and those of the UK, they might be able to solve that part of the puzzle once and for all.

"I think we're getting closer," the scientist says.

Source: http://www.bbc.co.uk/nature/18781430

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Probate Arizona real estate Investing: Insider

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Video: Cass and Frankie Talk to Ken Jordan About Rachel, Arizona, and Mac?s Will, 1990

Ohio Bankruptcy Law: Do?s & Don?ts

Filed 10/2/09 CERTIFIED FOR PUBLICATION IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA SECOND APPELLATE DISTRICT DIVISION FOUR ANDREW BUESA et al., Plaintiffs and Appellants, v. CITY OF LOS ANGELES, Defendant and Respondent. B212854 (Los Angeles County Super. Ct. No. BC378215) APPEAL from a judgment of the Superior Court of Los Angeles County, Elihu M. Berle, Judge. Affirmed. Law Office of David W. Allor and David W. Allor for Plaintiffs and Appellants. Rockard J. Delgadillo and Carmen Trutanich, City Attorneys, and Paul L. Winnemore, Deputy City Attorney for Defendant and Respondent. _________________________ 2 This is an appeal from a judgment on the pleadings in an action against the City of Los Angeles (City)1 brought by two former Los Angeles police officers, Andrew Buesa and Michael Cardenas. Plaintiffs seek damages for a violation of their rights under the Public Safety Officers Procedural Bill of Rights Act (Gov. Code, ? 3300 et seq. (POBRA)).2 The gravamen of their complaint is that a perjured declaration submitted by the City deprived them of their statute of limitations defense in an administrative mandamus proceeding over their discharges. The issue is whether they may maintain this as a separate action, or whether under the doctrine of collateral estoppel it is barred by the final judgment denying their petition for administrative mandamus. We conclude that plaintiffs? action under POBRA is barred because it constitutes an impermissible collateral attack on the mandate judgment. FACTUAL AND PROCEDURAL SUMMARY Since this matter is on appeal from a judgment on the pleadings, we take our factual summary from the allegations of the second amended complaint, which is the charging pleading. On February 2, 2002, plaintiffs participated in the arrest of a suspect following a car and foot chase. The same day, the Los Angeles Police Department (LAPD) learned of alleged acts of misconduct by plaintiffs arising from that arrest. The next day, Sergeant Joe Losorelli, of the LAPD Internal Affairs Group, was assigned to investigate the alleged misconduct. On August 15, 2002, Losorelli met with a deputy district attorney in the Los Angeles County District Attorney?s Office for the purpose of seeking a determination whether criminal charges should be filed against plaintiffs based on the February 2002 incident. Losorelli met with the deputy district attorney again on October 2, 2002, at which time he provided a copy of his investigation and witness statements. 1 Police Chief William J. Bratton was a named defendant in the original complaint, but he was deleted in the second amended complaint, the charging pleading. He is not a party to this appeal. 2 Statutory references are to the Government Code unless otherwise indicated. 3 According to plaintiffs, the district attorney?s office opened its criminal investigation against plaintiffs that day. POBRA provides a one-year statute of limitations for bringing of police misconduct charges. The time runs from discovery of the misconduct. (? 3304, subd. (d).) Section 3304, subdivision (d)(1) tolls the limitations period while a criminal investigation or prosecution is pending. On December 2, 2002, Losorelli asked LAPD superiors to toll the statute of limitations against plaintiffs because of the pending criminal investigation. He asked that the period be tolled from his August 15, 2002 meeting with the district attorney?s office until the conclusion of the criminal investigation. The criminal investigation was terminated on February 11, 2003, when the deputy district attorney in charge of the case elected not to seek a grand jury indictment. Personnel complaints against plaintiffs were filed at the Los Angeles Police Commission on August 3, 2003, alleging misconduct arising from the February 2002 arrest. They were served the next day. On August 3, 2004, a board of rights found plaintiffs guilty of misconduct and recommended that they be discharged. On September 29, 2004, the chief of police adopted the recommendation that plaintiffs be terminated for failure to report the use of force against a suspect. The chief signed orders removing them from employment, effective that day. Plaintiffs filed a petition for writ of administrative mandamus (Code Civ. Proc., ? 1094.5) on December 14, 2004 seeking review of their terminations. They alleged that Losorelli furnished a false declaration regarding tolling, which was used by defendant in responding to the petition. Allegedly, Losorelli knew that pursuant to a policy of LAPD and the district attorney?s office, only the latter was authorized to open a criminal investigation against sworn personnel. According to the complaint, the district attorney?s office opened the criminal investigation against plaintiffs on October 2, 2002. Plaintiffs allege: ?Sergeant Losorelli knowingly and intentionally testified falsely that his investigation against plaintiffs was considered a criminal investigation from the beginning (as of February 2, 2002). Sergeant Losorelli knowingly and intentionally testified falsely that he first presented the case against plaintiffs to [the deputy district 4 attorney] for possible criminal filing at a July 31, 2002 meeting, when this meeting actually took place on August 15, 2002.? Allegedly, with knowledge that the August 3, 2003 personnel complaints against plaintiffs were time-barred, Losorelli presented a false declaration in the mandamus action ?with the intent of fraudulently extending the tolling period for criminal investigations? authorized by section 3304, subdivision (d) ?and with the malicious intent to deprive plaintiffs of their rights,? and further employment with the LAPD. According to plaintiffs, they discovered Losorelli?s wrongful conduct on July 25, 2007, after the administrative mandamus proceeding was concluded. They do not explain the circumstances of that discovery. Plaintiffs? petition for writ of administrative mandate was denied by