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Deficiency CodeCode TextDetailed TextSolution TextOption
001Death Certificate not ProvidedYou have indicated that the Injured Party is deceased. However, no death certificate has been provided.Please provide an official death certificate regarding the injured party.Both
003Injured Party's Social Security Number not ProvidedThe SSN of the Injured Party has not been provided.
Please provide the injured party's Social Security number.Both
004Injured Party's Date of Birth not ProvidedThe date of birth of the Injured Party has not been provided.
Please provide the injured party's date of birth.Both
005Original Lawsuit State not ProvidedThe original lawsuit state was not provided.
Please provide the state where the original lawsuit regarding this claim was filed.Both
006Original Lawsuit Date not ProvidedThe original lawsuit date was not provided.
Please provide the date on which the original lawsuit regarding this claim was filed.Both
007Date of Alleged Diagnosis and/or Alleged Injury not ProvidedYou failed to designate an alleged asbestos-related injury and/or the date of diagnosis for the injury.Please provide the alleged injury and at least the month and year in which a physician first diagnosed the injury. Please provide the alleged injury and at least the month and year in which a physician first diagnosed the injury on Part 2 of the claim.Both
009First and Last Dates of Exposure Not ProvidedYour submission regarding the Injured Party's exposure to asbestos does not include complete information.Please provide the dates on which exposure began and ended for each work site where exposure is being alleged on Part 3 of the claim form.Both
010Industry and Occupation not ProvidedYour Claim Form failed to provide the industry and occupation of the Injured party.Please provide the industry and occupation in which the Injured Party worked for each work site where exposure is being alleged on Part 3 of the claim form.Both
013ASSN is inconsistent with Claim Form
The Social Security Number is inconsistent with what appears in the injured party's documents.
Please submit the correct Social Security Number or provide an explanation as to why there is a discrepancy.
Both
013BDate of Birth is inconsistent with Claim Form
The Date of Birth is inconsistent with what appears in the injured party's documents.
Please submit the correct Date of Birth or provide an explanation as to why there is a discrepancy.
Both
013CDate of Death is inconsistent with Claim Form
The Date of Death is inconsistent with what appears in the injured party's documents.
Please submit the correct Date of Death or provide an explanation as to why there is a discrepancy.
Both
013DName is inconsistent with Claim Form
The name is inconsistent with what appears in the injured party's documents.
Please submit the correct name or provide an explanation as to why there is a discrepancy.
Both
014Attachments Not ProvidedIn your Claim Form, you referenced additional information included as an attachment and/or affidavit, but no such information was found with the claim, or you failed to provide any medical records to support your claim as required by the Trust.In your Claim Form, you referenced additional information included as an attachment and/or affidavit, but no such information was found with the claim, or you failed to provide any medical records to support your claim as required by the Trust.Both
015No Date of Death ProvidedOn the Claim Form, you have indicated that the injured party is deceased, however; you did not provide the date of death. Please submit the date of death for the injured party.On the Claim Form, you have indicated that the injured party is deceased, however; you did not provide the date of death. Please submit the date of death for the injured party.Both
016Death Certificate for Wrong PartyThe death certificate provided is not for the Injured Party of this claim.Please provide an official death certificate for the injured party.Both
017Death Certificate is IncompleteThe death certificate provided is not acceptable because it is illegible, or information such as injured party's name, date of birth, date of death and/or SSN was cut-off when photocopied. Please provide an official death certificate for the injured party that is legible and complete.Both
019Litigation Page Failure to Elect JurisdictionYou failed to provide the jurisdiction in which you would have elected to file a lawsuit.On Part 5 of your Claim Form, you checked 'No' to question 5.1a; however, you failed to answer question 5.2. Please provide the state/jurisdiction in which you would have elected to file suit against this entity. IR
023Failure to Choose Description for Significant Occuptional ExposureYour submission regarding the Injured Party's circumstances of asbestos exposure was incomplete.Please select the description which best illustrates the Injured Party's exposure to asbestos or asbestos-containing products.Both
026Duplicate Financial DependentOne or more of the financial dependents as indicated in the dependent section of the claim form appears to be a duplicate.Please review the dependent section of the claim form to ensure that no duplicate dependent information is provided.
IR
104Latency Period does not QualifyBased upon the medical and exposure documentation provided, the latency period between the injured party's first exposure to asbestos and the diagnosis of the disease alleged does not meet Trust requirements. The Trust requires a 10-year latency period which is supported by the medical documents and exposure dates on the claim.Please provide any additional reports which indicate the claim meets the Trust's requirements for latency. In addition, please ensure that any applicable dates entered on the claim form are accurate. i.e. DOD/DOB/start and end dates of occupational exposure, etc. Both
105No Proof of Alleged Asbestos-Related Injury.The medical records submitted allege and/or support a claim for an injury not recognized as asbestos-related by the Trust. The Trust can only compensate injuries that are asbestos-related.Please refer to the TDP, which can be found on the Trust's website, for a list of diseases compensated by the Trust. Please review and, where applicable, resubmit Part 2 of the claim form along with any additional documentation substantiating one of the allowed asbestos-related injuries under the TDP.Both
110PFT Report not ProvidedNo Pulmonary Function Report (PFT) has been provided. Disease Levels III (Asbestosis/Pleural Disease) and IV (Severe Asbestosis) require a PFT with qualifying scores.Please submit a qualifying (PFT) report, including at least the FVC and FEV1/FVC ratio and/or TLC scores that meet the criteria established in the TDP.Both
113PFT Disputes or Conflicts with Earlier ReportThe most recent Pulmonary Function Test (PFT) report provided to the Trust does not qualify for the Disease Level alleged because it disputes an earlier qualifying report.Please submit a more recent qualifying PFT report, including at least FVC and FEV1/FVC ratio and/or TLC scores that meet the criteria established in the TDP for the Disease Level alleged. Both
114Most Recent PFT Scores do not QualifyA Level III Asbestosis/Pleural Disease or a Level IV Severe Asbestosis claim requires a PFT report with a qualifying FVC and FEV1/FVC or TLC score. The most recent Pulmonary Function Test (PFT) provides scores which do not qualify for the disease alleged on the claim form.In order to fully substantiate your claim, please submit qualifying pulmonary function test (PFT) report, including at least FVC and FEV1/FVC ratio and/or TLC that meet the criteria established in the TDP.Both
116PFT is from an Unacceptable FacilityThe PFT report provided with the claim was performed by a facility that has been deemed unacceptable by the Trust.Please provide a qualifying PFT report from an acceptable facility. Please refer to the Trust's website for additional information regarding facilities which have been deemed unacceptable.Both
117PFT does not meet ATS StandardsThe Pulmonary Function Test (PFT) results submitted with the claim do not meet the American Thoracic Society ('ATS') guidelines for acceptability and reproducibility.Please submit a more recent PFT report that adheres to the ATS guidelines. Please provide a full report, as opposed to a summary report. Both
118Full PFT Report is RequiredWe are unable to determine whether the PFT report provided with the claim was conducted in compliance with the standards set by the American Thoracic Society ('ATS') as the report is a summary report or is incomplete.Please provide the full PFT report, including all trials and tracings, as well as any summary which may exist from a reviewing physician.Both
120Medical Report not by a Qualified PhysicianThe physical examination provided was either not performed by a qualified physician, or the Trust was unable to determine the physician's qualifications. Please provide a physical examination preformed by a qualified physician or provide the qualifications of the physician who performed the previously submitted physical examination.Both
121Chest x-ray Report does not Identify the PhysicianThe medical records provided contain chest x-ray findings; however, the Trust was unable to determine the identity of the physician who performed the reading of the chest x-ray.Please provide a chest x-ray report in which the physician who read the film is identified. Please provide either a new chest x-ray report, or the complete original document that identifies the full name of the interpreting physician. Both
122Certified Translation of Foreign Document RequiredOne or more documents in the claim are in a foreign language. The Trust does not accept documentation written in any language other than English.The Trust requires a certified translation for each document submitted in a foreign language. The original foreign language document(s), the certified translation and the translator's CV must be provided for each foreign language document in order to cure this deficiency.Both
123UK Foreign Claims - Injury Not RecognizedUnited Kingdom ('UK') Foreign Claims -Injury Alleged Not Recognized as an Asbestos-Related Disease.The Claim Form submitted alleges and/or supports a claim for an injury not recognized as asbestos-related by the Trust for foreign claims originating in the UK. UK foreign claims of other non-respiratory cancers and pleural plaques are not compensable by the Trust.Both
128No Medical Documents ProvidedMedical documentation in support of this claim has not been provided to the Trust.Please provide complete medical documents for the injured party which support the disease alleged on the claim form.Both
129Medical Report does not Qualify as a Physical ExamA physical exam report is required to support the injured party's diagnosis of the disease alleged on the claim form per the TDP section 5.7 (a)(1)(A). The medical report provided does not qualify as a physical exam as it was not written comtemporaneous with the physical exam in which the injured party was diagnosed with the disease alleged and/or the report provided is a review of a physical exam report or previous medical records. The Trust does not accept medical reviews of physical examinations.Please submit a medical report for the alleged diagnosis based on a physical examination of the claimant by the physician documenting the diagnosis of the asbestos-related disease.Both
130Physical Exam Report not ProvidedNo physical exam report has been provided. The Trust requires a physical examination, pathology, or autopsy report, authored by the physician performing the examination, which provides a diagnosis for the disease alleged. Please provide a report from a qualified physician which documents the diagnosis for the injury alleged and which is based upon a physical exam. If the injured party is deceased, a pathology report or autopsy report is acceptable if it provides the appropriate diagnosis. The report must be dated and signed by a qualified physician.Both
131Medical Report Unacceptable DiagnosisThe most recent physical examination report, pathology report or autopsy report does not provide an acceptable diagnosis for the injury alleged. Please provide a physical exam report or pathology report (if the injured party is deceased) which provides the diagnosis of the injury alleged on the claim form. This report must be dated and signed by a qualified physician who examined the injured party and has documented the diagnosis. A pathology report from a board-certified pathologist (if the claimant is deceased) is acceptable if it provides the appropriate diagnosis.Both
132Medical Report Disputes and/or Conflicts with Earlier ReportsThe most recent physical examination report, pathology report, or autopsy report provided disputes an earlier report(s) and does not provide an acceptable diagnosis for the alleged injury.Please provide a more recent medical report which documents the diagnosis of the injury alleged on the claim form. The report must be dated, signed by a physician and must include a diagnosis based upon a physical examination by the physician making the diagnosis. A pathology report from a board-certified pathologist (if the claimant is deceased) is acceptable if it provides the appropriate diagnosis.Both
133Medical Report for Wrong PartyInformation contained in the physical examination or pathology report submitted indicates that the report is not for the injured party referenced on the claim form. The information referred to is inconsistent with the name, date of birth, Social Security Number, or other demographic information provided on the claim form.Please provide a medical report for the injured party which documents the diagnosis of the injury alleged and which matches the demographic information provided on the claim form. The Trust will also accept an amended, signed and dated report from the either the physician or the facility where the medical procedure was performed or the medical report was written. This amended report should reference the demographic information that was incorrect and provide updated information.Both
134Medical Report is IncompleteThe physical examination report provided with this claim is not acceptable because it is either missing pages, illegible, is not dated and/or signed by a qualified physician, or is otherwise incomplete.Please provide the complete or a more legible copy of the medical report that documents the diagnosis of the injury alleged on the claim form.Both
135Pathologist not Board-CertifiedThe pathology report provided with the claim does not indicate that it was performed by a board-certified pathologist.Please provide documentation of the pathologist's certification, or provide a pathology report from a board-certified pathologist who diagnoses the injury alleged on the claim form.Both
137Medical Report is from an Unacceptable PhysicianThe physical exam submitted with the claim was performed by or relies upon a physical exam from a physician who has been deemed unacceptable by the Trust.Please submit a physical exam which documents the diagnoses of the injury alleged and was performed by an acceptable physician.Both
138Medical Report is from an Unacceptable facilityThe physical examination report provided with the claim was performed at a facility that has been deemed unacceptable by the Trust.Please submit a physical exam which documents the diagnosis of the alleged injury and is from an acceptable facility .Both
139Chest X-ray was not read by a Qualified PhysicianThe chest x-ray or CT scan provided does not indicate if it was read by a Qualified Physician, or the physician who read the chest x-ray or CT scan was not board-certified at the time of the reading. Please provide documentation of the physician's certification, or provide a chest x-ray or CT scan which was read by a Qualified Physician. The physician must be board-certified at the time of the reading.Both
