Herbage

Children (1)
Samuel Elmer Gray B: 1890

Ella Ellen Francis V Herbage
B:
12 September 1860 in Pecatonica, Winnebago, Illinois, United States
D:
7 November 1922 in Cortez, Montezuma, Colorado, United States
Unknown Father B:
Parents
UNKNOWN
UNKNOWN

Ella F Gray
in the 1910 United States Federal Census

Ella Ellen Francis V Herbage (1860-1922)
in your tree:Hackett Family Tree
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Name DIFFERENT
Name
Ella F Gray
Ella Ellen Francis V Herbage
Birth
Birth
Date:
abt 1862 DIFFERENT
Date:
12 September 1860
Place:
Illinois DIFFERENT
Place:
Pecatonica, Winnebago, Illinois, United States
Residence NEW
Residence NEW
Date:
1910
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Place:
Liberty, Woodward, Oklahoma, USA
Description: Marital Status: Widowed; Relation to Head of House: Head
Description: Marital Status: Widowed; Relation to Head of House: Head
Other Children of Ella F Gray (unknown spouse)
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Elmer S Gray
Child of Ella F Gray
Samuel Elmer Gray (1890-1968)
in your tree:Hackett Family Tree
Name DIFFERENT
Name
Elmer S Gray
Samuel Elmer Gray
Birth
Birth
Date:
abt 1892 DIFFERENT
Date:
1890
Place:
Kansas DIFFERENT
Place:
Culver, Kansas, USA
Residence NEW
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Description: Marital Status: Single; Relation to Head of House: Son

Claud B Gray
Child of Ella F Gray

Claud B Gray
Birth
Date:
abt 1894
Place:
Kansas
Residence
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Description: Marital Status: Single; Relation to Head of House: Son

John T Gray
Child of Ella F Gray
?
Name
John T Gray
Birth
Date:
abt 1898
Place:
Oklahoma
Residence
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Description: Relation to Head of House: Son
Add
NEW PERSON
Marve W Gray
Child of Ella F Gray
Not a new person?
Name
Marve W Gray
Birth
Date:
abt 1899
Place:
Oklahoma
Residence
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Description: Relation to Head of House: Son

Frank A Gray
Child of Ella F Gray

Name
Frank A Gray
Birth
Date:
abt 1900
Place:
Oklahoma
Residence
Date:
1910
Place:
Liberty, Woodward, Oklahoma, USA
Description: Relation to Head of House: Son

.

Jovi

Livin’ on a Prayer’ Co-Writer Reveals How Much Money the Song Made Him From Half Billion Streams
"Songwriters have really gotten the short end of the stick when all this was set up on the beginning," Desmond Child says.

1d ago by jomatami [w] 136,331 · 51,822 views · ↓ 36 comments

14
During an appearance on Talk Is Jericho, renowned songwriter Desmond Child (KISS, Aerosmith, Bon Jovi, many more) discussed the current state of the music industry, and how lucrative his craft is in the age of streaming services.

Asked if he still receives royalties like he used to back in the day, Desmond used Bon Jovi’s 1986 hit "Livin’ on a Prayer," which he co-wrote with Jon Bon Jovi and Richie Sambora, as an example. He replied (transcribed by UG):

"Well, with the streaming… I mean, the rates are slowly going to lift, but I’ll give you an example: last year, ‘Livin’ on a Prayer’ got half a billion streams between Pandora and Spotify. That’s as much as a current hit song, 30 years later.

"And my pay was $6,000. That was it. And so, you know, songwriters have really gotten the short end of the stick when all this was set up on the beginning, and so that’s why we’ve been fighting and fighting.

"And last year, we had a victory with the Music Modernisation Act that was signed 100% bipartisan. Nobody said ‘nay,’ both houses of the Congress and President Trump signed it, but it’s gonna take six, seven years for us to see any difference.

"So it was a great start, but also it got everybody aware that songwriting is a career. Aside from the art, working songwriters in Nashville… I mean, they used to maybe be able to get a song and feed their family, and now that’s not the case unless your song is a single."

What about classic-rock radio? There’s a Desmond Child song probably being played once per hour, probably hundreds of times around the world?
"That’s sort of what I was gonna say. Terrestrial radio is really, that’s the only place where we get a fair share, and so it’s a nickel-and-dime business but, you know, if you get played enough times, there’s enough to feed your family.