the trial court. The court found the weight of evidence at the administrative hearing supported the decision to terminate plaintiffs. It identified the application of the POBRA statute of limitations as ?the main legal issue in the case.? The court noted that both sides had submitted documentary evidence and declarations on the limitations issue, and that no objection to this evidence was made by either side. The trial court found: ?The disciplinary action against the petitioners is not barred by the limitations provision of the POBR? because of the tolling provision in section 3304, subdivision (d)(1). The court stated that charges were served on plaintiffs 18 months and two days after the alleged misconduct. It found: ?The alleged misconduct was the subject of a criminal investigation that commenced on or before July 31, 2002, when an LAPD investigator met with the District Attorney regarding the matter, and which did not end until February 11, 2003, when the District Attorney decided not to ask the grand jury for an indictment because of the lack of evidence. The one-year limitation period was therefore tolled for six months and eleven days. The investigation was therefore completed and notice of charges were served upon the petitioner[s] within the 5 twelve month period required by section 3304(d).? No appeal was filed from the denial of the petition for administrative mandate and that order is now final.3 Plaintiffs filed their original complaint in this separate action seeking reinstatement on September 27, 2007. They filed a first amended complaint which was the subject of a successful motion for judgment on the pleadings. The motion was granted with leave to amend. Plaintiffs? second amended complaint dropped the claim for reinstatement, and, instead sought damages against the City for violation of POBRA. City responded with a new motion for judgment on the pleadings. At the first hearing on the motion, the trial court requested additional briefing on whether perjury in a prior proceeding may be the basis for a collateral attack on the judgment. After supplemental briefing on that issue, a second hearing was held. The court found: ?The gravamen of this lawsuit is an action under Government Code section 3309.5, but it?s based upon plaintiffs? claim for perjury in the underlying action in the mandamus proceeding.? The court observed that the weight of California authority is that perjury is not a basis for collateral attack on a judgment. It found ?that since the gravamen of the complaint in this case is perjury in a prior proceeding and further based upon the principles of law that perjury in a prior proceeding, which is intrinsic fraud, is not grounds for collateral attack, the court is going to grant the motion for judgment on the pleadings.? Judgment was entered in favor of City. This appeal followed. DISCUSSION ?The standard of review for a motion for judgment on the pleadings is the same as that for a general demurrer: We treat the pleadings as admitting all of the material facts properly pleaded, but not any contentions, deductions or conclusions of fact or law contained therein. We may also consider matters subject to judicial notice. We review the complaint de novo to determine whether it alleges facts sufficient to state a cause of 3 Plaintiffs sued their former attorney for malpractice for promising, but failing, to appeal the denial of the writ petition. We are not informed of the outcome of that action. 6 action under any theory. [Citation.]? (Dunn v. County of Santa Barbara (2006) 135 Cal.App.4th 1281, 1298.) The issue presented is whether the action for damages under POBRA is barred by the final judgment following denial of plaintiffs? petition for writ of administrative mandate pursuant to Code of Civil Procedure section 1094.5. Plaintiffs argue they are not collaterally attacking the mandate judgment, which is final, and therefore the doctrines of finality of judgments and collateral estoppel do not apply. Their theory is that their procedural rights under POBRA were thwarted by the alleged perjury by Sergeant Losorelli. Rather than seeking reinstatement to the LAPD, plaintiffs now seek damages for emotional distress, lost earnings and benefits (including pensions), both past and future. They also seek a civil penalty of $25,000 under section 3309.5, and costs of suit. Finally, plaintiffs seek ?an order of injunctive or extraordinary relief that the court deems necessary and just to prevent such future similar actions on the part of defendants against other employees.? A. POBRA POBRA ?sets forth a list of basic rights and protections which must be afforded all peace officers (see ? 3301) by the public entities which employ them. (?? 3300 et seq.) ?It is a catalogue of the minimum rights (? 3310) the Legislature deems necessary to secure stable employer-employee relations (? 3301).? (Baggett v. Gates (1982) 32 Cal.3d 128, 135.)? (Gales v. Superior Court (1996) 47 Cal.App.4th 1596, 1600, fns. omitted (Gales).) Plaintiffs? second amended complaint alleges an action under section 3309.5, which provides a private right of action for police officers who claim a violation of their rights under POBRA.4 4 In pertinent part, section 3309.5 provides: ?(a) It shall be unlawful for any public safety department to deny or refuse to any public safety officer the rights and protections guaranteed to him or her by this chapter. [?] . . . [?] (c) The superior court shall have initial jurisdiction over any proceeding brought by any public safety officer against any public safety department for alleged violations of this chapter. [?] (d)(1) In any case where the superior court finds that a public safety department has violated any of the provisions of this chapter, the court shall render appropriate injunctive or other 7 B. Availability of POBRA Cause Of Action City argues that plaintiffs have not stated a cause of action under POBRA because the alleged perjury was committed in the administrative mandamus proceedings after plaintiffs had been discharged from the LAPD. At that point, City argues, plaintiffs were no longer peace officers as defined by section 3301. Plaintiffs respond that the purpose of POBRA would be defeated if their rights are guaranteed only up to the point of discharge. We need not resolve whether a cause of action lies under POBRA based on a false declaration filed in an administrative mandamus