140Chest X-ray Report Not ProvidedNo chest x-ray, CT scan or B-reader report has been provided. The Trust requires a chest x-ray, CT scan, or B-reader report which provides an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a chest x-ray, CT scan or B-read report which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician. Both
141Chest X-Ray Report Unacceptable DiagnosisThe most recent chest x-ray, CT scan, or B-reader report does not provide an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a medical report based upon the review of a chest x-ray or CT scan which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician.Both
142Chest X-Ray Report Disputes or Conflicts with Earlier ReportsThe most recent chest x-ray, CT scan, or B-reader report disputes an earlier report and does not provide an acceptable diagnosis. Please submit a more recent report based on the review of a chest x-ray, CT scan, or a B-reader report evidencing bilateral asbestos-related nonmalignant disease. The chest x-ray or CT scan must be read by a Qualified Physician .The most recent chest x-ray, CT scan, or B-reader report disputes an earlier report and does not provide acceptable diagnosis for the alleged injury. Please submit a more recent report based on the review of a chest x-ray, CT scan, or a B-reader report indicating the alleged injury. The chest x-ray or CT scan must be read by a board-certified physician (defined in Footnote 3 of TDP). The report must be dated and signed by the radiologist or physician and must include information identifying the injured party.Both
143Chest X-Ray Report is for the Wrong PartyInformation contained in the chest x-ray, CT scan, or B-reader report submitted indicates that the report is not for the injured party referenced on the claim form. The information referred to may include the name, date of birth, Social Security number, or any other demographic information which is not consistent with that provided on the claim form.Please submit a chest x-ray, CT scan, or B-read report for the injured party which documents a Bilateral Asbestos-Related Nonmalignant Disease and which matches the demographic information provided on the claim form. The Trust will also accept an amended, signed and dated report from the either the physician or the facility where the chest x-ray or CT scan was read. This amended report should reference the demographic information that was incorrect and provide updated information.Both
144CXR Report is Incomplete or the CXR is Not of Acceptable QualityThe chest x-ray, CT scan, or B-reader report is not acceptable because it is either illegible, incomplete or is based upon a film of unacceptable quality. Please submit a complete medical report based upon the review of a chest x-ray, CT scan, or a B-read report which documents a bilateral asbestos-related non-malignant disease. The chest x-ray or CT scan must be based upon a film of acceptable quality and read by a Qualified Physician. The report must be dated and signed by the Qualified physician and must include information which identifies the injured party.Both
145Chest X-Ray Report Findings are not BilateralThe chest x-ray, CT scan, or B-reader report does not document bilateral findings for the asbestos-related non-malignant disease. Please submit a chest x-ray, CT scan, or a B-read report which documents bilateral findings for the asbestos-related non-malignant disease. This report must be dated and signed by a Qualified Physician and include information which identifies the injured party.Both
147Chest X-Ray Report is from an Unacceptable PhysicianThe chest x-ray, CT scan, or B-reader submitted with the claim was evaluated by a physician deemed unacceptable by the Trust. A complete list of unacceptable physicians is available on the Trust's website.Please submit a chest x-ray, CT scan, or B-read report for the alleged injury from an acceptable physician. The report must provide evidence of the alleged injury and demonstrate bilateral findings.Both
148Chest X-Ray Report is from an Unacceptable FacilityThe chest x-ray, CT scan, or B-reader submitted with the claim was performed at a facility deemed unacceptable by the Trust. A complete list of unacceptable facilities is available on the Trust's website.Please submit a chest x-ray, CT scan, or B-reader report that was performed at an acceptable facility, or provide a reading of the chest x-ray or CT scan by a qualified physician which includes a statement of the film's acceptable quality. The report must be dated and signed by the radiologist or physician, and must include information which identifies the injured party.Both
149Severe Asbestosis (Disease Level IV)/ILO Score does not QualifyA Disease Level IV requires either a Chest X-ray report that contains an ILO reading of 2/1 or greater, or pathological evidence of asbestosis.Please provide a Chest x-ray report that is read by board certified B-reader that diagnoses a bilateral asbestos related injury with an ILO reading of 2/1 or greater. You can also provide a pathology report authored by a pathologist that diagnoses a bilateral non-malignant asbestos related injury.Both
150Pathology Report not ProvidedNo pathology report has been provided. A pathology report is required to document the injury alleged on the claim form.Please provide a pathology report authored by a board certified pathologist which provides an acceptable diagnosis of the alleged disease. If the pathologist is not board certified, the facility must be JCAHO-accredited. If there is no pathological material, please provide the initial diagnosing physical exam or discharge summary along with treating medical documents that confirm the alleged injury.Both
151Pathology Report for Wrong InjuryA pathology report has been provided but it is for an injury other than that alleged on the claim form.Please provide a pathology report authored by a board certified pathologist which provides an acceptable diagnosis for the disease alleged. If the pathologist is not board certified, the facility must be JCAHO-accredited. Both
152Pathology Report is not for a Primary SiteThe pathology report provided does not indicate the primary site of the malignancy.Please provide further medical documentation such as treatment records or a physician's report expressly stating that the malignancy was a primary site of the Disease Level alleged.Both
153Pathology Report is IncompleteThe pathology report submitted is not acceptable because it is either missing pages, is illegible, is not dated and/or signed by a qualified physician, or is otherwise incomplete. Please provide a complete, legible and signed pathology report from a board-certified pathologist which contains an acceptable diagnosis for the disease alleged on the claim form. Both
154Pathology Report has an Unacceptable DiagnosisThe pathology report submitted does not provide an acceptable diagnosis for the malignancy alleged on the claim form.Please provide a pathology report authored by a board certified pathologist which provides an acceptable diagnosis for the disease alleged on the claim form. If the pathologist is not board certified, the facility must be JCAHO-accredited. Both
156Failure to Choose Description for Significant Occupational Exposure (Disease Levels III, IV, V & VIIOn the exposure page of the claim form, your submission regarding the injured party's circumstances of asbestos exposure was incomplete or you selected Box 5, "None", and failed to provide any description of exposure. The Trust requires completion of the questions on the claim form regarding the circumstances of the injured party's exposure at the site(s).Please check 'yes' or 'no' to each question under section 3.6 on each exposure page of the claim form. If "None of the above" is selected, please provide a detailed description of the claimant's job duties, the performance of which brought him into contact with asbestos-containing products. It is not sufficient to state that he worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specfic details should be provided. Both
160PFT for Wrong PartyInformation contained in the PFT report submitted indicates that the report is not for the injured party referenced on the claim form. The information referred to may include the name, date of birth, Social Security number, or any other demographic information which is not consistent with that provided on the claim form.Please provide a PFT report for the injured party which provides qualifying scores and which matches the demographic information provided on the claim form. The Trust will also accept an amended, signed and dated report from the either the physician interpreting the PFT report or the Facility where the PFT was performed. This amended report should reference the demographic information that was incorrect and provide updated information.Both
161PFT is IncompleteThe PFT provided is not acceptable because it is illegible or otherwise incomplete.Please provide a complete PFT that meets all of the requirements of the TDP.Both
163Pathology Report for Wrong PartyThe pathology report you provided is for the wrong party. The claimant's social security number, date of birth or date of death on the pathology report differs with what is on the claim form.Please provide a pathology report for the injured party which provides an acceptable diagnosis for the disease alleged and which matches the demographic information provided on the claim form. The Trust will also accept an amended, signed and dated report from the either the physician or the facility where the pathology report was performed. This amended report should reference the demographic information that was incorrect and provide updated information.Both
164Smoking History not ProvidedThe smoking history on the claim form is incomplete.Please complete the smoking history on the claim form including whether or not the Injured Party ever smoked cigarettes, the start date, end date and packs smoked per day.IR
165PFT Facility not ProvidedThe PFT report provided or PFT results referenced within the physical exam/medical records review does not provide the name of the facility that performed the PFTs.Please submit a complete qualifying PFT report with the full name of the facility that includes the city and state of the facility at which the test was performed or submit a signed PFT Facility Verification affidavit from the Facility, verifying that the PFT's were not performed at a facility deemed unacceptable by the Trust.Both
166Medical Provider Trust Research: PFT Facility The Trust must have reasonable confidence that medical evidence provided in support of a claim is credible and consistent with recognized medical standards. The Pulmonary Function Testing (“PFT”) report submitted with this claim was evaluated by a facility whose medical evidence is currently being reviewed by the Trust; the Trust cannot pay claims based on PFT reports submitted by this facility unless and until it determines that reports from this facility are credible, reliable and consistent with recognized medical standards.You may submit a new PFT report for the alleged injury from an acceptable facility (that complies with the requirements of the Trusts’ procedures and rules for the claimed Disease Level). Alternately, you may wait until the Trust concludes its review of the facility’s evidence; if the review determines the facility’s evidence is credible and consistent with recognized medical standards, the claim processing will move forward, but if the review results in a determination that the facility’s medical evidence may lack credibility or fails to meet recognized medical standards, then the claim will remain deficient unless and until you obtain a new PFT report from an acceptable facility (that complies with the requirements of the Trusts’ procedures and rules for the claimed disease level). Alternatively, you may change the claim to a disease level that does not require a PFT report.Both
168Smoking History does not Match MedicalsThe information you provided in the Claim Form regarding the Injured Party's smoking history is inconsistent with the smoking history in the medical reports.Please provide an explanation with evidence that the information stated in the Claim Form is correct, or amend the Smoking History section of the Claim Form so that it is consistent with the smoking history in the medical reports.IR
170Chest X-ray Diagnosis Unacceptable for AsbestosisThe chest x-ray, CT scan, or B-reader report submitted with the claim documents the findings of silicosis including p, q, or r shaped opacities, describes small rounded opacities, or provides a diagnosis of silicosis. Please submit a more recent chest x-ray, CT scan, or B-read report which supports an acceptable diagnosis for bilateral asbestos-related non-malignant disease. Both
171The Physical Exam Diagnosis Disputes Chest X-Ray FindingsThe diagnosis in the physical exam report disputes the disease provided in the chest x-ray report, CT scan or B-read report. Please provide a more recent physical exam report which provides a diagnosis for the same disease as provided in the chest x-ray , CT scan or B-read report. Conversely, a more recent chest x-ray, CT scan or B-read report which suports the diagnosis provided in the physical exam may also cure the deficiency. Both
172For Deceased Claimants/Chest X-Ray was not Read by a Qualified PhysicianFor the deceased claimant, the chest x-ray or CT scan was not read by a qualified physician. Please provide a chest x-ray or CT scan that was read by a qualified physician. The report must provide evidence of bilateral asbestos-related non-malignant disease.Both
173No Causation Statement ProvidedThe Trust requires a medical report which documents a correlation between the disease alleged on the claim form and the injured party's asbestos exposure. The medical reports provided in support of your claim fail to provide this correlation.Please provide a medical report which documents the correlation between the injured party's asbestos exposure to the disease alleged on the claim form.Both
174Causation Statement is IncompleteThe causation statement provided is either for the wrong party, illegible, not dated, missing pages, altered, amended, or otherwise incomplete.Please provide a complete causation report, without revisions or amendments, which links the injured party's asbestos exposure to the disease alleged on the claim form. If the current report has been revised or amended, documentation from the doctor or facility who revised or amended the report which indicates who made the revisions and when they were made, may cure the deficiency. Both
175Causation-Doctor not Qualified/Unacceptable DoctorThe medical report submitted with your claim documenting a correlation between the alleged injury and asbestos exposure is unacceptable because it was not authored by a qualified physician, or the qualified doctor providing the link to asbestos exposure relies upon medical records from a physician deemed unacceptable by the Trust.Please submit a medical report documenting the correlation between the alleged injury and asbestos exposure from a qualified physician that does not rely upon medical records from an unacceptable physician.Both
176Medical Documents Not AvailableMedical documents are not currently available for Trust Online on claims originally converted from Celotex historical information.Please provide the complete medical documents in support of your claim.Both
178Medical Provider Trust Research: X-Ray Report – Dr. Laxminarayana RaoThe report reflecting the reading of a chest X-ray by a B-reader (the “B-read report”) submitted with this claim was prepared by a medical provider who is currently being reviewed by the Trust’s experts. As the review is ongoing, the Trust cannot pay claims relying on this physician at this time.You may submit a new B-read report from an acceptable physician (that complies with the requirements of the Trust’s procedures and rules for the claimed disease level), or you may submit other evidence permitted by the Trust’s procedures to establish the claimed disease level.
