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1 DEXPEDITE o No He aring is Set 2 The H onor able Judge Thomas McPhee 3 4 5 6 STATE OF WASHINGTON THURSTON COUNTY SUPERIOR COURT 7 RECt: IV.· 8 MIKE KREIDLER, 9 INSURAN CE COMMISSIONER, 10 Petitioner , 11 v. 12 CASCADE NATIONAL INS URAN CE I CO M PA NY, 13 I 14 Re spon dent. NO . 04-2-02427-4 FIFTEENTH QUARTERLY REPORT OF RECEIVER 15 Mike Kreidler, In sur ance Commissioner of the State of W ashington and Statut or y 16 Receiver of Cascade N ational Insuran ce Com pany in Liquidation ("Ca scad e" or "CNI C"), 17 J ame s T. Odiorne, D eput y Insurance Commi s sioner and Court-appointed Recei ver of Casca de , 18 and Marsh all McGinnis, court-appointed Deput y Re cei ver of Cascade (co llectively the 19 "Receiver"), by and through their att orne ys, Robert M. M cKenna, Attorney General , and 20 Heather L. Polz, As sistant A ttorney General, hereb y submi t the Fi fteenth Quarterly Report of 21 Receiver pursuant to R CW 48 .31 .040(5), and state as follo ws : 22 1. Order of Liqu idati on. On November 4, 2005 , this Court declared Cascade 23 insol vent and entered an Order of Liqu idation and Approval of Plan of Liqu idation ("Order of 24 L iquida tion" or "Order") pursu ant to Chapt ers 48.31 and 48.99 R CW. 25 2. Accounting to the Court. In accor dance with the Order of Liquidation , th e 26 Rec eiver shall file a report with the Court quarterly. In order to en sure that the rep ort s have the FIFTEENTH QUABTERLY D CD nP T n c P]:;I']:;1\I1: ;P

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Page 1: fifteenth quarterly report - Mike Kreidler

1 DEXPEDITE o N o Hearing is Set

2 The Honorable Judge Thomas McPhee

3

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STATE OF WASHINGTON THURSTON COUNTY SUPERIOR COURT

7

RECt: IV.·

8 MIKE KREIDLER,

9 INSURANCE COMM ISSIONER,

10 Petitioner,

11 v .

12 CASCADE NA TION AL INS URANCE I COM PANY,

13 I 14 Respondent.

NO. 04-2-02427-4

FIFTEENTH QUARTERLY REPORT OF RECEIVER

15 Mike Kreidler, Insurance Commiss ioner of the State of W ashington and Statutory

16 Receiver of Cascade N ational Insurance Company in Liquidation ("Cascade" or "CNI C"),

17 James T. Odiorne, Deputy Insurance Commi ssioner and Court -appointed Recei ver of Casc ade,

18 and Marshall McGinnis, court-appointed Deputy Re cei ver of Cascade (co llectively the

19 "Receiver"), by and through their attorneys, Robert M . M cKenna, Attorney General , and

20 Heather L. Polz , Assistant A ttorney General , hereby submi t the Fi fteenth Quarterly Report of

21 Re cei ver pursuant to R CW 48.31 .040(5), and state as follo ws :

22 1. Order of Liqu idati on. On N ov ember 4, 2005 , th is Court declared Cas cade

23 insol vent and entered an Order of Liqu idation and Approval of Plan of Liquidation (" Order of

24 Liquidation" or "Order" ) pursuant to Chapters 48.31 and 48.99 R CW.

25 2. Accounting to the Court. In accor dance with the Order of Liquidation , th e

26 Receiver shall file a report with the Court quarterl y. In order to ensure that the rep orts have the

FIFTEENTH QUABTERLY D CDnP T n c P]:;I']:;1\I1:;P

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most recent finan cial information, th e repo rts will be fil ed after the accounts from the prior

m onth are clos ed . The estimated filin g dates for the reports are: February 15, May 15, August

15, and November 15.