proceeding because the time to challenge the declaration is in the Code of Civil Procedure section 1094.5 proceeding. A subsequent collateral attack on that basis is not allowed, as we next discuss. C. Finality of Adjudications The California Supreme Court examined the principles underlying the finality of judgments in Cedars-Sinai Medical Center v. Superior Court (1998) 18 Cal.4th 1 (Cedars-Sinai), in which it held that there is no separate tort for intentional spoliation of evidence. The court reviewed several cases that denied a tort remedy for the presentation of false evidence or suppression of evidence and observed these decisions ?rest on a concern for the finality of adjudication.? (Id. at p. 10.) ?This same concern underlies another line of cases that forbid direct or collateral attack on a judgment on the ground extraordinary relief to remedy the violation and to prevent future violations of a like or similar nature, including, but not limited to, the granting of a temporary restraining order, preliminary injunction, or permanent injunction prohibiting the public safety department from taking any punitive action against the public safety officer. [?] . . . [?] (e) In addition to the extraordinary relief afforded by this chapter, upon a finding by the superior court that a public safety department, its employees, agents, or assigns, with respect to acts taken within the scope of employment, maliciously violated any provision of this chapter with the intent to injure the public safety officer, the public safety department shall, for each and every violation, be liable for a civil penalty not to exceed twenty-five thousand dollars ($25,000) to be awarded to the public safety officer whose right or protection was denied . . . . If the court so finds, and there is sufficient evidence to establish actual damages suffered by the officer whose right or protection was denied, the public safety department shall also be liable for the amount of the actual damages.? 8 that evidence was falsified, concealed, or suppressed. After the time for seeking a new trial has expired and any appeals have been exhausted, a final judgment may not be directly attacked and set aside on the ground that evidence has been suppressed, concealed, or falsified; . . . such fraud is ?intrinsic? rather than ?extrinsic.? [Citations.] Similarly, under the doctrines of res judicata and collateral estoppel, a judgment may not be collaterally attacked on the ground that evidence was falsified or destroyed. [Citations.]? (Ibid., italics added.) The claim that the judgment was based on forged documents or perjured testimony does not obviate the force of this policy favoring finality of judgments. As explained in Pico v. Cohn (1891) 91 Cal. 129, upon which the Supreme Court relied, ??[W]e think it is settled beyond controversy that a decree will not be vacated merely because it was obtained by forged documents or perjured testimony. The reason of this rule is, that there must be an end of litigation; and when parties have once submitted a matter . . . for investigation and determination, and when they have exhausted every means for reviewing such determination in the same proceeding, it must be regarded as final and conclusive . . . . [?] . . . [W]hen [the aggrieved party] has a trial, he must be prepared to meet and expose perjury then and there. . . . The trial is his opportunity for making the truth appear. If, unfortunately, he fails, being overborne by perjured testimony, and if he likewise fails to show the injustice that has been done him on motion for a new trial, and the judgment is affirmed on appeal, he is without remedy. The wrong, in such case, is of course a most grievous one, and no doubt the legislature and the courts would be glad to redress it if a rule could be devised that would remedy the evil without producing mischiefs far worse than the evil to be remedied. Endless litigation, in which nothing was ever finally determined, would be worse than occasional miscarriages of justice . . . .?? (Cedars-Sinai, supra, 18 Cal.4th at pp. 10-11, italics added, quoting Pico v. Cohn, supra, 91 Cal. 129, 133-134; accord, United States v. Throckmorton (1878) 98 U.S. 61, 68-69.) 9 D. Intrinsic Fraud Courts traditionally have distinguished between extrinsic and intrinsic fraud, a distinction which ?is of critical importance because intrinsic fraud cannot be used to overthrow a judgment, even where the party was unaware of the fraud at the time and did not have a chance to raise it at trial.? (Pour Le Bebe, Inc. v. Guess? Inc. (2003) 112 Cal.App.4th 810, 828.) As we have discussed, the introduction of perjured testimony is a classic example of intrinsic fraud. (See also Kachig v. Boothe (1971) 22 Cal.App.3d 626, 634, cited with approval in Pour Le Bebe, Inc. v. Guess? Inc., supra, 112 Cal.App.4th at p. 828.) Plaintiffs argue these principles do not apply because their second amended complaint does not seek to invalidate the denial of the mandate petition and does not seek their reinstatement. They characterize the two actions: ?The prior action litigated whether [plaintiffs] were entitled to equitable relief because inter alia the City of Los Angeles brought charges against them beyond the one year statute of limitations. The present action seeks statutory penalties and damages for a different and distinct violation of Government Code ? 3309.5 by an employee of the City of Los Angeles.? They rely on Corral v. State Farm Mutual Auto. Ins. Co. (1979) 92 Cal.App.3d 1004 (Corral). Corral arose out of an uninsured motorist arbitration between an insured and her insurer. The insurer refused to stipulate that the third party involved in the accident with the insured was uninsured. The arbitration was continued to allow the insured to obtain evidence that the third party was uninsured or to obtain a stipulation to that effect. When neither was obtained, counsel for the insured submitted on the evidence produced at the hearing. The arbitrator found for the insurer. Six weeks later the insured sought to reopen the arbitration based on a new declaration from the third party stating that he was uninsured. The request was denied on the ground the arbitrator lacked authority to grant the relief requested. (Corral, supra, 92 Cal.App.3d at pp. 1007-1008.) The insured?s motion in the superior court to vacate the arbitration award was denied as untimely, a ruling that was affirmed by the Court of Appeal. (Id. at p. 1008.) 