Alternatively, you may wait until the Trust’s experts conclude their review of this physician. However, if the review results in a determination that the physician’s B-read reports lack credibility or fail to meet recognized medical standards, then the claim will remain deficient unless and until you submit a new B-read report from an acceptable physician (that complies with the requirements of the Trust’s procedures and rules for the claimed disease level) or you submit other evidence permitted by the Trust’s procedures to establish the claimed disease level.
Both
210Duplicate Financial DependentOne or more of the financial dependents as indicated in the dependent section of the claim form appears to be a duplicate.Please review the dependent section of the claim form to ensure that no duplicate financially dependent information is provided.IR
212Description for SOE may not meet Criteria (Disease Levels III,IV, V & VII Only)This claim requires 5 years of significant occupational exposure (SOE) to asbestos. Based on the information provided, the industry/occupation pairing does not appear on the Master SOE rating list and/or the current description regarding SOE was found to be unacceptable. Please provide a detailed description of the injured party's job duties, the performance of which brought him into contact with asbestos-containing products. Please be specific. It is not sufficient to state the injured party worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specific job duties should be provided. This information should be provided as a written response to SOE on the exposure page of the claim form.Both
228Significant or Cumulative Occupational Exposure is InsufficientFive qualifying years of significant or cumulative occupational exposure, two years of which must be prior to 12/31/1982, are required to satisfy the Trust's criteria for compensation. The exposure information you have provided has been evaluated and does not provide an adequate exposure time period. Please provide additional exposure sites to meet the Trust requirement for 5 years of significant or cumulative occupational exposure. Please provide supporting documentation for any exposure updates that are made.Both
229Exposure is all Post 1982You have failed to provide appropriate exposure information prior to December 31, 1982. The Trust requires the injured party's exposure to Company products occur prior to December 31, 1982. Please provide additional sites of exposure at which the injured party was exposed to Company products prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
231Pre-1983 Significant Occupational Exposure is InsufficientThe Trust requires at least 2 years of the injured party's significant occupational exposure occur prior to December 31, 1982. The exposure as currently submitted does not meet this requirement. Please refer to the TDP for significant occupational exposure requirements. Please provide additional exposure information identifying where the injured party garnered significant occupational exposure (SOE) to asbestos prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
269Check Box for Previously Submitted Physical ExaminationsYou have not provided an acceptable Physical Examination performed by the diagnosing doctor as required by the TDP.If you checked the box for Physical Examination on the injury page in error, please uncheck the box. If you have a Physical Examination that meets the TDP requirements, please provide.Both
270Incomplete or No Vessel Service History Provided (Maritime)The claim does not include a Vessel Service History showing the number of days the injured party spent aboard each ship.Please provide the amount of on-board vessel time the injured party spent on each ship aboard which you have alleged exposure to asbestos. Please provide the number of years the injured party was employed, as well as the specific number of days the injured party was aboard each particular ship each year.Both
701FERExposure Information does not Match Claim FormThe information that you have submitted regarding the industry, occupation, work site, employer, and/or the years of exposure of the Injured Party, is inconsistent with information provided in the medical reports, attachments, affidavits, depositions, and/or other supporting documents submitted with the claim.Please update the Claim Form to match the information that has been provided in the attached documentation or provide an explanation with evidence that the information stated on the Claim Form is correct.Both
701FLXExposure Information does not Match Claim FormThe information that you have submitted regarding the industry, occupation, work site, employer, and/or the years of exposure of the Injured Party, is inconsistent with information provided in the medical reports, attachments, affidavits, depositions, and/or other supporting documents submitted with the claim.Please update the Claim Form to match the information that has been provided in the attached documentation or provide an explanation with evidence that the information stated on the Claim Form is correct.Both
701FMPExposure Information does not Match Claim FormThe information that you have submitted regarding the industry, occupation, work site, employer, and/or the years of exposure of the Injured Party, is inconsistent with information provided in the medical reports, attachments, affidavits, depositions, and/or other supporting documents submitted with the claim.Please update the Claim Form to match the information that has been provided in the attached documentation or provide an explanation with evidence that the information stated on the Claim Form is correct.Both
701TNExposure Information does not Match Claim FormThe information that you have submitted regarding the industry, occupation, work site, employer, and/or the years of exposure of the Injured Party, is inconsistent with information provided in the medical reports, attachments, affidavits, depositions, and/or other supporting documents submitted with the claim.Please update the Claim Form to match the information that has been provided in the attached documentation or provide an explanation with evidence that the information stated on the Claim Form is correct.Both
702aFERName of Site or Plant not provided.
The name of the Site, Plant or Ship where the Injured Party's exposure occurred is not provided.
Please provide the name of the Site, Plant or Ship where the Injured Party's exposure occurred.
Both
702aFLXName of Ship/Plant/Site not Provided.The name of the Site, Plant or Ship where the Injured Party's exposure occurred is not provided. Please provide the name of the Site, Plant or Ship where the Injured Party's exposure occurred.Both
702aFMPName of Ship/Plant/Site not Provided.The name of the Site, Plant or Ship where the Injured Party's exposure occurred is not provided. Please provide the name of the Site, Plant or Ship where the Injured Party's exposure occurred.Both
702aTNName of Site or Plant not provided.
The name of the Site, Plant or Ship where the Injured Party's exposure occurred is not provided. Please provide the name of the Site, Plant or Ship where the Injured Party's exposure occurred. Both
702bFERVarious Sites Provided.
"Various" sites do not satisfy the Trust’s criteria for compensation.
Please provide the name(s) of each Site, Plant or Ship, including city and state, where the Injured Party's exposure to Trust product occurred.
Both
702bFLXVarious Sites Provided.
"Various" sites do not satisfy the Trust’s criteria for compensation.
Please provide the name(s) of each Site, Plant or Ship, including city and state, where the Injured Party's exposure to Trust product occurred.
Both
702bFMPVarious Sites Provided.
"Various" sites do not satisfy the Trust’s criteria for compensation.
Please provide the name(s) of each Site, Plant or Ship, including city and state, where the Injured Party's exposure to Trust product occurred.
Both
702bTNVarious Sites Provided.
"Various" sites do not satisfy the Trust’s criteria for compensation.
Please provide the name(s) of each Site, Plant or Ship, including city and state, where the Injured Party's exposure to Trust product occurred.
Both
702cFERCity not provided.
The City where the Injured Party's exposure occurred is not provided.
Please provide the name of the city where the Injured Party's exposure occurred.
Both
702cFLXCity not provided.
The City where the Injured Party's exposure occurred is not provided.
Please provide the name of the city where the Injured Party's exposure occurred.
Both
702cFMPCity not provided.The City where the Injured Party's exposure occurred is not provided.
Please provide the name of the city where the Injured Party's exposure occurred.
Both
702cTNCity not provided.
The City where the Injured Party's exposure occurred is not provided.
Please provide the name of the city where the Injured Party's exposure occurred.
Both
702dFERState not provided.
The State where the Injured Party's exposure occurred is not provided.
Please provide the name of the state where the Injured Party's exposure occurred.
Both
702dFLXState not provided.
The State where the Injured Party's exposure occurred is not provided.
Please provide the name of the state where the Injured Party's exposure occurred.
Both
702dFMPState not provided.
The State where the Injured Party's exposure occurred is not provided.
Please provide the name of the state where the Injured Party's exposure occurred.
Both
702dTNState not provided.
The State where the Injured Party's exposure occurred is not provided.
Please provide the name of the state where the Injured Party's exposure occurred.
Both
704FERCompany Exposure InsufficientThe information that you have provided regarding the Injured Party's exposure to Company products is insufficient to satisfy the Trust's 6-month requirement of working with the Trust product.Please update the claim form and send supporting documentation that includes beginning and ending dates to support additional Company exposure.Both
704FLXCompany Exposure InsufficientThe information that you have provided regarding the Injured Party's exposure to Company products is insufficient to satisfy the Trust's 6-month requirement of working with the Trust product.Please update the claim form and send supporting documentation that includes beginning and ending dates to support additional Company exposure.Both
704FMPCompany Exposure InsufficientThe information that you have provided regarding the Injured Party's exposure to Company products is insufficient to satisfy the Trust's 6-month requirement of working with the Trust product.Please update the claim form and send supporting documentation that includes beginning and ending dates to support additional Company exposure.Both
704TNCompany Exposure InsufficientThe information that you have provided regarding the Injured Party's exposure to Company products is insufficient to satisfy the Trust's 6-month requirement of working with the Trust product.Please update the claim form and send supporting documentation that includes beginning and ending dates to support additional Company exposure.Both
709FERNeed Information for Occupationally Exposed PersonYou have filed a claim alleging an asbestos-related injury resulting from contact with an Occupationally Exposed Person (OEP). As listed, the information submitted about the occupationally exposed person's exposure is incomplete or insufficient to meet the Trust's eligibility criteria for compensation. Please completely fill out Part 3 of the Claim Form pertaining to the OEP's Company and SOE or cumulative exposure, as well as the OEP's name. Both
709FLXNeed Information for Occupationally Exposed PersonYou have filed a claim alleging an asbestos-related injury resulting from contact with an Occupationally Exposed Person (OEP). As listed, the information submitted about the occupationally exposed person's exposure is incomplete or insufficient to meet the Trust's eligibility criteria for compensation. Please completely fill out Part 3 of the Claim Form pertaining to the OEP's Company and SOE or cumulative exposure, as well as the OEP's name. Both
709FMPNeed Information for Occupationally Exposed PersonYou have filed a claim alleging an asbestos-related injury resulting from contact with an Occupationally Exposed Person (OEP). As listed, the information submitted about the occupationally exposed person's exposure is incomplete or insufficient to meet the Trust's eligibility criteria for compensation. Please completely fill out Part 3 of the Claim Form pertaining to the OEP's Company and SOE or cumulative exposure, as well as the OEP's name. Both
709TNNeed Information for Occupationally Exposed PersonYou have filed a claim alleging an asbestos-related injury resulting from contact with an Occupationally Exposed Person (OEP). As listed, the information submitted about the occupationally exposed person's exposure is incomplete or insufficient to meet the Trust's eligibility criteria for compensation. Please completely fill out Part 3 of the Claim Form pertaining to the OEP's Company and SOE or cumulative exposure, as well as the OEP's name. Both
713FERFailure to Provide Description of Cumulative ExposureA Level II claim requires 5 years of cumulative exposure to asbestos-containing products. When the industry/occupation pairing(s) provided on the sites for cumulative exposure do not appear on the Master SOE Rating list, a description as to how the injured party was exposed to asbestos is required. If a description has been provided, it has been deemed unacceptable.Please provide a detailed description of the injured party's job duties, the performance of which brought him into contact with asbestos-containing products. Please be specific. It is not sufficient to state the injured party worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specific job duties should be provided. This information should be provided as a written response to SOE on the exposure page of the claim form.Both
713FLXFailure to Provide Description of Cumulative ExposureA Level II claim requires 5 years of cumulative exposure to asbestos-containing products. When the industry/occupation pairing(s) provided on the sites for cumulative exposure do not appear on the Master SOE Rating list, a description as to how the injured party was exposed to asbestos is required. If a description has been provided, it has been deemed unacceptable.Please provide a detailed description of the injured party's job duties, the performance of which brought him into contact with asbestos-containing products. Please be specific. It is not sufficient to state the injured party worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specific job duties should be provided. This information should be provided as a written response to SOE on the exposure page of the claim form.Both
713FMPFailure to Provide Description of Cumulative ExposureA Level II claim requires 5 years of cumulative exposure to asbestos-containing products. When the industry/occupation pairing(s) provided on the sites for cumulative exposure do not appear on the Master SOE Rating list, a description as to how the injured party was exposed to asbestos is required. If a description has been provided, it has been deemed unacceptable.Please provide a detailed description of the injured party's job duties, the performance of which brought him into contact with asbestos-containing products. Please be specific. It is not sufficient to state the injured party worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specific job duties should be provided. This information should be provided as a written response to SOE on the exposure page of the claim form.Both
713TNFailure to Provide Description of Cumulative ExposureA Level II claim requires 5 years of cumulative exposure to asbestos-containing products. When the industry/occupation pairing(s) providedÊon the sites for cumulative exposure do not appear on the Master SOE Rating list, a description as to how the injured party was exposed to asbestos is required. If a description has been provided, it has been deemed unacceptable.Please provide a detailed description of the injured party's job duties, the performance of which brought him into contact with asbestos-containing products. Please be specific. It is not sufficient to state the injured party worked with/around, in close proximity to, or in the vicinity of others who were using these products. Specific job duties should be provided. This information should be provided as a written response to SOE on the exposure page of the claim form.Both