"I’m just hoping that territories like China start paying us royalties instead of just manufacturing copies of our songs and ignoring our copyright laws. It’s time that all the countries in the world respect each other’s intellectual property.

"Every country in Latin America has their PRO and when I’m working on Latin America songwriting, they all work with us, and they submit the names of their top writers for induction or to be honored, they actually pay.

"But in certain territories, we’re getting nothing. You can be assured that my songs are known or heard by almost everyone on Earth. They don’t even know who wrote it or who sang it, all they know is that they know the song."

Desmond also discussed the impact "Livin’ on a Prayer" made on many people’s lives, saying:

"Going to a Bon Jovi concert, they do a lot of songs that we co-wrote together, but of course, Jon will never sing ‘Livin’ on a Prayer’ ’til the very last song of the very last encore.

"So now it’s 11:30 and parents have their kids asleep on their shoulders, you know, with the little earplugs on, and no one will leave. No one will leave without hearing that song. He keeps that audience at the palm of his hand all the way through the encore.

"They’re waiting for it, but then when they do play it, you can’t hear the band do it. All you hear is people screaming at the top of their lungs like their lives depended on it, that anthem, they’re just screaming it, you can’t hear the band.

"It’s the most amazing experience, it’s, like, goosebumpy. You see people there, older people in their 70s, 80s, white hair, and then there’s little toddlers there, you’re looking at three or four generations all loving that same song, and I feel very fulfilled with all of that.

"It’s been the song that kept us going. We call it ‘Living Room on a Prayer.’"

Besides ‘Livin’ on a Prayer,’ what are your three biggest songs?
"’Livin’ on a prayer,’ [Ricky Martin's] ‘Livin’ la Vida Loca,’ [Joan Jett's] ‘I Hate Myself for Loving You,’ [Aerosmith's] ‘Dude (Looks Like a Lady)’… now that’s more than three."

‘I Was Made for Lovin’ You’?
"Oh, that one’s, like, in the Top 1 or 2. I mean, ‘I Was Made for Lovin’ You’ gets so much mileage. Remember the movie ‘Why Him?’ It was all over that, and there’s Gene [Simmons] playing it, just probably thinking about the paycheck. [Laughs]"

Read more: ‘I Was Made for Lovin’ You’ Co-Writer Reacts to Gene Simmons Disliking the Song, Talks How It Came to Be

Desmond has a new album out called "Desmond Child Live." You can check it out in the embedded player below.

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AdaBerline

DISTRICT COURT CASE #

PLAINTIFF: Peter Botelho, General Delivery, Hilo HI, 96720

DEFENDANT: Law Office of Bruce Berline, Post Office Box 5682 Chrb, Saipan, MS 96950

COMPLAINT

1. This Court has subject matter jurisdiction under 28 U.S.C. sections 1331 and 1343.

2. This action is commenced pursuant to 2201 and 2202 and 42 U.S.C., section 1983.

ALLEGATIONS

3. Plaintiffs are USA citizen .

4. Defendant owns a business

5. Defendant blocks disabled .

6. ADA enacted 1/26/90,

7. Congress said “discrimination persists" 42 U.S.C. l2101(a).

8. Congress said ADA is to "mandate standards” 42 U.S.C. 12101(b).

9. ADA implemented 1/ 26/92.

10. Defendant’s business has barriers

11. ADA Title III, covers "Public Accommodations and Services." 42 U.S.C. 12181.

12. Businesses are public accommodations. 42 USC 12181.

13. Defendant’s business has barriers

14 The barrier removal is “readily achievable” 42 USC12182(b)(2)(A)(iv).

15. Removing barriers IS MANDATORY 28 C.F.R 36.304(a) – (c).

16. Similar businesses have made similar modifications, but defendant chose not to comply.

17. In Section 44 and 190 of the IRS Code, businesses get a tax credit of 50% of the cost

18. Plaintiff wants to use the defendant’s business.

CLAIM FOR RELIEF:

19. Pursuant to the ADA, 42 USC12101, et seq., and law pursuant to this Act, 28 CFR36.304, defendant was to remove barriers by 1/26/92. .