10 The insured then filed a separate action against the insurer for breach of the duty of good faith and fair dealing. In it, she alleged that at all times the insurer knew that the third party was uninsured, and fraudulently contended at the arbitration hearing that he was insured. In opposition to the defense motion for summary judgment, counsel for the insured submitted his declaration in which he stated that a claims manager for the insured had told him before the arbitration that the insurer would treat the claim as an uninsured motorist case. The attorney declared that, in reliance on these assurances, he made no effort to obtain evidence of the third party?s lack of insurance coverage. (Corral, supra, 92 Cal.App.3d at pp. 1008-1009.) The Corral court rejected the insurer?s argument that the bad faith action was barred by either res judicata or the policies underlying finality of judgments. (Corral, supra, 92 Cal.App.3d at p. 1009.) Instead, it held that each proceeding was based on a different claim of right: the arbitration proceeding was brought to recover benefits under the uninsured motorist provision of the insurance contract; the bad faith cause of action was not based on facts surrounding the automobile collision or the terms of the insurance policy, but on bad faith (refusal to acknowledge that the third party motorist was uninsured) committed after the collision. The court concluded that the bad faith claim constituted a different cause of action, and so was not barred by collateral estoppel. (Id. at pp. 1011-1012.) It held that the bad faith action was ?not a collateral attack upon the arbitrator?s award as it is not directed toward directly preventing the enforcement of that award or defeating rights acquired under it.? (Id. at p. 1013.) The court in Corral acknowledged a then recent case that reached a different result, but disagreed with its holding. The case was Rios v. Allstate Ins. Co. (1977) 68 Cal.App.3d 811, which held that the doctrine of finality of judgments barred a separate action for bad faith alleging that in an arbitration between insurer and insured, the insurer had presented false evidence and testimony. (Corral, supra, 92 Cal.App.3d at pp. 1012-1014.) But Rios (and several other decisions) were cited with approval by our Supreme Court in Cedars-Sinai, supra, 18 Cal.4th at page 10. Of course, the Corral court did not 11 have the benefit of the Supreme Court?s reasoning in Cedars-Sinai, which was decided some 19 years later. Plaintiffs do not cite or discuss Rios, but argue that Corral should apply because in that case, as in this one, the facts giving rise to the second action occurred during the first proceeding. They contend: ?As demonstrated in Corral, it is the extraordinary obligations of the defendant that allows the second action to proceed. In that case, it was the insurance company?s obligation of good faith and fair dealing. . . . Similarly, in the present case the City of Los Angeles cannot get away with its conduct at the hearing on the writ where it presented the perjurous [sic] declaration because it had an independent obligation not to violate [plaintiffs?] rights under Government Code, ? 3309.5.? Here, to prevail in their action for damages, plaintiffs had to prove a violation of POBRA based upon defendant?s reliance on a perjured declaration to show that the tolling of the time to file disciplinary actions lasted long enough to render their discharges timely. This goes to the heart of the trial court?s finding in the mandate proceeding. To the extent that Corral stands for the proposition that the finality of judgments doctrine does not apply to a separate bad faith action arising from the presentation of false or perjured testimony in an earlier proceeding, we disagree, and instead follow Cedars-Sinai, supra, 18 Cal.4th 1 and Rios, supra, 68 Cal.App.3d at pp. 818-819. Plaintiffs also rely on Miller v. Campbell, Warburton, Fitzsimmons, Smith, Mendel & Pastore (2008) 162 Cal.App.4th 1331 (Miller). In that case, the executor of an estate hired a law firm to represent her in connection with her duties. At the conclusion of the probate matter, the firm requested and was awarded its fees except for one category which the probate court found to involve work for the executor in her individual capacity. The firm did not appeal that decision. Instead, it filed a new action seeking quantum meruit recovery of the denied fees directly from the client. The trial court held the action was barred by the final judgment in the probate case. The Court of Appeal reversed. Significantly, it found that the probate court did not decide that the law firm was not entitled to the additional fees, but only that the fees were not payable out of the estate. 12 (Id. at p. 1341.) As the Miller court explained, the probate court never ruled on the firm?s entitlement to fees directly from its client, and therefore there was no basis for collateral estoppel. (Id. at p. 1343.) The case before us is quite different. The court ruled on the tolling issue in the mandate proceeding. Indeed it was the central question in the case. ??Collateral estoppel precludes the relitigation of an issue only if (1) the issue is identical to an issue decided in a prior proceeding; (2) the issue was actually litigated; (3) the issue was necessarily decided; (4) the decision in the prior proceeding is final and on the merits; and (5) the party against whom collateral estoppel is asserted was a party to the prior proceeding or in privity with a party to the prior proceeding. (Lucido v. Superior Court (1990) 51 Cal.3d 335, 341.)? (Zevnik v. Superior Court (2008) 159 Cal.App.4th 76, 82.)? (Plumley v. Mockett (2008) 164 Cal.App.4th 1031, 1048-1049.) That describes the present case. Because the tolling issue was actually litigated in the mandate proceeding, a new claim based on the allegedly perjured declaration is a collateral attack on the mandate decision. Perjured testimony cannot be the basis for a separate proceeding. (Cedars-Sinai, supra, 18 Cal.4th at pp. 10-11.) In light of our conclusion, we need not and do not address City?s other arguments. DISPOSITION The judgment is affirmed. City is to have its costs on appeal. CERTIFIED FOR PUBLICATION. EPSTEIN, P. J. We concur: WILLHITE, J. MANELLA, J. 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Source: bankruptcycourtco.com