718FERExposure to Occupationally Exposed Person is InadequateYour submission regarding the Injured Party's exposure to an Occupationally Exposed Person (OEP) is incomplete. Either you failed to describe how the Injured Party was exposed to the occupationally exposed person, or you failed to provide the Injured Party's beginning and/or ending dates of exposure to the occupationally exposed person. Please complete Part 4 of the claim form providing detail as to how the injured party was exposed to asbestos thru the OEP.Both
718FLXExposure to Occupationally Exposed Person is InadequateYour submission regarding the Injured Party's exposure to an Occupationally Exposed Person (OEP) is incomplete. Either you failed to describe how the Injured Party was exposed to the occupationally exposed person, or you failed to provide the Injured Party's beginning and/or ending dates of exposure to the occupationally exposed person. Please complete Part 4 of the claim form providing detail as to how the injured party was exposed to asbestos thru the OEP.Both
718FMPExposure to Occupationally Exposed Person is InadequateYour submission regarding the Injured Party's exposure to an Occupationally Exposed Person (OEP) is incomplete. Either you failed to describe how the Injured Party was exposed to the occupationally exposed person, or you failed to provide the Injured Party's beginning and/or ending dates of exposure to the occupationally exposed person. Please complete Part 4 of the claim form providing detail as to how the injured party was exposed to asbestos thru the OEP.Both
718TNExposure to Occupationally Exposed Person is InadequateYour submission regarding the Injured Party's exposure to an Occupationally Exposed Person (OEP) is incomplete. Either you failed to describe how the Injured Party was exposed to the occupationally exposed person, or you failed to provide the Injured Party's beginning and/or ending dates of exposure to the occupationally exposed person. Please complete Part 4 of the claim form providing detail as to how the injured party was exposed to asbestos thru the OEP.Both
724FERExposure Dates not ProvidedOn Part 3 of the Claim Form, you submitted insufficient exposure information. You have either provided no beginning/ending dates of exposure or you have indicated exposure that was intermittent. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site. Please submit a separate line of exposure for each employer and/or work site.Both
724FLXExposure Dates not ProvidedOn Part 3 of the Claim Form, you submitted insufficient exposure information. You have either provided no beginning/ending dates of exposure or you have indicated exposure that was intermittent. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site. Please submit a separate line of exposure for each employer and/or work site.Both
724FMPExposure Dates not ProvidedOn Part 3 of the Claim Form, you submitted insufficient exposure information. You have either provided no beginning/ending dates of exposure or you have indicated exposure that was intermittent. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site. Please submit a separate line of exposure for each employer and/or work site.Both
724TNExposure Dates not ProvidedOn Part 3 of the Claim Form, you submitted insufficient exposure information. You have either provided no beginning/ending dates of exposure or you have indicated exposure that was intermittent. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site. Please submit a separate line of exposure for each employer and/or work site.Both
725FERSeparate the Years of Exposure at Each SiteThe Trust requires the injured party have at least 6 months of exposure to a Company product prior to 12/31/82. Although the injured party was at a known or documented site for at least 6 months, this site is completely overlapped by an unknown site. Therefore, it is not possible to determine if the injured party was exposed for the required time period. Please separate the years of exposure at each site. If this is not possible, please indicate that the injured party worked at the known site for at least 6 months prior to 12/31/82. You may indicate this as the answer in the circumstances of exposure section on the exposure page of the claim form for known or documented sites, or as part of an exposure affidavit for unknown sites. Both
725FLXSeparate the Years of Exposure at Each SiteThe Trust requires the injured party have at least 6 months of exposure to a Company product prior to 12/31/82. Although the injured party was at a known or documented site for at least 6 months, this site is completely overlapped by an unknown site. Therefore, it is not possible to determine if the injured party was exposed for the required time period. Please separate the years of exposure at each site. If this is not possible, please indicate that the injured party worked at the known site for at least 6 months prior to 12/31/82. You may indicate this as the answer in the circumstances of exposure section on the exposure page of the claim form for known or documented sites, or as part of an exposure affidavit for unknown sites. Both
725FMPSeparate the Years of Exposure at Each SiteThe Trust requires the injured party have at least 6 months of exposure to a Company product prior to 12/31/82. Although the injured party was at a known or documented site for at least 6 months, this site is completely overlapped by an unknown site. Therefore, it is not possible to determine if the injured party was exposed for the required time period. Please separate the years of exposure at each site. If this is not possible, please indicate that the injured party worked at the known site for at least 6 months prior to 12/31/82. You may indicate this as the answer in the circumstances of exposure section on the exposure page of the claim form for known or documented sites, or as part of an exposure affidavit for unknown sites. Both
725TNSeparate the Years of Exposure at Each SiteThe Trust requires the injured party have at least 6 months of exposure to a Company product prior to 12/31/82. Although the injured party was at a known or documented site for at least 6 months, this site is completely overlapped by an unknown site. Therefore, it is not possible to determine if the injured party was exposed for the required time period. Please separate the years of exposure at each site. If this is not possible, please indicate that the injured party worked at the known site for at least 6 months prior to 12/31/82. You may indicate this as the answer in the circumstances of exposure section on the exposure page of the claim form for known or documented sites, or as part of an exposure affidavit for unknown sites. Both
730FERPre-1983 Exposure is InsufficientThe exposure information for pre-December 31, 1982 company exposure does not satisfy the minimum exposure criteria as required under the TDP. Please update the exposure section of the claim to indicate sufficient exposure to company product prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
730FLXPre-1983 Exposure is InsufficientThe exposure information for pre-December 31, 1982 company exposure does not satisfy the minimum exposure criteria as required under the TDP. Please update the exposure section of the claim to indicate sufficient exposure to company product prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
730FMPPre-1983 Exposure is InsufficientThe exposure information for pre-December 31, 1982 company exposure does not satisfy the minimum exposure criteria as required under the TDP. Please update the exposure section of the claim to indicate sufficient exposure to company product prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
730TNPre-1983 Exposure is InsufficientThe exposure information for pre-December 31, 1982 company exposure does not satisfy the minimum exposure criteria as required under the TDP. Please update the exposure section of the claim to indicate sufficient exposure to company product prior to December 31, 1982. Please provide supporting documentation for any exposure updates that are made.Both
732FERExposure Dates Outside Recognized RangeThe injured party's exposure at the known or documented site occurred prior to the time the site has been approved for Company products.Please provide an affidavit, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
732FLXExposure Dates Outside Recognized RangeThe injured party's exposure at the known or documented site occurred prior to the time the site has been approved for Company products.Please provide an affidavit, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
732FMPExposure Dates Outside Recognized RangeThe injured party's exposure at the known or documented site occurred prior to the time the site has been approved for Company products.Please provide an affidavit, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
732TNExposure Dates Outside Recognized RangeThe injured party's exposure at the known or documented site occurred prior to the time the site has been approved for Company products.Please provide an affidavit, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
733FEROccupationally Exposed Person's Name and/or Social Security NumberThe Trust requires both the name and Social Security number of the Occupationally Exposed Person to whom the injured party is alleging exposure. One or both of these requirements have not been met.Please provide the name and/or Social Security number of the Occupationally Exposed person to whom the injured party was exposed.IR
733FLXOccupationally Exposed Person's Name and/or Social Security NumberThe Trust requires both the name and Social Security number of the Occupationally Exposed Person to whom the injured party is alleging exposure. One or both of these requirements have not been met.Please provide the name and/or Social Security number of the Occupationally Exposed person to whom the injured party was exposed.IR
733FMPOccupationally Exposed Person's Name and/or Social Security NumberThe Trust requires both the name and Social Security number of the Occupationally Exposed Person to whom the injured party is alleging exposure. One or both of these requirements have not been met.Please provide the name and/or Social Security number of the Occupationally Exposed person to whom the injured party was exposed.IR
733TNOccupationally Exposed Person's Name and/or Social Security NumberThe Trust requires both the name and Social Security number of the Occupationally Exposed Person to whom the injured party is alleging exposure. One or both of these requirements have not been met.Please provide the name and/or Social Security number of the Occupationally Exposed person to whom the injured party was exposed.IR
736FERThe Industry/Occupation and/or description of exposure is not acceptableThe description of exposure is inconsistent with the products identified and/or the industry/occupation of the Injured Party.Please amend your description of exposure to include an explanation as to how someone in the Industry/Occupation selected would have been exposed to the company asbestos containing product you have provided.Both
736FLXThe Industry/Occupation and/or description of exposure is not acceptableThe description of exposure is inconsistent with the products identified and/or the industry/occupation of the Injured Party.Please amend your description of exposure to include an explanation as to how someone in the Industry/Occupation selected would have been exposed to the company asbestos containing product you have provided.Both
736FMPThe Industry/Occupation and/or description of exposure is not acceptableThe description of exposure is inconsistent with the products identified and/or the industry/occupation of the Injured Party.Please amend your description of exposure to include an explanation as to how someone in the Industry/Occupation selected would have been exposed to the company asbestos containing product you have provided.Both
736TNThe Industry/Occupation and/or description of exposure is not acceptableThe description of exposure is inconsistent with the products identified and/or the industry/occupation of the Injured Party.Please amend your description of exposure to include an explanation as to how someone in the Industry/Occupation selected would have been exposed to the company asbestos containing product you have provided.Both
737FERA company product was not specified, is generic, or is not recognized by the Trust.The product indicated in the affidavit provided for product identification is generic, is not referred to as asbestos-containing, or is not recognized by the Trust.Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
737FLXA company product was not specified, is generic, or is not recognized by the Trust.The product indicated in the affidavit provided for product identification is generic, is not referred to as asbestos-containing, or is not recognized by the Trust.Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
737FMPA company product was not specified, is generic, or is not recognized by the Trust.The product indicated in the affidavit provided for product identification is generic, is not referred to as asbestos-containing, or is not recognized by the Trust.Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
737TNA company product was not specified, is generic, or is not recognized by the Trust.The product indicated in the affidavit provided for product identification is generic, is not referred to as asbestos-containing, or is not recognized by the Trust.Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there.Both
738FERAffidavit contains multiple company products and/or multiple sites.The deficiency has been assigned because the affidavit provided is insufficient for one of the following reasons: 1) the affidavit lists multiple sites and products, but is not specific as to which products were used at each site, or 2) based on a review of the affidavits provided from your firm, many affidavits contain the same product from individuals working in various industries and occupations. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there. If an affidavit is provided, please indicate the specific products used at each specific site. Both
738FLXAffidavit contains multiple company products and/or multiple sites.The deficiency has been assigned because the affidavit provided is insufficient for one of the following reasons: 1) the affidavit lists multiple sites and products, but is not specific as to which products were used at each site, or 2) based on a review of the affidavits provided from your firm, many affidavits contain the same product from individuals working in various industries and occupations. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there. If an affidavit is provided, please indicate the specific products used at each specific site. Both
738FMPAffidavit contains multiple company products and/or multiple sites.The deficiency has been assigned because the affidavit provided is insufficient for one of the following reasons: 1) the affidavit lists multiple sites and products, but is not specific as to which products were used at each site, or 2) based on a review of the affidavits provided from your firm, many affidavits contain the same product from individuals working in various industries and occupations. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there. If an affidavit is provided, please indicate the specific products used at each specific site. Both
738TNAffidavit contains multiple company products and/or multiple sites.The deficiency has been assigned because the affidavit provided is insufficient for one of the following reasons: 1) the affidavit lists multiple sites and products, but is not specific as to which products were used at each site, or 2) based on a review of the affidavits provided from your firm, many affidavits contain the same product from individuals working in various industries and occupations. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an asbestos-containing company product at the site listed on the claim form before or during the time the injured party worked there. If an affidavit is provided, please indicate the specific products used at each specific site. Both
750FERNo Verified Company Exposure ProvidedThe exposure site(s) on the claim form are not known for Company products, nor has documentation which places a Company product at the site been provided. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable company product at the site on the claim form.Both
750FLXNo Verified Company Exposure ProvidedThe exposure site(s) on the claim form are not known for Company products, nor has documentation which places a Company product at the site been provided. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable company product at the site on the claim form.Both
750FMPNo Verified Company Exposure ProvidedThe exposure site(s) on the claim form are not known for Company products, nor has documentation which places a Company product at the site been provided. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable company product at the site on the claim form.Both
