• Elvis Presley, known as the "King. Was an American singer, actor, and cultural he influence on music and culture remains unmatched. His early interest in gospel music shaped his style, blending rock, country, and blues into a revolutionary sound.

    Presley gained national attention with hits like Heartbreak Hotel (1956), Hound Dog, and Jailhouse Rock. His stage presence, charming looks, and charisma made him an instant star. Beyond music, Elvis starred in over 30 films, including Love Me Tender (1956) and Viva Las Vegas (1964).

    In the 1960s, Elvis dominated the charts but faced challenges from the counterculture movement. A 1968 television special marked his comeback and revitalized his career, showcasing his enduring appeal. In the 1970s, Las Vegas and his tours solidified his legend.

    Elvis struggled with prescription drug dependency. Despite the premature end of his career, his legacy continues through his music, Graceland (his home museum), and millions of fans worldwide.
    Elvis Presley, known as the "King. Was an American singer, actor, and cultural he influence on music and culture remains unmatched. His early interest in gospel music shaped his style, blending rock, country, and blues into a revolutionary sound. Presley gained national attention with hits like Heartbreak Hotel (1956), Hound Dog, and Jailhouse Rock. His stage presence, charming looks, and charisma made him an instant star. Beyond music, Elvis starred in over 30 films, including Love Me Tender (1956) and Viva Las Vegas (1964). In the 1960s, Elvis dominated the charts but faced challenges from the counterculture movement. A 1968 television special marked his comeback and revitalized his career, showcasing his enduring appeal. In the 1970s, Las Vegas and his tours solidified his legend. Elvis struggled with prescription drug dependency. Despite the premature end of his career, his legacy continues through his music, Graceland (his home museum), and millions of fans worldwide.
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  • Check out #KFloor - " #Somanydynamos" - #LIVE @ #GrapeStreetPub - #Music #MusicVideo #Rock #Blues #BluesRock #IndieRock #AltRock

    https://www.bitchute.com/video/E2GEneBhAoI1/
    Check out #KFloor - " #Somanydynamos" - #LIVE @ #GrapeStreetPub - #Music #MusicVideo #Rock #Blues #BluesRock #IndieRock #AltRock https://www.bitchute.com/video/E2GEneBhAoI1/
    WWW.BITCHUTE.COM
    K-Floor - "Somanydynamos" - LIVE @ Grape Street Pub - Music Video [Audio]
    Blues/Rock band from Philadelphia, PA recorded LIVE at The Grape St. Pub in Manayunk, PA on March 18th, 1999 https://www.facebook.com/kfloorband/ https://www.nickschnebelenkc.com/ Nick Schnebelen (Guitar, Vocals) Chris Schutz (Bass) Justin DiFebbo (Piano, Organ) Steven "Zil" Fessler (Drums) Tom Gillam (Slide Guitar)
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  • Occam’s Razor

    Exclusion for Work Performed by Insured Defeats Claim for Construction Defects
    Post 4935

    Read the full article at https://lnkd.in/gT_NsMHv, see the full video at https://lnkd.in/gqkPHYbp and at https://lnkd.in/gEEXkUe3, and at https://zalma.com/blog plus more than 4900 posts.

    The question presented to the U.S. First Circuit Court of Appeals was whether a contractor’s CGL insurance policy covers general damage to a non-defective part of the contractor’s project resulting from a subcontractor’s defective work on a different part of that project.

    APPLICATION OF OCCAM’S RAZOR

    The analysis technique that proposes that the simplest of competing theories be preferred to the more complex.

    FACTUAL BACKGROUND

    Applying Massachusetts law, the district court concluded that Admiral had no duty to defend Tocci in Admiral Insurance Company, Starr Indemnity & Liability Company, Great American Assurance Company v. Tocci Building Corporation, Tocci Residential LLC, John L. Tocci, Sr., No. 22-1462, United States Court of Appeals, First Circuit (November 8, 2024) and Tocci appealed.