How to stay organized while settling an estate in Arizona

Since the estate administration and probate process can be complex in Arizona, an executor may want to consider working with an attorney in order to make sure that a loved one?s will or trust is carried out appropriately. An attorney can help guide an executor through the probate process as well as the process of paying a loved one?s bills, filing taxes and other financial matters that must be addressed before settling an estate.
Source: phoenixestatesandprobatelaw.com

UNITED STATES BANKRUPTCY COURT WESTERN DISTRICT OF ?

??Texas, Gonzalez de la Garza Genealogy Collection ??Vermont, Vital Records, 1760-1954 ??Washington State County Land Records, 1852-1935 ??Washington State County Probate Case Files, 1832-1950 ??Washington State County Records, 1885-1950 ??Wisconsin, Fond du Lac Public Library Records, 1848-1980 New images have been added to the following databases unless otherwise noted: Australia, Queensland Cemetery Records, 1802-1990 Australia, Tasmania, Miscellaneous Records, 1829-1961 Austria, Seigniorial Records, 1537-1888 Bolivia, Catholic Church Records, 1566-1996 Brazil Civil Registration, 1870-2009 Canada, Ontario Births, 1869-1912 ?(Index records) Canada, Quebec Notarial Records, 1800-1900 Canada, Saskatchewan, Judicial District Court Records, 1891-1954 Canada, Saskatchewan, Probate Estate Files, 1887-1931 Canada, Quebec Notarial Records, 1800-1900 Chile, Santiago, Cementerio General, 1821-2010 ? ? ? ? ? ? ? ? ? ? ? China, Collection of Genealogies, 1500-1900 Colombia, Catholic Church Records, 1600-2008 ? ? ? ? ? ? ? ? ? ? Costa Rica, Civil Registration, 1860-1975 Czech Republic, Censuses, 1843-1921 Czech Republic, Church Books, 1552-1935 Czech Republic, Land Records, 1450-1850 Czech Republic, T?ebo?, Nobility Seignorial records, 1664-1698 Dominican Republic Civil Registration, 1801-2006 El Salvador, Civil Registration Records, 1836-1910 England and Wales Census, 1871 England, Norfolk Parish Registers, 1538-1900 ?(Index records and images) Estonia, Church Books 1835-194 Germany Marriages, 1558-1929 ?(Index records) Germany, Bavaria, Dinkelsb?hl Miscellaneous City Records, 1804-1946 Germany, W?rttemberg, Albstadt, Miscellaneous City Records, 1705-1850 Guatemala, Catholic Church Records, 1581-1977 Hungary Catholic Church Records, 1636-1895 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? Hungary Reformed Church Christenings, 1624-1895 ?(Index records) Hungary, Civil Registration, 1895-1980 Italy, Bologna, Bologna, Civil Registration (Tribunale), 1866-1941 Italy, Catania, Caltagirone, Civil Registration (Tribunale), 1861-1941 Italy, Catania, Catania, Civil Registration (Comune), 1820-1905 Italy, Cuneo, Civil Registration (State Archive), 1795-1915 Italy, Genova, Chiavari, Civil Registration (Tribunale), 1866-1941 Italy, Napoli, Civil Registration (State Archive), 1809-1865 Italy, Pistoia, Pistoia, Civil Registration (Tribunale), 1866-1929 Italy, Ravenna, Ravenna, Civil Registration (Tribunale), 1866-1929 Italy, Trieste, Trieste, Civil Registration (Tribunale), 1924-1939 Jamaica, Civil Birth Registration Korea, Collection of Genealogies, 1500-2009 Mexico, Morelos, Civil Registration, 1861-1920 Micronesia, Pohnpei, Land Records, 1971-2007 Nicaragua, Diocese of Managua, Catholic Church Records, 1740-2008 Norway Census, 1875 ?(Index records) Peru, Civil Registration, 1874-1996 Philippines, Civil Registration (National), 1945-1980 Poland, Roman Catholic Church Books, 1600-1950 Portugal, Aveiro, Catholic Church Records, 1550-1911 Portugal, Aveiro, Passport Registers, 1882-1965 Portugal, Aveiro, Testaments, 1900-1936 Portugal, Braga, Catholic Church Records, 1530-1911 Portugal, Bragan?a, Catholic Church Records, 1541-1985 Portugal, Coimbra, Catholic Church Records, 1459-1911 Portugal, Coimbra, Passport Registers and Application Files, 1835-1938 Portugal, Diocese of Lamego, Catholic Church Records, 1532-1911 Portugal, Diocese of Vila Real, Catholic Church Records, 1575-1975 Portugal, Faro, Catholic Church Records, 1587-1880 Portugal, Guarda, Catholic Church Records, 1459-1911 Portugal, Leiria, Catholic Church Records, 1534-1911 ? Portugal, Leiria, Passport Registers, 1861-1901 Portugal, Porto, Catholic Church Records, 1535-1949 Portugal, Porto, Catholic Church Records, 1582-1908 Portugal, Set?bal, Catholic Church Records, 1555-1911 ? Portugal, Viana do Castelo, Catholic Church Records, 1537-1909 Portugal, Vila Real, Catholic Church Records, 1533-1941 South Africa, Orange Free State, Estate Files, 1951-2004 South Africa, Reformed Church Records, 1856-1988 Spain, C?diz, Testaments, 1550-1920 Spain, Consular Records of Emigrants, 1808-1960 Spain, Consular Records of Emigrants, 1808-1960 Spain, Municipal Records Sweden, ?lvsborg Church Records, 1642-1897; index 1681-1860 Sweden, Blekinge Church Records, 1612-1916; index 1646-1860 Sweden, G?vleborg Church Records, 1616-1908; index 1671-1860 Sweden, G?teborg och Bohus Church Records, 1577-1932; index 1659-1860 Sweden, Gotland Church Records, 1582-1940; index 1655-1860 Sweden, Halland Church Records, 1615-1904; index 1615-1860 Sweden, J?mtland Church Records, 1582-1928; index 1642-1860 Sweden, J?nk?ping Church Records, 1581-1935; index 1633-1860 Sweden, Kalmar Church Records, 1577-1907; index 1625-1860 Sweden, ?rebro Church Records, 1613-1918; index 1635-1860 Sweden, Skaraborg Church Records, 1612-1921; index 1625-1860 United States: ? Alabama State Census, 1855 ?(Index records) ? Alabama State Census, 1866 ?(Index records) ? Alabama, County Estate Records, 1800-1996 ? Alabama, Sumter County Circuit Court Files, 1840-1950 ? ? ? ? ? ? ? ? ? ? ? ? California, Marriage Index, 1960-1985 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? California, San Francisco Area Funeral Home Records, 1835-1931 ? California, San Francisco County Records, 1824-1997 ? California, San Mateo County Records, 1856-1967 ? Connecticut, Death Index, 1949-2001 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? ? Delaware, Vital Records, 1680-1962 ? District of Columbia Marriages, 1811-1950 (Index records and images) ? Florida Marriages, 1830-1993 (Index and images) ? ? ? ? ? ? ? ? ? ? ? ? Florida, Tampa, Passenger Lists, 1898-1945 ? Georgia Headright and Bounty Land Records, 1783-1909 ? Idaho, Cassia County Records, 1879-1960 ? ? ? ? ? ? ? ? ? ? ? ? Idaho, Cassia County Records, 1879-1960 ? Idaho, Minidoka County Records, 1913-1961 ? Illinois, Probate Records, 1819-1970 ? Indiana, Death Index, 1882-1920 ? (Index records) ? Indiana, Marriages, 1811-1959 (Jay and Hamilton counties) ?(Index records) ? Kentucky, Confederate Pension Applications, 1912-1950 ? Kentucky, County Marriages, 1797-1954 ?(Index records and images) ? Louisiana, Orleans Parish Vital Records, 1910, 1960 ? Louisiana, Parish Marriages, 1837-1957 ?(Index records and images) ? Louisiana, Second Registration Draft Cards, compiled 1948-1959 ? Maine, State Archive Collections, 1790-1966 ? Maine, Washington County Courthouse Records, 1785-1950 ? Maryland, Garrett County Probate Estate and Guardianship Files, Source: blogspot.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: bankruptcycourtco.com Source: businessbankruptcyco.com Source: probatecourtco.com Source: bankruptcyrecordsco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: whatisbankruptcyco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com
Source: unitedstatesbankruptcycourtco.com