750TNNo Verified Company Exposure ProvidedThe exposure site(s) on the claim form are not known for Company products, nor has documentation which places a Company product at the site been provided. Please provide an affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable company product at the site on the claim form.Both
751FERVerified Company Exposure is InsufficientThe affidavit provided in support of the claimant's proof of asbestos exposure is insufficient because it fails to properly identify one of the following: 1) missing site, city and/or state of exposure; 2) is undated, unsigned or is otherwise incomplete; 3) a Co-worker affidavit was submitted and the exposure years of the Co-worker do not match claimant's exposure years at the worksite; or 4) a Co-worker affidavit was submitted for a site that does not match the claimant's site of exposure.Please provide a complete affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable Company product at the site on the claim form. Both
751FLXVerified Company Exposure is InsufficientThe affidavit provided in support of the claimant's proof of asbestos exposure is insufficient because it fails to properly identify one of the following: 1) missing site, city and/or state of exposure; 2) is undated, unsigned or is otherwise incomplete; 3) a Co-worker affidavit was submitted and the exposure years of the Co-worker do not match claimant's exposure years at the worksite; or 4) a Co-worker affidavit was submitted for a site that does not match the claimant's site of exposure.Please provide a complete affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable Company product at the site on the claim form. Both
751FMPVerified Company Exposure is InsufficientThe affidavit provided in support of the claimant's proof of asbestos exposure is insufficient because it fails to properly identify one of the following: 1) missing site, city and/or state of exposure; 2) is undated, unsigned or is otherwise incomplete; 3) a Co-worker affidavit was submitted and the exposure years of the Co-worker do not match claimant's exposure years at the worksite; or 4) a Co-worker affidavit was submitted for a site that does not match the claimant's site of exposure.Please provide a complete affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable Company product at the site on the claim form. Both
751TNVerified Company Exposure is InsufficientThe affidavit provided in support of the claimant's proof of asbestos exposure is insufficient because it fails to properly identify one of the following: 1) missing site, city and/or state of exposure; 2) is undated, unsigned or is otherwise incomplete; 3) a Co-worker affidavit was submitted and the exposure years of the Co-worker do not match claimant's exposure years at the worksite; or 4) a Co-worker affidavit was submitted for a site that does not match the claimant's site of exposure.Please provide a complete affidavit, deposition, invoices of sale, contemporaneous records or other sworn statement which places an acceptable Company product at the site on the claim form. Both
767FERSecondary Exposure/Foreign Claim ProcessWe are unable to process Secondary Exposure Claims or Foreign Claims through Expedited Review. You must resubmit your claim choosing the Individual Review Process.Please change the process option from Expedited Review to Individual Review.ER
767FLXSecondary Exposure/Foreign Claim ProcessWe are unable to process Secondary Exposure Claims or Foreign Claims through Expedited Review. You must resubmit your claim choosing the Individual Review Process.Please change the process option from Expedited Review to Individual Review.ER
767FMPSecondary Exposure/Foreign Claim ProcessWe are unable to process Secondary Exposure Claims or Foreign Claims through Expedited Review. You must resubmit your claim choosing the Individual Review Process.Please change the process option from Expedited Review to Individual Review.ER
767TNSecondary Exposure/Foreign Claim ProcessWe are unable to process Secondary Exposure Claims or Foreign Claims through Expedited Review. You must resubmit your claim choosing the Individual Review Process.Please change the process option from Expedited Review to Individual Review.ER
771FERCompany Exposure Insufficient (Maritime)The claim does not provide a sufficient number of days on board ships to satisfy the Trust's criteria for compensation.Please provide additional documentation regarding the on-board time the injured party spent on each ship for which you have alleged exposure to asbestos. Please provide the number of years the injured party was employed, as well as the specific number of days the injured party was aboard each particular ship each year.Both
771FLXCompany Exposure Insufficient (Maritime)The claim does not provide a sufficient number of days on board ships to satisfy the Trust's criteria for compensation.Please provide additional documentation regarding the on-board time the injured party spent on each ship for which you have alleged exposure to asbestos. Please provide the number of years the injured party was employed, as well as the specific number of days the injured party was aboard each particular ship each year.Both
771FMPCompany Exposure Insufficient (Maritime)The claim does not provide a sufficient number of days on board ships to satisfy the Trust's criteria for compensation.Please provide additional documentation regarding the on-board time the injured party spent on each ship for which you have alleged exposure to asbestos. Please provide the number of years the injured party was employed, as well as the specific number of days the injured party was aboard each particular ship each year.Both
771TNCompany Exposure Insufficient (Maritime)The claim does not provide a sufficient number of days on board ships to satisfy the Trust's criteria for compensation.Please provide additional documentation regarding the on-board time the injured party spent on each ship for which you have alleged exposure to asbestos. Please provide the number of years the injured party was employed, as well as the specific number of days the injured party was aboard each particular ship each year.Both
773FERIntermittent or On and Off ExposureYou have indicated exposure that was either "intermittent" or "on and off." The Trust does not accept exposure time that is not specific to that site or product. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site claimed, or an explanation as to why more specific dates cannot be provided. Both
773FLXIntermittent or On and Off ExposureYou have indicated exposure that was either "intermittent" or "on and off." The Trust does not accept exposure time that is not specific to that site or product. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site claimed, or an explanation as to why more specific dates cannot be provided. Both
773FMPIntermittent or On and Off ExposureYou have indicated exposure that was either "intermittent" or "on and off." The Trust does not accept exposure time that is not specific to that site or product. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site claimed, or an explanation as to why more specific dates cannot be provided. Both
773TNIntermittent or On and Off ExposureYou have indicated exposure that was either "intermittent" or "on and off." The Trust does not accept exposure time that is not specific to that site or product. Please provide the dates on which exposure began and ended for each employer, occupation, and/or work site claimed, or an explanation as to why more specific dates cannot be provided. Both
777FERAffidavit Signed by POA/ Need POAAn affidavit has been submitted for proof of exposure to Company products which has been signed by a Power of Attorney. The provided affidavit is unacceptable because no documentation has been submitted confirming the appointment of the Power of Attorney.Please provide documentation confirming the appointment of the Power of Attorney for the affiant.Both
777FLXAffidavit Signed by POA/ Need POAAn affidavit has been submitted for proof of exposure to Company products which has been signed by a Power of Attorney. The provided affidavit is unacceptable because no documentation has been submitted confirming the appointment of the Power of Attorney.Please provide documentation confirming the appointment of the Power of Attorney for the affiant.Both
777FMPAffidavit Signed by POA/ Need POAAn affidavit has been submitted for proof of exposure to Company products which has been signed by a Power of Attorney. The provided affidavit is unacceptable because no documentation has been submitted confirming the appointment of the Power of Attorney.Please provide documentation confirming the appointment of the Power of Attorney for the affiant.Both
777TNAffidavit Signed by POA/ Need POAAn affidavit has been submitted for proof of exposure to Company products which has been signed by a Power of Attorney. The provided affidavit is unacceptable because no documentation has been submitted confirming the appointment of the Power of Attorney.Please provide documentation confirming the appointment of the Power of Attorney for the affiant.Both
778FERProduct Dates Outside Recognized Manufacture DatesThe product claimed is a known product; however, the period of claimed exposure does not coincide with the date the product was known to have been in use.Please provide more complete exposure information that identifies acceptable company asbestos-containing products during acceptable time frames.Both
778FLXProduct Dates Outside Recognized Manufacture DatesThe product claimed is a known product; however, the period of claimed exposure does not coincide with the date the product was known to have been in use.Please provide more complete exposure information that identifies acceptable company asbestos-containing products during acceptable time frames.Both
778FMPProduct Dates Outside Recognized Manufacture DatesThe product claimed is a known product; however, the period of claimed exposure does not coincide with the date the product was known to have been in use.Please provide more complete exposure information that identifies acceptable company asbestos-containing products during acceptable time frames.Both
778TNProduct Dates Outside Recognized Manufacture DatesThe product claimed is a known product; however, the period of claimed exposure does not coincide with the date the product was known to have been in use.Please provide more complete exposure information that identifies acceptable company asbestos-containing products during acceptable time frames.Both
781FERImproper Jurisdiction SelectedThe jurisdiciton elected in 5.2 on the Claim Form does not meet the Trust's Jurisdiction criteria.Please review section 5.3(b)(2) of the Trust Distribution Procedures to determine the Claimant's Jurisdiction you must or may elect and amend or supplement your claim as necessary. Section 5.3(b)(2) requires a claimant who filed a lawsuit against this Entity in the tort system before this Entity's Petition Date, to elect the state in which the lawsuit was filed as the Claimant's Jurisdiction. If you intent to rely on litigation information to cure this deficiency, you must provide the Trust with a date-stampled copy of your complaint or petition showing that the Entity was sued. Merely updating your claim form with litigation information is not sufficient to cure this deficiency. If no lawsuit was filed or this Entity was not named in the lawsuit, then the jurisdiciton chosen must be one of the following: 1) the state in which the injured party was exposed to Company asbestos products, 2) the state in which the injured party lived when he was diagnosed with the disease alleged, or 3) the state in which the injured party resided when the claim was filed with the Trust. Please provide documentation which supports the jurisdiction if you are using either the 2nd or 3rd criteria above. Examples of acceptable documentation to support the jurisdiction election would be discovery responses, affidavits or medical bills that show the address of the injured party.Both
781FLXImproper Jurisdiction SelectedThe jurisdiciton elected in 5.2 on the Claim Form does not meet the Trust's Jurisdiction criteria.Please review section 5.3(b)(2) of the Trust Distribution Procedures to determine the Claimant's Jurisdiction you must or may elect and amend or supplement your claim as necessary. Section 5.3(b)(2) requires a claimant who filed a lawsuit against this Entity in the tort system before this Entity's Petition Date, to elect the state in which the lawsuit was filed as the Claimant's Jurisdiction. If you intent to rely on litigation information to cure this deficiency, you must provide the Trust with a date-stampled copy of your complaint or petition showing that the Entity was sued. Merely updating your claim form with litigation information is not sufficient to cure this deficiency. If no lawsuit was filed or this Entity was not named in the lawsuit, then the jurisdiciton chosen must be one of the following: 1) the state in which the injured party was exposed to Company asbestos products, 2) the state in which the injured party lived when he was diagnosed with the disease alleged, or 3) the state in which the injured party resided when the claim was filed with the Trust. Please provide documentation which supports the jurisdiction if you are using either the 2nd or 3rd criteria above. Examples of acceptable documentation to support the jurisdiction election would be discovery responses, affidavits or medical bills that show the address of the injured party.Both
781FMPImproper Jurisdiction SelectedThe jurisdiciton elected in 5.2 on the Claim Form does not meet the Trust's Jurisdiction criteria.Please review section 5.3(b)(2) of the Trust Distribution Procedures to determine the Claimant's Jurisdiction you must or may elect and amend or supplement your claim as necessary. Section 5.3(b)(2) requires a claimant who filed a lawsuit against this Entity in the tort system before this Entity's Petition Date, to elect the state in which the lawsuit was filed as the Claimant's Jurisdiction. If you intent to rely on litigation information to cure this deficiency, you must provide the Trust with a date-stampled copy of your complaint or petition showing that the Entity was sued. Merely updating your claim form with litigation information is not sufficient to cure this deficiency. If no lawsuit was filed or this Entity was not named in the lawsuit, then the jurisdiciton chosen must be one of the following: 1) the state in which the injured party was exposed to Company asbestos products, 2) the state in which the injured party lived when he was diagnosed with the disease alleged, or 3) the state in which the injured party resided when the claim was filed with the Trust. Please provide documentation which supports the jurisdiction if you are using either the 2nd or 3rd criteria above. Examples of acceptable documentation to support the jurisdiction election would be discovery responses, affidavits or medical bills that show the address of the injured party.Both
781TNImproper Jurisdiction SelectedThe jurisdiciton elected in 5.2 on the Claim Form does not meet the Trust's Jurisdiction criteria.Please review section 5.3(b)(2) of the Trust Distribution Procedures to determine the Claimant's Jurisdiction you must or may elect and amend or supplement your claim as necessary. Section 5.3(b)(2) requires a claimant who filed a lawsuit against this Entity in the tort system before this Entity's Petition Date, to elect the state in which the lawsuit was filed as the Claimant's Jurisdiction. If you intent to rely on litigation information to cure this deficiency, you must provide the Trust with a date-stampled copy of your complaint or petition showing that the Entity was sued. Merely updating your claim form with litigation information is not sufficient to cure this deficiency. If no lawsuit was filed or this Entity was not named in the lawsuit, then the jurisdiciton chosen must be one of the following: 1) the state in which the injured party was exposed to Company asbestos products, 2) the state in which the injured party lived when he was diagnosed with the disease alleged, or 3) the state in which the injured party resided when the claim was filed with the Trust. Please provide documentation which supports the jurisdiction if you are using either the 2nd or 3rd criteria above. Examples of acceptable documentation to support the jurisdiction election would be discovery responses, affidavits or medical bills that show the address of the injured party.Both