    From 2013 to 2016, Tocci was the construction manager for an apartment project owned by Toll JM EB Residential Urban Renewal LLC (“Toll”). There were several work quality issues and delays on the project, and Toll eventually terminated Tocci in March 2016 for alleged mismanagement of the project.

    Toll sued with allegations regarding instances of defective work leading to property damage. The allegations included defective work by Tocci’s subcontractors resulting in various instances of property damage to non-defective work on the project, including (1) damage to sheetrock resulting from faulty roof work; (2) mold formation resulting from inadequate sheathing and water getting into the building; and (3) damage to a concrete slab, wood framing, and underground pipes resulting from soil settlement due to improper backfill and soil compaction.

    DUTY TO DEFEND

    Tocci sought defense and indemnity coverage under the Admiral insurance policies. Admiral denied coverage.

    The district court granted Admiral’s motion on duty to defend because the damage alleged in Toll’s complaint did not qualify as “property damage” as defined in the policy because the allegations consisted entirely of damage at Tocci’s own project.

    ANALYSIS

    The First Circuit considered three steps to the coverage analysis: (1) Do the damages alleged in the action fall within the scope of coverage?; (2) if so, do the exclusions to coverage apply?; and (3) if so, do any exceptions to the exclusions apply?

    The First Circuit noted that there is a sharp split of authority on whether damage to non-defective work resulting from a subcontractor’s defective work constitutes “property damage” or is caused by an “occurrence.” The First Circuit decided to avoid the issues of what constitutes “property damage” by focusing on the exclusions which were sufficient to resolve the complete dispute.

    THE HOLDING

    There are two “Damage to Property” exclusions that provide that there is no coverage for “property damage” to: that particular part of real property on which you or any contractors or subcontractors working directly or indirectly on your behalf are performing operations, if the ‘property damage’ arises out of those operations; or that particular part of any property that must be restored, repaired or replaced because “your work” was incorrectly performed on it.

    The First Circuit, applying Occam’s Razor, focused its analysis on the exclusion it concluded covers the allegations in the Toll complaint. Since the complaint alleges damage resulting from Tocci’s “incorrectly performed” work on the entire project “[t]hat particular part of any property that must be restored, repaired or replaced because ‘[Tocci’s] work’ was incorrectly performed on it” refers to the entirety of the project where Tocci was the general contractor charged with supervising and managing the project as a whole.

    Therefore, the First Circuit concluded that Admiral met its burden of establishing that the Toll action only alleges damage falling within the exclusion and that there was no exception to that exclusion that applied.

    ZALMA OPINION

    This is a case of a court applying Occam’s Razor, by picking an easy and obvious solution – the application of an exclusion – and avoiding the problem of different court rulings on coverage about “property damage” and “occurence.” Since the exclusion clearly applied there was no duty to defend.

    (c) 2024 Barry Zalma & ClaimSchool, Inc.

    Please tell your friends and colleagues about this blog and the videos and let them subscribe to the blog and the videos.

    Subscribe to my substack at https://barryzalma.substack.com/subscribe

    Go to X @bzalma; Go to Newsbreak.com https://www.newsbreak.com/@c/1653419?s=01; Go to Barry Zalma videos at Rumble.com at https://rumble.com/account/content?type=all; Go to Barry Zalma on YouTube- https://www.youtube.com/channel/UCysiZklEtxZsSF9DfC0Expg