Free Chapter 13 Bankruptcy Calculator

??Texas, Gonzalez de la Garza Genealogy Collection ??Vermont, Vital Records, 1760-1954 ??Washington State County Land Records, 1852-1935 ??Washington State County Probate Case Files, 1832-1950 ??Washington State County Records, 1885-1950 ??Wisconsin, Fond du Lac Public Library Records, 1848-1980 New images have been added to the following databases unless otherwise noted: Australia, Queensland Cemetery Records, 1802-1990 Australia, Tasmania, Miscellaneous Records, 1829-1961 Austria, Seigniorial Records, 1537-1888 Bolivia, Catholic Church Records, 1566-1996 Brazil Civil Registration, 1870-2009 Canada, Ontario Births, 1869-1912 ?(Index records) Canada, Quebec Notarial Records, 1800-1900 Canada, Saskatchewan, Judicial District Court Records, 1891-1954 Canada, Saskatchewan, Probate Estate Files, 1887-1931 Canada, Quebec Notarial Records, 1800-1900 Chile, Santiago, Cementerio General, 1821-2010 ? ? ? ? ? ? ? ? ? ? ? China, Collection of Genealogies, 1500-1900 Colombia, Catholic Church Records, 1600-2008 ? ? ? ? ? ? ? ? ? ? Costa Rica, Civil Registration, 1860-1975 Czech Republic, Censuses, 1843-1921 Czech Republic, Church Books, 1552-1935 Czech Republic, Land Records, 1450-1850 Czech Republic, T?ebo?, Nobility Seignorial records, 1664-1698 Dominican Republic Civil Registration, 1801-2006 El Salvador, Civil Registration Records, 1836-1910 England and Wales Census, 1871 England, Norfolk Parish Registers, 1538-1900 ?(Index records and images) Estonia, Church Books 1835-194 Germany Marriages, 1558-1929 ?(Index records) Germany, Bavaria, Dinkelsb?hl Miscellaneous City Records, 1804-1946 Germany, W?rttemberg, Albstadt, Miscellaneous City Records, 1705-1850 Guatemala, Catholic Church Records, 1581-1977 Hungary Catholic Church Records, 1636-1895 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? Hungary Reformed Church Christenings, 1624-1895 ?(Index records) Hungary, Civil Registration, 1895-1980 Italy, Bologna, Bologna, Civil Registration (Tribunale), 1866-1941 Italy, Catania, Caltagirone, Civil Registration (Tribunale), 1861-1941 Italy, Catania, Catania, Civil Registration (Comune), 1820-1905 Italy, Cuneo, Civil Registration (State Archive), 1795-1915 Italy, Genova, Chiavari, Civil Registration (Tribunale), 1866-1941 Italy, Napoli, Civil Registration (State Archive), 1809-1865 Italy, Pistoia, Pistoia, Civil Registration (Tribunale), 1866-1929 Italy, Ravenna, Ravenna, Civil Registration (Tribunale), 1866-1929 Italy, Trieste, Trieste, Civil Registration (Tribunale), 1924-1939 Jamaica, Civil Birth Registration Korea, Collection of Genealogies, 1500-2009 Mexico, Morelos, Civil Registration, 1861-1920 Micronesia, Pohnpei, Land Records, 1971-2007 Nicaragua, Diocese of Managua, Catholic Church Records, 1740-2008 Norway Census, 1875 ?(Index records) Peru, Civil Registration, 1874-1996 Philippines, Civil Registration (National), 1945-1980 Poland, Roman Catholic Church Books, 1600-1950 Portugal, Aveiro, Catholic Church Records, 1550-1911 Portugal, Aveiro, Passport Registers, 1882-1965 Portugal, Aveiro, Testaments, 1900-1936 Portugal, Braga, Catholic Church Records, 1530-1911 Portugal, Bragan?a, Catholic Church Records, 1541-1985 Portugal, Coimbra, Catholic Church Records, 1459-1911 Portugal, Coimbra, Passport Registers and Application Files, 1835-1938 Portugal, Diocese of Lamego, Catholic Church Records, 1532-1911 Portugal, Diocese of Vila Real, Catholic Church Records, 1575-1975 Portugal, Faro, Catholic Church Records, 1587-1880 Portugal, Guarda, Catholic Church Records, 1459-1911 Portugal, Leiria, Catholic Church Records, 1534-1911 ? Portugal, Leiria, Passport Registers, 1861-1901 Portugal, Porto, Catholic Church Records, 1535-1949 Portugal, Porto, Catholic Church Records, 1582-1908 Portugal, Set?bal, Catholic Church Records, 1555-1911 ? Portugal, Viana do Castelo, Catholic Church Records, 1537-1909 Portugal, Vila Real, Catholic Church Records, 1533-1941 South Africa, Orange Free State, Estate Files, 1951-2004 South Africa, Reformed Church Records, 1856-1988 Spain, C?diz, Testaments, 1550-1920 Spain, Consular Records of Emigrants, 1808-1960 Spain, Consular Records of Emigrants, 1808-1960 Spain, Municipal Records Sweden, ?lvsborg Church Records, 1642-1897; index 1681-1860 Sweden, Blekinge Church Records, 1612-1916; index 1646-1860 Sweden, G?vleborg Church Records, 1616-1908; index 1671-1860 Sweden, G?teborg och Bohus Church Records, 1577-1932; index 1659-1860 Sweden, Gotland Church Records, 1582-1940; index 1655-1860 Sweden, Halland Church Records, 1615-1904; index 1615-1860 Sweden, J?mtland Church Records, 1582-1928; index 1642-1860 Sweden, J?nk?ping Church Records, 1581-1935; index 1633-1860 Sweden, Kalmar Church Records, 1577-1907; index 1625-1860 Sweden, ?rebro Church Records, 1613-1918; index 1635-1860 Sweden, Skaraborg Church Records, 1612-1921; index 1625-1860 United States: ? Alabama State Census, 1855 ?(Index records) ? Alabama State Census, 1866 ?(Index records) ? Alabama, County Estate Records, 1800-1996 ? Alabama, Sumter County Circuit Court Files, 1840-1950 ? ? ? ? ? ? ? ? ? ? ? ? California, Marriage Index, 1960-1985 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? California, San Francisco Area Funeral Home Records, 1835-1931 ? California, San Francisco County Records, 1824-1997 ? California, San Mateo County Records, 1856-1967 ? Connecticut, Death Index, 1949-2001 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? ? Delaware, Vital Records, 1680-1962 ? District of Columbia Marriages, 1811-1950 (Index records and images) ? Florida Marriages, 1830-1993 (Index and images) ? ? ? ? ? ? ? ? ? ? ? ? Florida, Tampa, Passenger Lists, 1898-1945 ? Georgia Headright and Bounty Land Records, 1783-1909 ? Idaho, Cassia County Records, 1879-1960 ? ? ? ? ? ? ? ? ? ? ? ? Idaho, Cassia County Records, 1879-1960 ? Idaho, Minidoka County Records, 1913-1961 ? Illinois, Probate Records, 1819-1970 ? Indiana, Death Index, 1882-1920 ? (Index records) ? Indiana, Marriages, 1811-1959 (Jay and Hamilton counties) ?(Index records) ? Kentucky, Confederate Pension Applications, 1912-1950 ? Kentucky, County Marriages, 1797-1954 ?(Index records and images) ? Louisiana, Orleans Parish Vital Records, 1910, 1960 ? Louisiana, Parish Marriages, 1837-1957 ?(Index records and images) ? Louisiana, Second Registration Draft Cards, compiled 1948-1959 ? Maine, State Archive Collections, 1790-1966 ? Maine, Washington County Courthouse Records, 1785-1950 ? Maryland, Garrett County Probate Estate and Guardianship Files, Source: blogspot.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: bankruptcycourtco.com Source: businessbankruptcyco.com Source: probatecourtco.com Source: bankruptcyrecordsco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: whatisbankruptcyco.com Source: bankruptcycourtco.com Source: chapter9bankruptcyco.com Source: bankruptcylawyersco.com Source: whatisbankruptcyco.com Source: bankruptcyforumco.com Source: whatisbankruptcyco.com
Source: insolvencyco.com