782FERFailure to Provide Description of Exposure to Company ProductsNo description was provided regarding how the claimant was exposed to asbestos-containing company products.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
782FLXFailure to Provide Description of Exposure to Company ProductsNo description was provided regarding how the claimant was exposed to asbestos-containing company products.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
782FMPFailure to Provide Description of Exposure to Company ProductsNo description was provided regarding how the claimant was exposed to asbestos-containing company products.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
782TNFailure to Provide Description of Exposure to Company ProductsNo description was provided regarding how the claimant was exposed to asbestos-containing company products.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
784FERAffidavit for Company Exposure is not acceptable.An affidavit from a family member of the deceased claimant has been provided to place a company product at the site on the claim form, or the affiant does not indicate first-hand knowledge as to the products in use at the site. The Trust requires that the affiant who places a company product at the site on the claim form have first-hand knowledge as to the products used there. Therefore, the Trust will not accept an affidavit from a family member or an individual who does not have first-hand knowledge of products to which he is attesting.Please provide credible evidence of company exposure from a person with first-hand knowledge. This may be an affidavit from a co-worker, discovery responses, deposition testimony, invoices of sale, construction or similar records.Both
784FLXAffidavit for Company Exposure is not acceptable.An affidavit from a family member of the deceased claimant has been provided to place a company product at the site on the claim form, or the affiant does not indicate first-hand knowledge as to the products in use at the site. The Trust requires that the affiant who places a company product at the site on the claim form have first-hand knowledge as to the products used there. Therefore, the Trust will not accept an affidavit from a family member or an individual who does not have first-hand knowledge of products to which he is attesting.Please provide credible evidence of company exposure from a person with first-hand knowledge. This may be an affidavit from a co-worker, discovery responses, deposition testimony, invoices of sale, construction or similar records.Both
784FMPAffidavit for Company Exposure is not acceptable.An affidavit from a family member of the deceased claimant has been provided to place a company product at the site on the claim form, or the affiant does not indicate first-hand knowledge as to the products in use at the site. The Trust requires that the affiant who places a company product at the site on the claim form have first-hand knowledge as to the products used there. Therefore, the Trust will not accept an affidavit from a family member or an individual who does not have first-hand knowledge of products to which he is attesting.Please provide credible evidence of company exposure from a person with first-hand knowledge. This may be an affidavit from a co-worker, discovery responses, deposition testimony, invoices of sale, construction or similar records.Both
784TNAffidavit for Company Exposure is not acceptable.An affidavit from a family member of the deceased claimant has been provided to place a company product at the site on the claim form, or the affiant does not indicate first-hand knowledge as to the products in use at the site. The Trust requires that the affiant who places a company product at the site on the claim form have first-hand knowledge as to the products used there. Therefore, the Trust will not accept an affidavit from a family member or an individual who does not have first-hand knowledge of products to which he is attesting.Please provide credible evidence of company exposure from a person with first-hand knowledge. This may be an affidavit from a co-worker, discovery responses, deposition testimony, invoices of sale, construction or similar records.Both
785FERThe Site(s) of Exposure Listed on Claim Form/Does not Match the Site Code selected.The known or documented site selected does not match the exposure site on the claim form.Please amend the exposure page of the claim form to rectify the conflict between the known site code and the site indicated on the claim form.Both
785FLXThe Site(s) of Exposure Listed on Claim Form/Does not Match the Site Code selected.The known or documented site selected does not match the exposure site on the claim form.Please amend the exposure page of the claim form to rectify the conflict between the known site code and the site indicated on the claim form.Both
785FMPThe Site(s) of Exposure Listed on Claim Form/Does not Match the Site Code selected.The known or documented site selected does not match the exposure site on the claim form.Please amend the exposure page of the claim form to rectify the conflict between the known site code and the site indicated on the claim form.Both
785TNThe Site(s) of Exposure Listed on Claim Form/Does not Match the Site Code selected.The known or documented site selected does not match the exposure site on the claim form.Please amend the exposure page of the claim form to rectify the conflict between the known site code and the site indicated on the claim form.Both
789FERAffidavit not Notarized or Does not Otherwise Meet the State RequirementsThe deficiency has been assigned because the affidavit provided has not been properly notarized accordingly to the notary requirements for the state in which it was executed.Please provide a new affidavit which meets the notary requirements for the state in which it was executed.Both
789FLXAffidavit not Notarized or Does not Otherwise Meet the State RequirementsThe deficiency has been assigned because the affidavit provided has not been properly notarized accordingly to the notary requirements for the state in which it was executed.Please provide a new affidavit which meets the notary requirements for the state in which it was executed.Both
789FMPAffidavit not Notarized or Does not Otherwise Meet the State RequirementsThe deficiency has been assigned because the affidavit provided has not been properly notarized accordingly to the notary requirements for the state in which it was executed.Please provide a new affidavit which meets the notary requirements for the state in which it was executed.Both
789TNAffidavit not Notarized or Does not Otherwise Meet the State RequirementsThe deficiency has been assigned because the affidavit provided has not been properly notarized accordingly to the notary requirements for the state in which it was executed.Please provide a new affidavit which meets the notary requirements for the state in which it was executed.Both
790FERInsufficient Description of Exposure to Company ProductThe description provided as to how the injured party was exposed to Company products is not sufficient.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
790FLXInsufficient Description of Exposure to Company ProductThe description provided as to how the injured party was exposed to Company products is not sufficient.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
790FMPInsufficient Description of Exposure to Company ProductThe description provided as to how the injured party was exposed to Company products is not sufficient.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
790TNInsufficient Description of Exposure to Company ProductThe description provided as to how the injured party was exposed to Company products is not sufficient.Please provide a description regarding how the claimant was specifically exposed to the Company product at the known or documented site on the claim form. The specific job duties performed should be provided. It is not sufficient to indicate proximity to the product or to those using the product. Specific details should be provided.Both
793FERMedical Report Language is UnacceptableThe provided medical report contains language in the diagnosis which includes the terms 'consistent with' or 'compatible with.' A diagnosis with this language, standing alone, is not acceptable as a diagnosis after the effective date for the Trust. Please submit a medical report with a definitive diagnosis from a qualified physician.Both
793FLXMedical Report Language is UnacceptableThe provided medical report contains language in the diagnosis which includes the terms 'consistent with' or 'compatible with.' A diagnosis with this language, standing alone, is not acceptable as a diagnosis after the effective date for the Trust. Please submit a medical report with a definitive diagnosis from a qualified physician.Both
793FMPMedical Report Language is UnacceptableThe provided medical report contains language in the diagnosis which includes the terms 'consistent with' or 'compatible with.' A diagnosis with this language, standing alone, is not acceptable as a diagnosis after the effective date for the Trust. Please submit a medical report with a definitive diagnosis from a qualified physician.Both
793TNMedical Report Language is UnacceptableThe provided medical report contains language in the diagnosis which includes the terms 'consistent with' or 'compatible with.' A diagnosis with this language, standing alone, is not acceptable as a diagnosis after the effective date for the Trust. Please submit a medical report with a definitive diagnosis from a qualified physician.Both
795FERChest X-Ray Report Disputes or Conflicts with Earlier ReportsThe most recent chest x-ray, CT scan, or B-reader report contains findings which dispute an earlier report and does not provide an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a more recent chest x-ray, CT scan or B-read report which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician . Both
795FLXChest X-Ray Report Disputes or Conflicts with Earlier ReportsThe most recent chest x-ray, CT scan, or B-reader report contains findings which dispute an earlier report and does not provide an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a more recent chest x-ray, CT scan or B-read report which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician . Both
795FMPChest X-Ray Report Disputes or Conflicts with Earlier ReportsThe most recent chest x-ray, CT scan, or B-reader report contains findings which dispute an earlier report and does not provide an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a more recent chest x-ray, CT scan or B-read report which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician . Both
795TNChest X-Ray Report Disputes or Conflicts with Earlier ReportsThe most recent chest x-ray, CT scan, or B-reader report contains findings which dispute an earlier report and does not provide an acceptable diagnosis for a bilateral asbestos-related non-malignant disease.Please submit a more recent chest x-ray, CT scan or B-read report which documents a Bilateral Asbestos-Related Non-malignant Disease. The chest x-ray or CT scan must be read by a Qualified Physician . Both
796FERFailure to Specify Length of Company Exposure Prior to 12/31/1982.The legal verified document provided for proof of exposure to Company products does not specifically state the injured party had at least 6 months of exposure at the site where the product was in use prior to December 31, 1982. Simply indicating the injured party worked at the site for longer than the required 6 month period is not sufficient. Please provide an affidavit which specifically states the injured party had at least 6 months of exposure to the Company asbestos-containing product prior to 12/31/1982.Both
796FLXFailure to Specify Length of Company Exposure Prior to 12/31/1982.The legal verified document provided for proof of exposure to Company products does not specifically state the injured party had at least 6 months of exposure at the site where the product was in use prior to December 31, 1982. Simply indicating the injured party worked at the site for longer than the required 6 month period is not sufficient. Please provide an affidavit which specifically states the injured party had at least 6 months of exposure to the Company asbestos-containing product prior to 12/31/1982.Both
796FMPFailure to Specify Length of Company Exposure Prior to 12/31/1982.The legal verified document provided for proof of exposure to Company products does not specifically state the injured party had at least 6 months of exposure at the site where the product was in use prior to December 31, 1982. Simply indicating the injured party worked at the site for longer than the required 6 month period is not sufficient. Please provide an affidavit which specifically states the injured party had at least 6 months of exposure to the Company asbestos-containing product prior to 12/31/1982.Both
796TNFailure to Specify Length of Company Exposure Prior to 12/31/1982.The legal verified document provided for proof of exposure to Company products does not specifically state the injured party had at least 6 months of exposure at the site where the product was in use prior to December 31, 1982. Simply indicating the injured party worked at the site for longer than the required 6 month period is not sufficient. Please provide an affidavit which specifically states the injured party had at least 6 months of exposure to the Company asbestos-containing product prior to 12/31/1982.Both
798FERIndustry and/or Occupation does not match Site/Plant name submitted on the Claim Form.The industry and/or occupation provided does not correlate with the site/plant name on the claim form.Please provide documentation supporting the industry/occupation selected, or amend the claim form to indicate the proper industry/occupation.Both
798FLXIndustry and/or Occupation does not match Site/Plant name submitted on the Claim Form.The industry and/or occupation provided does not correlate with the site/plant name on the claim form.Please provide documentation supporting the industry/occupation selected, or amend the claim form to indicate the proper industry/occupation.Both
798FMPIndustry and/or Occupation does not match Site/Plant name submitted on the Claim Form.The industry and/or occupation provided does not correlate with the site/plant name on the claim form.Please provide documentation supporting the industry/occupation selected, or amend the claim form to indicate the proper industry/occupation.Both
798TNIndustry and/or Occupation does not match Site/Plant name submitted on the Claim Form.The industry and/or occupation provided does not correlate with the site/plant name on the claim form.Please provide documentation supporting the industry/occupation selected, or amend the claim form to indicate the proper industry/occupation.Both
799FERInjured Party's Exposure Begins as an AdolescentThe dates of exposure for the injured party indicate that he/she was employed in the stated industry/occupation as an adolescent.Please provide a legal verified document indicating the circumstances which led to the injured party's exposure at the age indicated, including the site at which the Injured Party worked, the Injured Party's occupation and why the Injured Party was present at such a young age.Both
799FLXInjured Party's Exposure Begins as an AdolescentThe dates of exposure for the injured party indicate that he/she was employed in the stated industry/occupation as an adolescent.Please provide a legal verified document indicating the circumstances which led to the injured party's exposure at the age indicated, including the site at which the Injured Party worked, the Injured Party's occupation and why the Injured Party was present at such a young age.Both
799FMPInjured Party's Exposure Begins as an AdolescentThe dates of exposure for the injured party indicate that he/she was employed in the stated industry/occupation as an adolescent.Please provide a legal verified document indicating the circumstances which led to the injured party's exposure at the age indicated, including the site at which the Injured Party worked, the Injured Party's occupation and why the Injured Party was present at such a young age.Both
799TNInjured Party's Exposure Begins as an AdolescentThe dates of exposure for the injured party indicate that he/she was employed in the stated industry/occupation as an adolescent.Please provide a legal verified document indicating the circumstances which led to the injured party's exposure at the age indicated, including the site at which the Injured Party worked, the Injured Party's occupation and why the Injured Party was present at such a young age.Both
1201Incomplete Exposure InformationThe Exposure information that you provided in the claim form is either incomplete.