    Go to the Insurance Claims Library – https://lnkd.in/gwEYk

    Subscribe to my substack at https://lnkd.in/gmmzUVBy
    Occam’s Razor Exclusion for Work Performed by Insured Defeats Claim for Construction Defects Post 4935 Read the full article at https://lnkd.in/gT_NsMHv, see the full video at https://lnkd.in/gqkPHYbp and at https://lnkd.in/gEEXkUe3, and at https://zalma.com/blog plus more than 4900 posts. The question presented to the U.S. First Circuit Court of Appeals was whether a contractor’s CGL insurance policy covers general damage to a non-defective part of the contractor’s project resulting from a subcontractor’s defective work on a different part of that project. APPLICATION OF OCCAM’S RAZOR The analysis technique that proposes that the simplest of competing theories be preferred to the more complex. FACTUAL BACKGROUND Applying Massachusetts law, the district court concluded that Admiral had no duty to defend Tocci in Admiral Insurance Company, Starr Indemnity & Liability Company, Great American Assurance Company v. Tocci Building Corporation, Tocci Residential LLC, John L. Tocci, Sr., No. 22-1462, United States Court of Appeals, First Circuit (November 8, 2024) and Tocci appealed. From 2013 to 2016, Tocci was the construction manager for an apartment project owned by Toll JM EB Residential Urban Renewal LLC (“Toll”). There were several work quality issues and delays on the project, and Toll eventually terminated Tocci in March 2016 for alleged mismanagement of the project. Toll sued with allegations regarding instances of defective work leading to property damage. The allegations included defective work by Tocci’s subcontractors resulting in various instances of property damage to non-defective work on the project, including (1) damage to sheetrock resulting from faulty roof work; (2) mold formation resulting from inadequate sheathing and water getting into the building; and (3) damage to a concrete slab, wood framing, and underground pipes resulting from soil settlement due to improper backfill and soil compaction. DUTY TO DEFEND Tocci sought defense and indemnity coverage under the Admiral insurance policies. Admiral denied coverage. The district court granted Admiral’s motion on duty to defend because the damage alleged in Toll’s complaint did not qualify as “property damage” as defined in the policy because the allegations consisted entirely of damage at Tocci’s own project. ANALYSIS The First Circuit considered three steps to the coverage analysis: (1) Do the damages alleged in the action fall within the scope of coverage?; (2) if so, do the exclusions to coverage apply?; and (3) if so, do any exceptions to the exclusions apply? The First Circuit noted that there is a sharp split of authority on whether damage to non-defective work resulting from a subcontractor’s defective work constitutes “property damage” or is caused by an “occurrence.” The First Circuit decided to avoid the issues of what constitutes “property damage” by focusing on the exclusions which were sufficient to resolve the complete dispute. THE HOLDING There are two “Damage to Property” exclusions that provide that there is no coverage for “property damage” to: that particular part of real property on which you or any contractors or subcontractors working directly or indirectly on your behalf are performing operations, if the ‘property damage’ arises out of those operations; or that particular part of any property that must be restored, repaired or replaced because “your work” was incorrectly performed on it. The First Circuit, applying Occam’s Razor, focused its analysis on the exclusion it concluded covers the allegations in the Toll complaint. Since the complaint alleges damage resulting from Tocci’s “incorrectly performed” work on the entire project “[t]hat particular part of any property that must be restored, repaired or replaced because ‘[Tocci’s] work’ was incorrectly performed on it” refers to the entirety of the project where Tocci was the general contractor charged with supervising and managing the project as a whole. Therefore, the First Circuit concluded that Admiral met its burden of establishing that the Toll action only alleges damage falling within the exclusion and that there was no exception to that exclusion that applied. ZALMA OPINION This is a case of a court applying Occam’s Razor, by picking an easy and obvious solution – the application of an exclusion – and avoiding the problem of different court rulings on coverage about “property damage” and “occurence.” Since the exclusion clearly applied there was no duty to defend. (c) 2024 Barry Zalma & ClaimSchool, Inc. Please tell your friends and colleagues about this blog and the videos and let them subscribe to the blog and the videos. Subscribe to my substack at https://barryzalma.substack.com/subscribe Go to X @bzalma; Go to Newsbreak.com https://www.newsbreak.com/@c/1653419?s=01; Go to Barry Zalma videos at Rumble.com at https://rumble.com/account/content?type=all; Go to Barry Zalma on YouTube- https://www.youtube.com/channel/UCysiZklEtxZsSF9DfC0Expg Go to the Insurance Claims Library – https://lnkd.in/gwEYk Subscribe to my substack at https://lnkd.in/gmmzUVBy
    LNKD.IN
    Occam’s Razor
    Exclusion for Work Performed by Insured Defeats Claim for Construction Defects Post 4935 Posted on November 18, 2024 by Barry Zalma See the full video at https://rumble.com/v5po3z8-occams-razor.
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  • Well,...."Duh!!",...Everybody knows, the "WHITER" the rock, the better it is!!!!!!!LOL!!!!!
    ....you should've learned that, before ever going to school!!!!!!!!.......