3. Financial Report. Att ached hereto as Ex hibits A, B and C are Cascade' s July

31 , 2 00 9 Ba lance Sheet, and St ate ment of Receipts and Di sbursements, and its Supplemental

Claim s In formati on as of June 30, 200 9. The financial figures are derived from calculations

m ad e in accorda nce with the Rec eiver ' s Handbo ok for Insurance Com pany Insol vencies

published by the Nation al Ass oc iation ofInsurance Comm iss ioners ("NAIC").

The enclosed fin ancial sta tements have been prepared from available information.

Certa in assets and li ab ilities are estimates . Ass ets with un certain realizable value have no t

been in cluded. Ad dition al assets resulti ng from legal andlor collection efforts may be recorded

in the fut ure wh en real ized. T il e rev iew of incoming claims is an' ongoing process. T he

(Lo ss C laims) liabilit ies of $28,04 7,825 are calcu lated based upon the Recei ver 's bes t estimate

of outstand in g loss and loss adjustment expense reserves for aut omob ile claims as of the

review completed for closed files returned to Cascade as of the end of 2008, and estimated

Workers Co mpensation cla ims based on the most current actuarial s tudy performed using

claims data as of M arch 31, 20 09 . Since the Gu arant y Association s are now handling the

automobi le cl aim s, the usual and trad itiona l actuarial metho dology for estimating loss reserves

is not app licab le . The Recei ver has co mpleted a det ail ed review of each indi vidual aut om obil e

claim closed and re turned to Cascade by all Guaranty Associations as of the end of 200 8.

Bas ed up on that review of closed claims and kno wn outstanding cla ims, the Receiver has

adjusted Class 2 automobile claims liabiliti es to refl ect the Recei ver' s best estimate of thos e

liabilities going forw ard. No te that thi s adj us tment in cludes a corresp onding redu ction in

app licable reinsuran ce recoverable, a Balance Sheet asset. In this re view pr ocess , the Re cei vel'

FIFTEENTH QUARTERLY 2 R F POR T OF R P,r:P,TV P,R

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also re-categorized est imated Insura nc e Guaranty Associ ation una llocated loss adjus tment

expenses as Class I Li abili ties. Due to significan t adverse developm ent noted in the p aid and

case reserves of the Cal ifornia W orke rs Compens ation bus ines s, the Receiver com missioned an

update to the Workers Co mpensation ind ependent ac tuaria l study usin g the lat est availab le

cla ims dat a as of March 3 1, 2009 . The resu lt of the stud y reflects continuing deteriorati on of

Casc ade' s California Workers Compe nsatio n bu sin ess.

As of Jul y 31, 200 9, kn own ass ets tot aled $20,026 ,954 with 57% in cash and sh ort-term

investments . The estate's cash and short -te rm inve stment decreased significantly as a result of

earl y access distribution s to the insurance gu aranty associa tions totaling $6 mi llion. Known

liab ilities totaled $33, 527,332 resulting in a de ficiency of assets over liab ili ties of $ 13, 500,378 .

For the fifteen quart ers ending Jul y 31, 20 09, exclusive of the early access dis tribut ion of $6

mill ion, cash re ceipts exc eed ed cash disbursements by $614,864 . Cash receip ts were pr imarily

from asset recovery effo rts , collec tion of lo ss recoverable from reinsurers, re fund of sta te

pre m ium taxes and reco very of salvage and sub rog ation on paid loss claims. Opera ting

expenses cont inue to be well within amounts budgeted by the Receiver. Based on electro nic

claims data received from the guaranty associations as of June 30 ,2009, a total of $ 13,7 09,473

of loss clai ms and alloc ated loss adjus tment expenses have been paid. See the Supplement al

Cla ims Information, Exh ib it C for details .

4. Proof of Cla ims. In acco rdance with paragraph 3 .5 of the Pl an of Liqu idatio n,

the Recei ver issued Proof of Claim fOnTIS to all poli cyholders and other potential cla imants .

All claimants had unti l M arch 4, 2006, to file a timely Proof of Claim form. Cla ims continue

to be review ed . Some have been deni ed . The Re ceiver is seek in g addi tional information from

som e claimants. Th e Receiver anticipates that there may be som e claim s tha t wi ll be rejected

in who le or part, which will be disputed b y the claima nt and will require a hearin g for ultimate

resoluti on .