Please provide complete exposure information for the claim.Both
1203Litigation Date is Prior to Alleged ExposureThe litigation date entered for the claim is prior to any alleged exposure on the Claim Form.Please update the claim form to reflect the proper litigation date (Part 5 of the Claim Form) or the proper exposure information (Part 3 of the Claim Form).Both
1206Inconsistent Injured Party AffidavitsYou have submitted more than one Injured Party affidavit in the claim. The affidavits submitted are inconsistent with each other related to the Injured Party's job sites, years of employment and/or occupation. Please provide a legal verified document which provides clarification regarding the inconsistencies between the previously submitted affidavits.Both
1220Documentation to Support ATS StandardsBased on the medical documentation provided, the Trust requires additional verification from the Facility and diagnosing doctor to confirm that ATS standards were met.Please provide documentation from the PFT facility and the physician performing the physical examination, that indicate all practices and procedures met ATS standards.ER
1221Edited Lines of ExposureSince the last review of the claim, exposure information was revised, added or deleted.1. Legal Verified Document from IP that supports the exposure changes. 2. Affidavit or letter from attorney that all exposure information in the claim as currently provided is accurate.Both
1224Deposition Provided is not Highlighted or Relevant Pages IdentifiedThe deposition testimony submitted in support of the claim is not highlighted or does not indicate the relevant pages or specific issue for which the deposition testimony has been provided.Please highlight the relevant pages of the deposition or provide specific page numbers for the evidence that is relevant to the issue for which it is submitted.Both
1225FERReport RejectedThe chest x-ray, CT scan, or B-read submitted with the claim was evaluated by a physician whose x-ray, CT scan and/or B-reader reports are no longer accepted by the Trust.Please submit a chest x-ray, CT scan, or B-read report for the alleged injury from an acceptable physician. The report must provide evidence of the alleged injury and demonstrate bilateral findings.Both
1225FLXReport RejectedThe chest x-ray, CT scan, or B-read submitted with the claim was evaluated by a physician whose x-ray, CT scan and/or B-reader reports are no longer accepted by the Trust.Please submit a chest x-ray, CT scan, or B-read report for the alleged injury from an acceptable physician. The report must provide evidence of the alleged injury and demonstrate bilateral findings.Both
1225FMPReport RejectedThe chest x-ray, CT scan, or B-read submitted with the claim was evaluated by a physician whose x-ray, CT scan and/or B-reader reports are no longer accepted by the Trust.Please submit a chest x-ray, CT scan, or B-read report for the alleged injury from an acceptable physician. The report must provide evidence of the alleged injry and demonstrate bilateral findings.Both
1225TNReport RejectedThe chest x-ray, CT scan, or B-read submitted with the claim was evaluated by a physician whose x-ray, CT scan and/or B-reader reports are no longer accepted by the Trust.Please submit a chest x-ray, CT scan, or B-read report the alleged injury from an acceptable physician. The report must provide evidence of the alleged injury and demonstrate bilateral findings.Both
1226PFT Report RejectedThe Pulmonary Function Test submitted with the claim was evaluated by a PFT facility that is no longer accepted by the Trust.Please submit a Pulmonary Function Test for the alleged injury from an acceptable PFT facility that meets the criteria set for in the Trust Distribution Procedures.Both
1227Medical Provider Trust Research -B-ReaderThe Trust must have reasonable confidence that medical evidence provided in support of a claim is credible and consistent with recognized medical standards. The B-read submitted with this claim was evaluated by a physician whose medical evidence is currently being audited by the Trust; the Trust cannot pay claims based on B-reads submitted by this physician unless and until it determines that B-reads from this physician are credible, reliable and consistent with recognized medical standards.You may submit a new B-read report for the alleged injury from an acceptable physician (that includes evidence of the alleged injury and demonstrates bilateral findings). Alternately, you may wait until the Trust concludes its audit of the physician’s evidence; if the audit determines the physician’s evidence is credible and consistent with recognized medical standards, the claim processing will move forward, but if the audit results in a determination that the physician’s medical evidence may lack credibility or fail to meet recognized medical standards, then the claim will remain deficient unless and until you obtain a new B-read report for the alleged injury from an acceptable physician (that includes evidence of the alleged injury and demonstrates bilateral findings).Both
1228Secondary Exposure - Medical Report Insufficient for Alleged ExposureThe physical examination report does not reference the claimant's alleged exposure to an Occupationally Exposed Person.Please provide a physical exam report which provides a link between the diagnosis of the injury alleged on the claim form and the injured party's secondary asbestos exposure. This report must be dated and signed by a qualified physician who examined the injured party and has documented the diagnosis. An amendment from the physician who completed the current physical exam may also cure the deficiency.Both
1229Secondary Exposure - Causation Statement Insufficient for Alleged ExposureThe causation statement does not reference the claimant's alleged exposure to an Occupationally Exposed Person.Please provide a causation report which links the injured party's secondary asbestos exposure to the disease alleged on the claim form. An amendment from the physician who completed the current report may also cure the deficiency.Both
7204FERIndustry Not ProvidedAt one or more of the jobsites identified, you have not provided the industry where the Injured Party's exposure to asbestos occurred. For each line of exposure provided, please indicate the industry which most accurately describes the nature of the industry in which the Injured Party worked. If you select 'Other', please specify the type of industry. Both
7204FLXIndustry Not ProvidedAt one or more of the jobsites identified, you have not provided the industry where the Injured Party's exposure to asbestos occurred. For each line of exposure provided, please indicate the industry which most accurately describes the nature of the industry in which the Injured Party worked. If you select 'Other', please specify the type of industry. Both
7204FMPIndustry Not ProvidedAt one or more of the jobsites identified, you have not provided the industry where the Injured Party's exposure to asbestos occurred. For each line of exposure provided, please indicate the industry which most accurately describes the nature of the industry in which the Injured Party worked. If you select 'Other', please specify the type of industry. Both
7204TNIndustry Not ProvidedAt one or more of the jobsites identified, you have not provided the industry where the Injured Party's exposure to asbestos occurred. For each line of exposure provided, please indicate the industry which most accurately describes the nature of the industry in which the Injured Party worked. If you select 'Other', please specify the type of industry. Both
7205FEROccupation of Injured Party not ProvidedAt one or more of the jobsites identified, you have not provided an occupation for the Injured Party. Please indicate the occupation which most accurately describes the nature of the Injured Party's work.Both
7205FLXOccupation of Injured Party not ProvidedAt one or more of the jobsites identified, you have not provided an occupation for the Injured Party. Please indicate the occupation which most accurately describes the nature of the Injured Party's work.Both
7205FMPOccupation of Injured Party not ProvidedAt one or more of the jobsites identified, you have not provided an occupation for the Injured Party. Please indicate the occupation which most accurately describes the nature of the Injured Party's work.Both
7205TNOccupation of Injured Party not ProvidedAt one or more of the jobsites identified, you have not provided an occupation for the Injured Party. Please indicate the occupation which most accurately describes the nature of the Injured Party's work.Both
7208FERInsufficient documentation for elected jurisdictionYou have failed to indicate the jurisdiction in which you would have elected to file a lawsuit or the jurisdiction that you have selected is improper based on the information on the Claim Form.In order to cure this deficiency, please complete Part 5 of the Claim Form. If the answer to Question 1(a) is 'no', then you must answer Question 5.2. If you have answered Question 5.2, please be sure it meets one of the following TDP criteria: (1) the state in which the Injured Party was exposed to Company products; (2) the state in which the Injured Party lived when diagnosed with the disease alleged; or (3) the state in which the Injured Party lived when the claim was filed with the Trust. If you are using (2) or (3) above, you must provide documentation to support that election. Both
7208FLXInsufficient documentation for elected jurisdictionYou have failed to indicate the jurisdiction in which you would have elected to file a lawsuit or the jurisdiction that you have selected is improper based on the information on the Claim Form.In order to cure this deficiency, please complete Part 5 of the Claim Form. If the answer to Question 1(a) is 'no', then you must answer Question 5.2. If you have answered Question 5.2, please be sure it meets one of the following TDP criteria: (1) the state in which the Injured Party was exposed to Company products; (2) the state in which the Injured Party lived when diagnosed with the disease alleged; or (3) the state in which the Injured Party lived when the claim was filed with the Trust. If you are using (2) or (3) above, you must provide documentation to support that election. Both
7208FMPInsufficient documentation for elected jurisdictionYou have failed to indicate the jurisdiction in which you would have elected to file a lawsuit or the jurisdiction that you have selected is improper based on the information on the Claim Form.In order to cure this deficiency, please complete Part 5 of the Claim Form. If the answer to Question 1(a) is 'no', then you must answer Question 5.2. If you have answered Question 5.2, please be sure it meets one of the following TDP criteria: (1) the state in which the Injured Party was exposed to Company products; (2) the state in which the Injured Party lived when diagnosed with the disease alleged; or (3) the state in which the Injured Party lived when the claim was filed with the Trust. If you are using (2) or (3) above, you must provide documentation to support that election. Both
7208TNInsufficient documentation for elected jurisdictionYou have failed to indicate the jurisdiction in which you would have elected to file a lawsuit or the jurisdiction that you have selected is improper based on the information on the Claim Form.In order to cure this deficiency, please complete Part 5 of the Claim Form. If the answer to Question 1(a) is 'no', then you must answer Question 5.2. If you have answered Question 5.2, please be sure it meets one of the following TDP criteria: (1) the state in which the Injured Party was exposed to Company products; (2) the state in which the Injured Party lived when diagnosed with the disease alleged; or (3) the state in which the Injured Party lived when the claim was filed with the Trust. If you are using (2) or (3) above, you must provide documentation to support that election. Both
7214FERRevisions to Verified DocumentsRevisions to one or more legal verified documents in the claim have been made. The Trust will not accept revisions or alterations to legal verified documents. Please provide a legal verified document which does not contain any revisions. Both
7214FLXRevisions to Verified DocumentsRevisions to one or more legal verified documents in the claim have been made. The Trust will not accept revisions or alterations to legal verified documents. Please provide a legal verified document which does not contain any revisions. Both
7214FMPRevisions to Verified DocumentsRevisions to one or more legal verified documents in the claim have been made. The Trust will not accept revisions or alterations to legal verified documents. Please provide a legal verified document which does not contain any revisions. Both
7214TNRevisions to Verified DocumentsRevisions to one or more legal verified documents in the claim have been made. The Trust will not accept revisions or alterations to legal verified documents. Please provide a legal verified document which does not contain any revisions. Both
7217FERShip/Shipyard Exposure Conflict
The claim form alleges exposure at a known or documented shipyard, however additional information provided indicates the Injured Party was aboard an undocumented ship during the alleged exposure time frame. The Trust must have credible evidence to confirm the location of and manner in which exposure to Trust products or operations occurred. Please provide evidence of 1) the manner in which the claimant was exposed to asbestos at the known or documented site during the alleged time frame or; 2) Trust exposure on the undocumented ship.