    https://media.gab.com/cdn-cgi/image/width=568,quality=100,fit=scale-down/system/media_attachments/files/168/777/909/original/9bc9c0ea190b849c.jpg
    Well,...."Duh!!",...Everybody knows, the "WHITER" the rock, the better it is!!!!!!!LOL!!!!! ....you should've learned that, before ever going to school!!!!!!!!....... https://media.gab.com/cdn-cgi/image/width=568,quality=100,fit=scale-down/system/media_attachments/files/168/777/909/original/9bc9c0ea190b849c.jpg
    Haha
    Like
    3
    0 Comments 0 Shares 53 Views
  • Check out #DeepBananaBlackout - " #HearMySong" - #RowdyDuty - #Music #MusicVideo #Rock #Funk #FunkRock #Soul #Blues

    https://www.bitchute.com/video/kJsMtOFCBGak/
    Check out #DeepBananaBlackout - " #HearMySong" - #RowdyDuty - #Music #MusicVideo #Rock #Funk #FunkRock #Soul #Blues https://www.bitchute.com/video/kJsMtOFCBGak/
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    Deep Banana Blackout - "Hear My Song" - Rowdy Duty - Music Video [Audio]
    High energy funk, rock, blues and soul recorded live in Porchester, New York on July 17, 1998 Gaurenteed to get your booty shakin'! http://deepbananablackout.net/ Jen "Pipes" Durkin - vocals Eric Kalb - drums Benj LeFevre - bass Cyrus Madan - organ Volo - trombone, rhythm guitar, vocals Rob Somerville - sax, vocals, brass tongue The Fuzz - lead guitar, vocals Johnny Durkin - congas, timbales, percussion, mic
    0 Comments 0 Shares 223 Views
  • Check out #MileyCyrus - " #TheClimb" - #EndlessSummerVacation - #LIVE #BackyardSessions - #MusicVideo #Music #Rock #PopRock #Soul #RnB

    https://www.bitchute.com/video/q8dKLJFctiGz
    Check out #MileyCyrus - " #TheClimb" - #EndlessSummerVacation - #LIVE #BackyardSessions - #MusicVideo #Music #Rock #PopRock #Soul #RnB https://www.bitchute.com/video/q8dKLJFctiGz
    WWW.BITCHUTE.COM
    Miley Cyrus - "The Climb" - Endless Summer Vacation - Music Video
    LIVE Backyard Sessions http://mileycyrus.com https://www.youtube.com/@MileyCyrusVEVO Miley Cyrus - vocals Rufus Wainwright - piano Michael Schmid - keys Jamie Arentzen - guitar Heather Baker - guitar Josh Moreau - bass Brett White - Saxaphone Ayo Awosika - backround vocals Christine Smit - backround vocals Desiree Hazley - strings Erynn Hill - strings Michelle Packman - strings Vainayaki Sivaji - strings
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  • Rocky introduces the 2nd George Washington.
    God Bless America, God Save The Republic.
    'Second George Washington': Sylvester Stallone Gives Phenomenal Introduction for Trump During Mar-a-Lago Event via @WestJournalism https://www.westernjournal.com/second-george-washington-sylvester-stallone-gives-phenomenal-introduction-trump-mar-lago-event/?utm_source=Twitter&utm_medium=PostTopSharingButtons&utm_campaign=websitesharingbuttons
    Rocky introduces the 2nd George Washington. God Bless America, God Save The Republic. 'Second George Washington': Sylvester Stallone Gives Phenomenal Introduction for Trump During Mar-a-Lago Event via @WestJournalism https://www.westernjournal.com/second-george-washington-sylvester-stallone-gives-phenomenal-introduction-trump-mar-lago-event/?utm_source=Twitter&utm_medium=PostTopSharingButtons&utm_campaign=websitesharingbuttons
    WWW.WESTERNJOURNAL.COM
    'Second George Washington': Sylvester Stallone Gives Phenomenal Introduction for Trump During Mar-a-Lago Event
    Sylvester Stallone invoked both George Washington and Jesus while praising President-elect Donald Trump on Thursday.
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  • EVERY LAST ONE OF THESE CORPORATIONS
    NEED TO BE BANKRUPTED!