Free Legal Question: Wills and Trusts

If the date to appear is the 20th, show up on the 20th. However, if you were issued a citation, it was at the request or instigation of a certain party who wants you to produce evidence or testimony about something specific. You should carefully read the citation, determine who caused it to be issued, and call the party or the party?s attorney if they have one and find out what is being requested of you and what you can do to comply.
Source: lawguru.com

Public records (07/08/12)

??Texas, Gonzalez de la Garza Genealogy Collection ??Vermont, Vital Records, 1760-1954 ??Washington State County Land Records, 1852-1935 ??Washington State County Probate Case Files, 1832-1950 ??Washington State County Records, 1885-1950 ??Wisconsin, Fond du Lac Public Library Records, 1848-1980 New images have been added to the following databases unless otherwise noted: Australia, Queensland Cemetery Records, 1802-1990 Australia, Tasmania, Miscellaneous Records, 1829-1961 Austria, Seigniorial Records, 1537-1888 Bolivia, Catholic Church Records, 1566-1996 Brazil Civil Registration, 1870-2009 Canada, Ontario Births, 1869-1912 ?(Index records) Canada, Quebec Notarial Records, 1800-1900 Canada, Saskatchewan, Judicial District Court Records, 1891-1954 Canada, Saskatchewan, Probate Estate Files, 1887-1931 Canada, Quebec Notarial Records, 1800-1900 Chile, Santiago, Cementerio General, 1821-2010 ? ? ? ? ? ? ? ? ? ? ? China, Collection of Genealogies, 1500-1900 Colombia, Catholic Church Records, 1600-2008 ? ? ? ? ? ? ? ? ? ? Costa Rica, Civil Registration, 1860-1975 Czech Republic, Censuses, 1843-1921 Czech Republic, Church Books, 1552-1935 Czech Republic, Land Records, 1450-1850 Czech Republic, T?ebo?, Nobility Seignorial records, 1664-1698 Dominican Republic Civil Registration, 1801-2006 El Salvador, Civil Registration Records, 1836-1910 England and Wales Census, 1871 England, Norfolk Parish Registers, 1538-1900 ?(Index records and images) Estonia, Church Books 1835-194 Germany Marriages, 1558-1929 ?(Index records) Germany, Bavaria, Dinkelsb?hl Miscellaneous City Records, 1804-1946 Germany, W?rttemberg, Albstadt, Miscellaneous City Records, 1705-1850 Guatemala, Catholic Church Records, 1581-1977 Hungary Catholic Church Records, 1636-1895 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? Hungary Reformed Church Christenings, 1624-1895 ?(Index records) Hungary, Civil Registration, 1895-1980 Italy, Bologna, Bologna, Civil Registration (Tribunale), 1866-1941 Italy, Catania, Caltagirone, Civil Registration (Tribunale), 1861-1941 Italy, Catania, Catania, Civil Registration (Comune), 1820-1905 Italy, Cuneo, Civil Registration (State Archive), 1795-1915 Italy, Genova, Chiavari, Civil Registration (Tribunale), 1866-1941 Italy, Napoli, Civil Registration (State Archive), 1809-1865 Italy, Pistoia, Pistoia, Civil Registration (Tribunale), 1866-1929 Italy, Ravenna, Ravenna, Civil Registration (Tribunale), 1866-1929 Italy, Trieste, Trieste, Civil Registration (Tribunale), 1924-1939 Jamaica, Civil Birth Registration Korea, Collection of Genealogies, 1500-2009 Mexico, Morelos, Civil Registration, 1861-1920 Micronesia, Pohnpei, Land Records, 1971-2007 Nicaragua, Diocese of Managua, Catholic Church Records, 1740-2008 Norway Census, 1875 ?(Index records) Peru, Civil Registration, 1874-1996 Philippines, Civil Registration (National), 1945-1980 Poland, Roman Catholic Church Books, 1600-1950 Portugal, Aveiro, Catholic Church Records, 1550-1911 Portugal, Aveiro, Passport Registers, 1882-1965 Portugal, Aveiro, Testaments, 1900-1936 Portugal, Braga, Catholic Church Records, 1530-1911 Portugal, Bragan?a, Catholic Church Records, 1541-1985 Portugal, Coimbra, Catholic Church Records, 1459-1911 Portugal, Coimbra, Passport Registers and Application Files, 1835-1938 Portugal, Diocese of Lamego, Catholic Church Records, 1532-1911 Portugal, Diocese of Vila Real, Catholic Church Records, 1575-1975 