FIFTEENTH QUARTERLY 3 RF P()R T or RF r:FTVFR

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5. Operations. The Receiver received appro\Ial by the Court to cease all

operations of its subsidiary , MBR Corporation DBA Allied Pacifi c Adjusting Group

("Allied"), effective April 14,2006. All Allied assets were dispos ed of or sold , with all funds

received from the sale maintained in a separate account. The fun ds were subsequently

d isburse d and documents to dissolve the corporation were filed with all appropriate

j urisdictions. All act ivities required to cease all operations of Allied have now been

completed .

6. Marshalling Assets . The Re ceiver completed a global reconciliation of

ac counts curr ent tor its former general agents, Kenneth 1. Tobey, Inc . an d the Statewide

General Insurance Agency, and has b illed them for closing amounts tot aling over $ 1 mill ion.

Both general agents dispute the global reconciliations presented by the Re ce iver.

Th e Office of the Insurance Comm issioner C OIC " ) init iate d a license revocation action

against K.1. T ob ey lor fa ilure to j) :1), and mishandl ing of trust fund s, and I<. I Tob ey ha s

volu ntarily acc epted revocation . Settlement negot iations bet ween Ole and K .1. Tobey fail ed,

and K .1. To be y filed for bankruptcy in A tlanta, Georgia . A tru stee was subs equ ently appointed

by the bankruptcy court. The Re ceiver is pursuing the claim in the bankruptcy court, but the

likelihood of re covery is unknown.

In an effort to marshal the as sets of Ca scade, the Receiver has in itia ted an ad versarial

claim for wro ngfu lly withheld premiums against Statewide General Insurance Agency and

Marcel Matar. T h is adversarial claim has been filed wi th the rece iv ership co uti . Statewide has

been served, an d its attorneys have filed notices of appearance . Despite Mr. Matar having

a vo ided se rv ice, Statewide' s attorneys hav e filed notices of appearan ce on behalf of Mr. M atar,

as wel l. An Answer was filed, after the Receiver filed a motion for defau lt. Mr. Matar is

claiming lack of funds . The Receiver' s counsel requested information regarding the financial

s tatu s of Mr. Matar and his bu siness in order to est ablish whether there are resources available

FIFTEENTH QUARTERLY 4 RFPnRT GF R F CFT VFR

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to repay Cascade. The information provided was lim ited and is not sufficient, parti cularly with

respect to the financial status of Mr. Matar, who personally guaranteed the obligation to

Cas cade. The Receiver' s counsel has propounded discovery in order to obtain additional

information and that information is currently under review.

The Receiver is also pursuing amounts owed by Mainstay, one of Cascade 's workers'

compensation accounts in California, whi ch include payment for premium, paid claims, and

reserves. Cascade has requested payment and information required und er the policy with

Mainstay for Cascade to conduct a premium audit. Mainstay has not provided payment, but

has provided some audit information. Mainstay and Cascade are continuing to communicate

about these issues.

The Re ceiver, through counsel , continues to pur sue various legal avenues that cou ld

resu lt in recovery of assets to the recei vership estate. The Recei vel' filed a Complaint for

Dam ages in the Superior Court of the State of Washington for Kin g County, Caus e No . 06-2 ­

13068-5-SEA, against several defendants, including Danny Pi xler, Anthony Huff, American

Staff Resources of Californi a, Inc ., Certified Serv ices, Inc ., and Midwest Merger Management ,

LLC. Th e Compl aint alleges that defendants failed to comply with the cont ract pa yment terms

and failed to fun d reser ves while Casca de's obligation to pro vide workers ' compensation

coverage und er the po licies continued. Cascade 's demand s for compliance and payment went

unanswered. The Complaint also alleges that Cascade was victimized in a decepti ve scheme,

and seeks damages in exce ss of $18 .7 m illion arising from the workers' compensation

coverage which was not paid for by Defendants. This case was remo ved to the U .S. District

Court for the Westem District of Washington, No. C06-6 97 RSL. The parties engaged in

extensive discove ry, depositions, and moti ons practice. A mediation was held in Seattle on

August 12, 2008 but was unsuccessful. The trial date was reset from September 20 08 to March

2009, and the Court has recentl y continued the trial date to October 2009 due to criminal

FIF TEENTH QUARTERLY 5 REP ORT OF RECEIVER

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proceedings again st defendant Dann y Pixler in Florid a. Defendant Pixler has en tered into a

plea agr eement in thos e proceed ings and is scheduled to begin incarceration in Septem ber

2009. The SEC has initiated civil pr oceedings again st defendant Huff and trial in that action is

expected to begin this fall.