    These are ALL #Satanic owned and operated corporate #Criminals, who have been taking part in a Freemasonic "Order out of Chaos" scheme against YOU!

    NOW they wanna play nice, so you'll forget all about the scumbags saying that "Whiteness is bad" and ALL WHITE PEOPLE are "privileged" and are born #Racists!

    If you forget that sh*t you are pathetic!
    Every last one of them done what they did because they are owned in part by #BlackRock or #Vanguard

    Every last one of these scumbag corporations want you DEAD!
    They are "All in" on the depopulation scheme!

    These SAME CORPORATIONS were likely also telling their employees "Take the #Genocide JAB or you have no job"
    (Despite this being unlawful)
    Did being illegal stop them? NO, it didn't!

    And that is because they are Satanic Criminals and scumbags to boot!

    The Retreat Of DEI In Corporate America
    https://www.zerohedge.com/political/retreat-dei-corporate-america
    EVERY LAST ONE OF THESE CORPORATIONS NEED TO BE BANKRUPTED! These are ALL #Satanic owned and operated corporate #Criminals, who have been taking part in a Freemasonic "Order out of Chaos" scheme against YOU! NOW they wanna play nice, so you'll forget all about the scumbags saying that "Whiteness is bad" and ALL WHITE PEOPLE are "privileged" and are born #Racists! If you forget that sh*t you are pathetic! Every last one of them done what they did because they are owned in part by #BlackRock or #Vanguard Every last one of these scumbag corporations want you DEAD! They are "All in" on the depopulation scheme! These SAME CORPORATIONS were likely also telling their employees "Take the #Genocide JAB or you have no job" (Despite this being unlawful) Did being illegal stop them? NO, it didn't! And that is because they are Satanic Criminals and scumbags to boot! The Retreat Of DEI In Corporate America https://www.zerohedge.com/political/retreat-dei-corporate-america
    0 Comments 0 Shares 383 Views
  • OUR DAILY OLDIES: THE DIAMONDS, 'LITTLE DARLING' - BY THE LATE 1950s, DOO WOP WAS A VERY POPULAR STYLE OF ROCK & ROLL, DOWN IN HAVANA, LOS ZAFIROS WERE DOING DOO WOP WITH A LATIN FLAVOR (CLICK ON THE LINK, NOT ON THE PHOTO)-----> https://wimkin.com/video/play/431919
    OUR DAILY OLDIES: THE DIAMONDS, 'LITTLE DARLING' - BY THE LATE 1950s, DOO WOP WAS A VERY POPULAR STYLE OF ROCK & ROLL, DOWN IN HAVANA, LOS ZAFIROS WERE DOING DOO WOP WITH A LATIN FLAVOR (CLICK ON THE LINK, NOT ON THE PHOTO)-----> https://wimkin.com/video/play/431919
    0 Comments 1 Shares 137 Views
  • LTC Larry Brock Jr. Continued | COS Indiana Live - Episode 270
    Thankful for Freedom: My Journey as a Political Prisoner
    https://www.youtube.com/shorts/j0T3FxpCFIQ
    LTC Larry Brock Jr. Continued | COS Indiana Live - Episode 270 Thankful for Freedom: My Journey as a Political Prisoner https://www.youtube.com/shorts/j0T3FxpCFIQ
    Love
    1
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