Portugal, Faro, Catholic Church Records, 1587-1880 Portugal, Guarda, Catholic Church Records, 1459-1911 Portugal, Leiria, Catholic Church Records, 1534-1911 ? Portugal, Leiria, Passport Registers, 1861-1901 Portugal, Porto, Catholic Church Records, 1535-1949 Portugal, Porto, Catholic Church Records, 1582-1908 Portugal, Set?bal, Catholic Church Records, 1555-1911 ? Portugal, Viana do Castelo, Catholic Church Records, 1537-1909 Portugal, Vila Real, Catholic Church Records, 1533-1941 South Africa, Orange Free State, Estate Files, 1951-2004 South Africa, Reformed Church Records, 1856-1988 Spain, C?diz, Testaments, 1550-1920 Spain, Consular Records of Emigrants, 1808-1960 Spain, Consular Records of Emigrants, 1808-1960 Spain, Municipal Records Sweden, ?lvsborg Church Records, 1642-1897; index 1681-1860 Sweden, Blekinge Church Records, 1612-1916; index 1646-1860 Sweden, G?vleborg Church Records, 1616-1908; index 1671-1860 Sweden, G?teborg och Bohus Church Records, 1577-1932; index 1659-1860 Sweden, Gotland Church Records, 1582-1940; index 1655-1860 Sweden, Halland Church Records, 1615-1904; index 1615-1860 Sweden, J?mtland Church Records, 1582-1928; index 1642-1860 Sweden, J?nk?ping Church Records, 1581-1935; index 1633-1860 Sweden, Kalmar Church Records, 1577-1907; index 1625-1860 Sweden, ?rebro Church Records, 1613-1918; index 1635-1860 Sweden, Skaraborg Church Records, 1612-1921; index 1625-1860 United States: ? Alabama State Census, 1855 ?(Index records) ? Alabama State Census, 1866 ?(Index records) ? Alabama, County Estate Records, 1800-1996 ? Alabama, Sumter County Circuit Court Files, 1840-1950 ? ? ? ? ? ? ? ? ? ? ? ? California, Marriage Index, 1960-1985 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? California, San Francisco Area Funeral Home Records, 1835-1931 ? California, San Francisco County Records, 1824-1997 ? California, San Mateo County Records, 1856-1967 ? Connecticut, Death Index, 1949-2001 ?(Index records) ? ? ? ? ? ? ? ? ? ? ? ? Delaware, Vital Records, 1680-1962 ? District of Columbia Marriages, 1811-1950 (Index records and images) ? Florida Marriages, 1830-1993 (Index and images) ? ? ? ? ? ? ? ? ? ? ? ? Florida, Tampa, Passenger Lists, 1898-1945 ? Georgia Headright and Bounty Land Records, 1783-1909 ? Idaho, Cassia County Records, 1879-1960 ? ? ? ? ? ? ? ? ? ? ? ? Idaho, Cassia County Records, 1879-1960 ? Idaho, Minidoka County Records, 1913-1961 ? Illinois, Probate Records, 1819-1970 ? Indiana, Death Index, 1882-1920 ? (Index records) ? Indiana, Marriages, 1811-1959 (Jay and Hamilton counties) ?(Index records) ? Kentucky, Confederate Pension Applications, 1912-1950 ? Kentucky, County Marriages, 1797-1954 ?(Index records and images) ? Louisiana, Orleans Parish Vital Records, 1910, 1960 ? Louisiana, Parish Marriages, 1837-1957 ?(Index records and images) ? Louisiana, Second Registration Draft Cards, compiled 1948-1959 ? Maine, State Archive Collections, 1790-1966 ? Maine, Washington County Courthouse Records, 1785-1950 ? Maryland, Garrett County Probate Estate and Guardianship Files, Source: blogspot.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: bankruptcycourtco.com Source: businessbankruptcyco.com Source: probatecourtco.com Source: bankruptcyrecordsco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: unitedstatesbankruptcycourtco.com Source: probatecourtco.com Source: bankruptcycourtco.com Source: probatecourtco.com Source: whatisbankruptcyco.com Source: bankruptcycourtco.com Source: bankruptcycourtco.com Source: whatisbankruptcyco.com Source: bankruptcyrecordsco.com Source: filebankruptcyco.com Source: probatecourtco.com Source: howtofilebankruptcyco.com Source: bankruptcycourtco.com Source: whatisbankruptcyco.com Source: bankruptcycourtco.com
Source: filebankruptcyco.com

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Source: http://probatecourtco.com/probate-arizona-real-estate-investing-insider/

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