After filing su it agains t the Defendan ts, the Receiver learned that Cert ified HR

Services, a subsidiary of Defendant Certified Services , Inc. ("Certified Services ") , had entered

into bankruptcy pr oceeding in the U .S. Dist rict Court, Southern District of Florida, Case No .

05-22912-BK C-RBR. The Recei ver ultimately entered int o an agreement with the bankruptcy

trustee and obtaine d a Court order establi shing that none of Cascade 's claims aga inst the

Defend ants in the W ashington litigat ion were affected by the Florida bankru ptcy action , and

preserving the possibi lity of recovery against the consolidated Certified HR Services/Certified

Servi ces bankruptc y estate. The Receiver subsequently fil ed a $2 millio n claim aga inst the

bankruptc y es tate and it is uncertain when 0 1 whether there will bc actual payment on that

cla im .

The Receiver had fi led a civii act ion in King County Superior Cour t, No. 06 -2-344 13­

8-SEA , to recov er damages for offic er/d irec tor actions that harmed Casca de. A favorab le

settlement has been reached and the action has been dismissed.

RESPECTFULLY SUBMITTED this ~ da y of Augus t, 2009 .

~~!" Deputy Receiver

Present ed by:

ROBERT M. MCKENNA Attomey General

WSBA #30502 Ass istant Atto rney General Attorneys f or the Insurance Commissioner

FIFTEENTH QUARTERLY 6 RFPORT O F RFr:F IVFR

HE ATH ER L. 0 LZ

Page 7: fifteenth quarterly report - Mike Kreidler

EXHIBIT A

Cascade National Insurance Company in Liquidat ion

Balance Sheet

As of July 31, 2009

7/31/2009 ASSETS

Opera ting cash 36,582 ST investme nts 11,457,149

Cash & ST Investments (1) 11,493,731

Advances to Guaranty Associa tions 6,000,000 Reinsurance recoverable (net) (2) 2,524,668 Rental deposit 8,555

Tot al Other Ass ets 8,533,223 TOTAL ASSETS (3) 20,026,954

LIABILITIES Secured Claims Class 1 (4) 5,265,170 Class 2 (5) 28 ,047,825 Class 3 Class 4 Class 5 55,284 Class 6 138,863 Class 7 20,190 Class 8 Class 9

TOTAL LIABILITIES 33,527 ,3 32

Excess (Deficiency) of Assets Over Liabilities (13 ,500 ,378)

TOTAL 20 ,026,954

Not e: The information contained in this report is prepared by the receiver from information available to. known or estim ated by the receiver as of the date of the repo rt. The receiver makes no warra nty as to the accur acy of the information or of the opinions or evaluations contained in this report and expre ssly disclaims any liability arising from the stateme nts of fact, evaluation or opinion conta ined in the repor t,

(1) Cash & ST investmen ts incl ude $447 .166 of restricted sta te depos its.

(2 ) Reins urance recoverab le includ es $2.5 million of ceded loss, loss adjustment expenses and related incu rred bu t not reported losses estim ated for Company' s automobile business.

(3 ) Asse ts reported in this statement do not include all possible recoveries that may result from va rious legal and /or co llect ion efforts.

(4) The Class 1 Liability repr esents the rema inder of the four-year ope rating expense budget for the receivership and est ima ted unallocated loss adjustment expens es of the Insurance Guaranty Associations .

(5) Au tomob ile loss reser ves are the best estimates base d on detailed review of each indiv idual automobile claim closed and returned to the es tate by all guaranty assoca tions as of the end of 2008 . The se estimates will continue to be updated as more claim files are closed and returned to the estate. For workers ' compen sation po licies, the receivership, with the hel p of an independen t cons ulting actuary, updated its Class 2 workers' compe nsat ion liabilities using paid losses and loss reserves data from the Ca liforn ia Gua ranty Assoc iation as of 3/3 1/09 . Add itiona lly, the Class 2 liabi lities exc lude $2 .7 million of reserves for reimbursable workers' compensation losses for which the receivership is currenlly holding a standby leiter of credit.