20. By failing to remove barriers defendant violates the ADA.

WHEREFORE, the plaintiff

pray that the Court order the defendant to remove barriers and pay plaintiffs attorney fees and such relief as may be just, proper, and equitable.

I HEREBY CERTIFY this was sent to the other party the same day it was sent to this court

Lawsuit will be dismissed for mediation at www.rayis.me/ada

P Peter Botelho

19y10mAda.docx

compel discovery

Jerun Kaipat, General Delivery, Saipan, MP 96950 Telephone No.: 670.989.9747

CNMI COURT Case. 18-0071-cv MOTION TO COMPEL DISCOVERY

Undersigned hereby moves for an order compelling ANTONIO KAIPAT to produce certain documents relating to payments from ASSETS RIGHTFULLY BELONGING TO JERUN KAIPAT AND ERIC KAIPAT. and to produce certain emails. Undersigned incorporates by reference herein the relevant facts and background information as set forth in case papers In support of this Motion, Plaintiff states the following:

A. What the Documents Will Likely Reveal and How that Information is Relevant to the Claims and Defenses in this Case

Undersigned will set forth claims of Breach of Trust (Count I) Breach of Duty (Count II); Breach of Contract (Count III); Conversion (Count IV); Fraud and Deceit (Count V); and Unjust Enrichment (Count VI). These claims relate principally to unauthorized payments.

B. The Categories of Documents that Need to be Produced

Accordingly, the following categories of documents for the time period 2007-2020 need to be produced so that Undersigned can further support his claims and/or rebut defenses or assertions:

1. Documents which reflect Antonio Kaipat’s role, responsibilities, duties, ownership interest and/or profit participation in any entity.

2. Documents, including drafts of documents, which reflect consulting agreements or arrangements between Antonio Kaipat and any entity.

3. Documents which reflect any consulting services performed by Antonio Kaipat for any entity.

4. Documents which reflect any payments or transfers of funds to or from Antonio Kaipat by any entity.

5. Antonio Kaipat’s bank records, tax returns, financial statements and books of account.

Antonio Kaipat’s counsel has not adequately explained why Antonio Kaipat has kept money that was supposed to go to Jerun Kaipat and Eric Kaipat since 2007

WHEREFORE, undersigneds respectfully requests that the Court order ANTONIO KAIPAT to produce forthwith the documents specified herein and award JERUN KAIPAT all costs and attorney’s fees incurred in connection with this Motion. A proposed order is attached.

Respectfully submitted,

Jerun Kaipat

CNMI COURT Case. 18-0071-cv

ORDER TO SHOW CAUSE

Upon the affidavit of Plaintiff in the above matter, and upon the exhibits annexed thereto,

LET Antonio Kaipat show cause before this Court on, 2019 at 9:30, why an order should not be granted against him pending determination, and for such other and further relief as this Court may deem just and appropriate. It is ORDERED that all requested documents be provided pending determination of the motion brought on by this order to show cause, and it is further ORDERED that personal service of a copy of this order to show cause is deemed sufficient service thereof, and it is further ORDERED that the motion brought on by this order to show cause shall not be orally argued unless notified to the contrary by the Clerk of the Court.

DATED:

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probate petition

CNMI Court Case Number

BY: Jerun Kaipat & Eric Kaipat, General Delivery, Saipan, MP 96950 Phone 670.7899394

PETITION FOR PROBATE

Petitioners seek probate in common form. They are the sole heirs.

The Decedent, Juan flores Kaipat, died on ________, 2007

The Decedent left no will and was survived by 2 sole heirs: Jerun & Eric Kaipat

The Witnesses have signed an affidavit so that their testimony will not be required for probate.

INVENTORY AND ACCOUNTINGS

Realty:

Personal Property:

Money:

Values of the estate for probate purposes is $

REQUEST FOR RELIEF

All assets and money be released to protectioners.

No administrator or lawyer be involved but if the court requires an administrator the petitioner stipulate it should be the eldest brother

The Petitioners be granted such additional relief as the Court may deem proper.

SIGNATURES: Jerun Kaipat Eric Kaipat

Sworn to and subscribed before me this ____ day of ____________________, 20___.