Page 1 of 1

Page 8: fifteenth quarterly report - Mike Kreidler

EXHIBIT B

Cascade National Insurance Company in Liquidation Statement of Receipts and Disbursements

Period Ending July 31, 2009

RECEIPTS Rein surance recoverie s Agents balan ce s Sal vage & subrogation recoveries Re covery of taxes previously paid Asset Re covery Other receipts

Receipt s Before Investment Activiti es

Investment receipts Proceeds from sales & maturity

1"'"'\ _ • • _ • _ , , . ' I

• ~ v v,..."' l r' ~"'" 1 ,...,1 1 1 , oIl 'l" .......-.J U I IVf' ~ ( l'..... u • • lI "-' ......

TOTAL CASH RECEIPTS

DISBURSEMENTS & DISTRIBUTIONS Claims proce ssing expen ses Legal fees Audit fee s Co nsulting fees Salaries Employee bene fits Payroll & other taxes Rent & related expen ses Equ ipment expenses Office expenses Other disbursements

Disbur sem ent s

Early Access Distributions Disbursements Before Investmen t Activities

Investment Expenses Purcha se of Investments

Disbursements for Investment Activities TOTAL CASH DISBURSEMENTS & DISTRIBUTIO NS

Net Cash Receipts over l (und er) Disb urs em ents

Cash at beginning of peri od Net Cash Receipts over/(under) Disbursements Cash transferred from/(to) ST investment Cas h at end of perio d

9 Months

End ing 713 1109

Sin ce Date of Liqui d ation

O rder

674,094

5,140

1,042 680,275

2,515,343 142 ,718 296,227 283,221

1,500,000 264,444

5,001,952

42,353 302,000

1,4 90 ,767 915 ,000

1,02 4 ,628 7,407,719

424,186 506,948

1,921 ,115

76,601 336 ,282

16,163 17,118 28,867

3,816 19,911 13,502

936,445

375,569 1,610 ,731

75,581 96 ,823

152,610 113,040 112,949

51,883 5,017 ,249

936,445 6,000,000

11,017 ,249

3,708 33,233 36,941

973,385

11,624 1,763,983 1,775,607

12 ,792,856

51, 243 (5, 385,136)

283,698 51,24 3

(298 ,359) 36,582

773,41 3 (5,385,136) 4,64 8,306

36 ,582

Note : The information contained in this report is prepared by the receiver from information available 10 or known by the receiver as of the date of the report. The receiver make s no warranty as to the accuracy of the information or of the opinions or evaluations contained in this report and expressly disclaims any liability arising from the statements of fact , evaluation or opinion conta ined in the report .

Page 1 of 1

Page 9: fifteenth quarterly report - Mike Kreidler

EXHIBIT C

Cascade National Insurance Company in Liquidation Supplemental Claims Information

Claims and Adjusting Expenses Paid by Insurance Guaranty Funds As of July 31 ,2009

Workers Auto Compensation Total

Alaska 753,880 753,880

California 701,11 3 8,561 ,938 9,263,051

Oregon 961, 038 96 1,038

Washington 2,73 1,504 2,73'1, 504

5,147,535 8,561,938 13,709,473

Note s: - The above amounts do not include reserves established by the insurance guarant y

associations for outstanding claim s nor the estate's residual liabilities on the se cla ims ,

Page 1 of 2

Page 10: fifteenth quarterly report - Mike Kreidler

EXHIBIT C

Cascade National Insurance Company in Liquidation Supplemental Claims Information

Claim Counts by Less Event As of July 31, 2009

"T" _ • _ t1\ • • L _ (A \ ' ''' _.~I ", _ ~ - ,... ..... .-._._-. .___I- ~ _ _

.. .... ' 1. """ . ..... .... 1 1 . r-' _ I . .... '-<i \. 1 .. 1_ +'0..4 1 \ ' /

Transferred Closed by Transferred Closed by Transferred Closed by to IGF IGF to IGF IGF to IGF IGF

Alaska 6 5 6 5

California 186 179 366 247 552 426

Oregon 62 58 62 58

Washington 178 160 178 160

432 402 366 247 798 649

Note : (1) A substantial number of closed auto claims are claims closed by the insurance guaranty

ass ociations without loss payment. These claims may have been settled by the claimants' own insurance carrier. As a result, the se insurance carriers may have recovery rights against the estate of Cascade.

Page 2 of 2

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o EXPEDITE 0No Hearing is Set The Honorable Judge Thom as McPhee

STATE OF WASHINGTON THURSTON COUNTY SUPERIOR COURT

MIKE KREIDLER, NO. 04-2-02427 -4 INSURANCE COMMISSIONER,

CERTIFICATE OF SERVICE Petitioner,

v.

CASCADE NATIONAL INSURANCE COMPANY,

Res ondent.

This will hereby certi fy that on the 1i lt day of August, 200 9, I ma iled a tru e and corr ect

copy of the Fi ft eenth Quarterly R eport of Receiver, Exhibits A, B, and C, and Certificate

of Se rv ice via the U. S. Mail, first-class postage prep aid, in sealed envelopes, from Olympia,

Washington, to the following interested parties:

Eli zabeth] . Anderson, Sr. VP Co lumbia Bank Special Credi ts Department 1301 "A" Street Tacoma,WA 9840 1

Harold Anderson P.O. Box 3626 Sun River, OR 97707 Former Presiden t of Cascade Majority S hareholder

/ / /

/ / /

ATTORNEY GENERAL or WASHINGTO N CERTIFICATE OF SERVICE 1125 Washington Street SE

PO Box 40100 rll.",...r'\; ':1 \A /6. OQ"Od_(l \ ()(l

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Terrence J. Donahue Eisenhower & Carlson 1201 Pacific Avenue, Suite 1200 Tacoma, WA 98402-4395 A ttorney for Columbia Bank

Michael Gossler A tten tion : Kar en Oliphant Montgomery Purdue Blankinshi p Austin 70 1 Fifth Avenue, Sui te 550 Se attle, WA 98 104-7096 A ttorneys for Harold Anderson

Joseph K. Hegedus Lewis Brisbois Bisgaard Smi th 22 1 N . Figueroa Street , Sui te 1200 LOS Angeles, \.....A ';iUV 1L

Special Requestfor N otice

Jeffrey A. King Ken t & Wi ttekind PC 1 11 W Monroe, Suite 1000 Phoenix, AZ 85003 Attorneysfor In sureds Try Us Tru ck ing + Rufer

Brian F. Krege r Ryan Sw anson Cleveland 1201 Third Avenu e, Suite 3400 Seattle, W A 98 101- 3034 A ttorneyfor Gudeman & Weiss

William T. Lebo, CPC U, President Lebo Mgmt & Insurance Consulting 14722 38th Avenue NE Lake Forest Park , WA 98155 Former Outside Director of Cascade

Thomas S. Linde Law Offi ces of Laur in S. Schweet 295 80th Avenue SE, Sui te 102 Mercer Island" W A 98040 Attorneysfor B alik ofAmerica NA) Creditor ofivIBR Corp (A llied.. .)

Eric Mendoza Bank of America NA CA9-702-03-03, POB 479 Pasadena, CA 9 11 02-6102 Cre ditor ofNIBR Corp (Allie d...)

ATTORNEY GENERA L OF WA SHINGTON CERTIFICATE OF SERVICE 2 1125 Washington Street SE

PO Box 40 I 00 Olympia, WA 93504-0100

1 1 £. ('\\ .!--'.,I QA n t..

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Larry Morrison , President Bu siness Transition Net wor k, Inc. 16515 Sti lly Way Ar lington, W A 9822 3 Former Outside Director of Cascade

W . Theodore Vand er We I Attorney at Law 10500 NE 8th Street, Suite 1900 Bellevue, W A 98004 Attorneyfor Morrison and Lebo

Marina N . Vitek , Esq. Roxborough Pomerance NYE LLP 5820 Canoga Avenue , Sui te 250 Woodland Hills , CA 9 1367 A ttorneys f or M ainstay Busin ess Solutions

John W. Wolfe Wolfe Leinback 701 Fifth Avenue, Su ite 6110 Seattle, WA 98104-7043 A ttorney / or Harold Anderson

Mike Kreidler, Ins. Comm issioner Office of Insurance Commissioner P. O. Box 402 56 Olympia, W A 9850 4-0256

Marshall McGinnis, Deputy Receiver c/o Cascade N ational Insurance Company PO Box 3366 Bellevue, W A 98009-3366 For Cascade National Insurance Company

Jim Odiorne, Receiver Office Of Insurance Commissioner P.O. Box 40255 Olymp ia, WA 98504-02 55 For Cascade Na tional Insu rance Company

V ictor ia L. Vr eeland Gordon Thomas Honeywe I 600 Universi ty St Sui te 2100 Seattle, WA 98101 -418 5

Alaska Guaranty Associ ation 140 1 Rudakof Circle Anchorage, AI<. 99508

CERTIFICATE OF SERVICE 3 /\T roRNEY GENEf(AL OF WASHINGT ON 112 5 Washington Street SE

PO Box 40 100 nh'Il... " i~l \..\.J L\ o ~<;;n d.r'll nn

Page 14: fifteenth quarterly report - Mike Kreidler

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C. Guerry Coll ins, Esq . Lord Bissell & Brooke, LLP 300 S. Grand Avenue, s" Floor Lo s Angeles, CA 9007 1 For CA Ins. Guarantee Association (CIGA)

Oregon Ins. Guaranty Association 10700 SW Beaverton Hwy, Suite 426 Beaverton, OR 970 05

WA Insurance Guaranty Association c/o Western Guaranty Fund Services 1720 S. Bellaire, Suite 408 Denver, CO 80222

y-o.,. 0 • •

F \. .l. (..l..) !'\..U L/ 1 Yl ':'J.\J U V i lJ. 1.::>LU Ul i \"... \..­

Linda S. Hall, Director of Juneau Office State Office Building, 9th Floor 333 'Willoughby Avenue Juneau , AK 99801

California Department of Insurance John Ga ram encli , Insurance Commiss ioner 300 South Spri ng Street South Tower Los Ange les, CA 900 13

OR Dept. of Consumer and Business Svcs. Joel Ario, Ins . Division Administrator 350 Winter Street NE, Room 440 Salem, OR 97309

Michael W . Mayberry, Matthew B. Ed wards , Owens Davies, P.S. 1115 West Bay Dri ve, Suite 302 Olym pia , WA 98502 A ttorneys for R espondents Marcel Matar & Statewide Gen eral In suran ce Agency, In c.

Brian L. Budsberg PO Box 1489 Olympia WA 98507-1489 A ttorney for Respondents Marcel Matar & Statewide Gen eral In surance Agen cy, In c

John Mellen Law Offices of Keller Rohrback L.L.P . 1201 Third Avenue, Su ite 3200 Seattle, WA 981 01-3052 Attorneysfor Harold Anderson

/ / /

ATTOR NEY GENERAl. OF W:\ SHINGTON CERTIFICATE OF SERVICE 4 1125 washmgron Street SE

po Box ·tOIO Olympia. \VA 9 50"-0100

{\AO\ I\l\d -qoor,

Page 15: fifteenth quarterly report - Mike Kreidler

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R ichard Alan Stout Ri chard Alan Stout, Attorney at Law LL C 18160 Cottonwood Road PMB 273 Sunriver, OR 97707 Attorney for Amica Mutual Insuran ce Co.

Bradley W . Hoff Chr istoph er M. Alston Foster Petter PLLC 1111 Third Avenue, Suite 3400 Seattle, WA 98101-3299 Attorneys for Claimant James T. Feltman

DATED this 17lh day of Augus t, 2009.

~~,~ RLA AUMILLER

Legal Assistant

ATrORNEY GENERAL Of WASHINGTON CERTIFICATE OF SERVICE 5 I 125 Washington Street SE

PO Bo x 40100 " I ............ ; ... \1 / A OQ ",() / ! ( 1I A f\

Page 16: fifteenth quarterly report - Mike Kreidler