Please provide a legal verified document which: 1) provides the manner in which the claimant was exposed to asbestos at the Documented Site during the alleged time frame or; 2) Company exposure on the undocumented ship.
Both
7217FLXShip/Shipyard Exposure Conflict
The claim form alleges exposure at a known or documented shipyard, however additional information provided indicates the Injured Party was aboard an undocumented ship during the alleged exposure time frame. The Trust must have credible evidence to confirm the location of and manner in which exposure to Trust products or operations occurred. Please provide evidence of 1) the manner in which the claimant was exposed to asbestos at the known or documented site during the alleged time frame or; 2) Trust exposure on the undocumented ship.
Please provide a legal verified document which: 1) provides the manner in which the claimant was exposed to asbestos at the Documented Site during the alleged time frame or; 2) Company exposure on the undocumented ship.
Both
7217FMPShip/Shipyard Exposure Conflict
The claim form alleges exposure at a known or documented shipyard, however additional information provided indicates the Injured Party was aboard an undocumented ship during the alleged exposure time frame. The Trust must have credible evidence to confirm the location of and manner in which exposure to Trust products or operations occurred. Please provide evidence of 1) the manner in which the claimant was exposed to asbestos at the known or documented site during the alleged time frame or; 2) Trust exposure on the undocumented ship.
Please provide a legal verified document which: 1) provides the manner in which the claimant was exposed to asbestos at the Documented Site during the alleged time frame or; 2) Company exposure on the undocumented ship.
Both
7217TNShip/Shipyard Exposure Conflict
The claim form alleges exposure at a known or documented shipyard, however additional information provided indicates the Injured Party was aboard an undocumented ship during the alleged exposure time frame. The Trust must have credible evidence to confirm the location of and manner in which exposure to Trust products or operations occurred. Please provide evidence of 1) the manner in which the claimant was exposed to asbestos at the known or documented site during the alleged time frame or; 2) Trust exposure on the undocumented ship.
Please provide a legal verified document which: 1) provides the manner in which the claimant was exposed to asbestos at the Documented Site during the alleged time frame or; 2) Company exposure on the undocumented ship.
Both
7224FERDeposition Provided is not Highlighted or Relevant Pages IdentifiedThe deposition testimony submitted in support of the claim is not highlighted or does not indicate the relevant pages or specific issue for which the deposition testimony has been provided.Please highlight the relevant pages of the deposition or provide specific page numbers for the evidence that is relevant to the issue for which it is submitted.Both
7224FLXDeposition Provided is not Highlighted or Relevant Pages IdentifiedThe deposition testimony submitted in support of the claim is not highlighted or does not indicate the relevant pages or specific issue for which the deposition testimony has been provided.Please highlight the relevant pages of the deposition or provide specific page numbers for the evidence that is relevant to the issue for which it is submitted.Both
7224FMPDeposition Provided is not Highlighted or Relevant Pages IdentifiedThe deposition testimony submitted in support of the claim is not highlighted or does not indicate the relevant pages or specific issue for which the deposition testimony has been provided.Please highlight the relevant pages of the deposition or provide specific page numbers for the evidence that is relevant to the issue for which it is submitted.Both
7224TNDeposition Provided is not Highlighted or Relevant Pages IdentifiedThe deposition testimony submitted in support of the claim is not highlighted or does not indicate the relevant pages or specific issue for which the deposition testimony has been provided.Please highlight the relevant pages of the deposition or provide specific page numbers for the evidence that is relevant to the issue for which it is submitted.Both
7228TNEnvironmental Exposure Alleged.
The Injured Party has alleged environmental exposure. Environmental exposure does not satisfy the Trust's criteria for compensation.
Please provide additional exposure sites to meet the Trust requirements for exposure. Please provide supporting documentation for any exposure updates that are made.
Both
7228FEREnvironmental Exposure Alleged.
The Injured Party has alleged environmental exposure. Environmental exposure does not satisfy the Trust's criteria for compensation.
Please provide additional exposure sites to meet the Trust requirements for exposure. Please provide supporting documentation for any exposure updates that are made.
Both
7228FMPEnvironmental Exposure Alleged.
The Injured Party has alleged environmental exposure. Environmental exposure does not satisfy the Trust's criteria for compensation.
Please provide additional exposure sites to meet the Trust requirements for exposure. Please provide supporting documentation for any exposure updates that are made.
Both
7228FLXEnvironmental Exposure Alleged.
The Injured Party has alleged environmental exposure. Environmental exposure does not satisfy the Trust's criteria for compensation.
Please provide additional exposure sites to meet the Trust requirements for exposure. Please provide supporting documentation for any exposure updates that are made.
Both
7229TNClaim Not Completely Reviewed – No Company Exposure ProvidedThe referenced claim has only been reviewed for exposure and has not had a medical review since no Company Exposure has been provided.Please provide Company Exposure documentation and the claim will be fully reviewed.Both
7229FERClaim Not Completely Reviewed – No Company Exposure ProvidedThe referenced claim has only been reviewed for exposure and has not had a medical review since no Company Exposure has been provided.Please provide Company Exposure documentation and the claim will be fully reviewed.Both
7229FMPClaim Not Completely Reviewed – No Company Exposure ProvidedThe referenced claim has only been reviewed for exposure and has not had a medical review since no Company Exposure has been provided.Please provide Company Exposure documentation and the claim will be fully reviewed.Both
7229FLXClaim Not Completely Reviewed – No Company Exposure ProvidedThe referenced claim has only been reviewed for exposure and has not had a medical review since no Company Exposure has been provided.Please provide Company Exposure documentation and the claim will be fully reviewed.Both
7230TNSecondary Exposure - Date of Exposure to Spouse Not SupportedYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure to a spousal OEP began prior to 18 years of age, confirmation of the date of marriage should be provided. If the Injured Party’s exposure to the OEP occurred prior to marriage, additional details must be provided to support the alleged exposure during this time frame.Please provide supporting information for the Injured Party’s initial date of exposure to the Occupationally Exposed Person. This information can be provided in Part 4 of the claim form, in a legal verified document or by uploading the Marriage Certificate.Both
7230FERSecondary Exposure - Date of Exposure to Spouse Not SupportedYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure to a spousal OEP began prior to 18 years of age, confirmation of the date of marriage should be provided. If the Injured Party’s exposure to the OEP occurred prior to marriage, additional details must be provided to support the alleged exposure during this time frame.Please provide supporting information for the Injured Party’s initial date of exposure to the Occupationally Exposed Person. This information can be provided in Part 4 of the claim form, in a legal verified document or by uploading the Marriage Certificate.Both
7230FMPSecondary Exposure - Date of Exposure to Spouse Not SupportedYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure to a spousal OEP began prior to 18 years of age, confirmation of the date of marriage should be provided. If the Injured Party’s exposure to the OEP occurred prior to marriage, additional details must be provided to support the alleged exposure during this time frame.Please provide supporting information for the Injured Party’s initial date of exposure to the Occupationally Exposed Person. This information can be provided in Part 4 of the claim form, in a legal verified document or by uploading the Marriage Certificate.Both
7230FLXSecondary Exposure - Date of Exposure to Spouse Not SupportedYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure to a spousal OEP began prior to 18 years of age, confirmation of the date of marriage should be provided. If the Injured Party’s exposure to the OEP occurred prior to marriage, additional details must be provided to support the alleged exposure during this time frame.Please provide supporting information for the Injured Party’s initial date of exposure to the Occupationally Exposed Person. This information can be provided in Part 4 of the claim form, in a legal verified document or by uploading the Marriage Certificate.Both
7231TNSecondary Exposure - Laundry Duties Begin as AdolescentYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure of laundering, or assisting with laundering of, the OEP’s clothing begins prior to the age of 12, confirmation is required for the age at which these responsibilities began.Please provide more information supporting the age at which the Injured Party’s laundry duties began. This information can be provided in Part 4 of the claim form or in an attached legal verified document.Both
7231FERSecondary Exposure - Laundry Duties Begin as AdolescentYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure of laundering, or assisting with laundering of, the OEP’s clothing begins prior to the age of 12, confirmation is required for the age at which these responsibilities began.Please provide more information supporting the age at which the Injured Party’s laundry duties began. This information can be provided in Part 4 of the claim form or in an attached legal verified documentBoth
7231FMPSecondary Exposure - Laundry Duties Begin as AdolescentYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure of laundering, or assisting with laundering of, the OEP’s clothing begins prior to the age of 12, confirmation is required for the age at which these responsibilities began.Please provide more information supporting the age at which the Injured Party’s laundry duties began. This information can be provided in Part 4 of the claim form or in an attached legal verified document.Both
7231FLXSecondary Exposure - Laundry Duties Begin as AdolescentYour submission regarding the Injured Party's exposure to the Occupationally Exposed Person (OEP) is incomplete. If the Injured Party’s alleged exposure of laundering, or assisting with laundering of, the OEP’s clothing begins prior to the age of 12, confirmation is required for the age at which these responsibilities began.Please provide more information supporting the age at which the Injured Party’s laundry duties began. This information can be provided in Part 4 of the claim form or in an attached legal verified document.Both
R01Certificate of Official CapacityNo Certificate of Official Capacity was provided.Please provide the Certificate of Official Capacity.Both
R02Personal Representative's Name and/or Relationship not provided.Please provide the personal representative's name, social security number and/or relationship to the Injured Party.Please provide the personal representative's name, social security number and/or relationship to the Injured Party.Both
R03New Personal Representative Information NeededThe Claim Form and release do not have the new Personal Representative's information. Please provide the Personal Representative's full name.Please provide the new Personal Representative's name.Both
R04Missing Two Witness SignaturesThe release has not been witnessed by two people.Please resubmit the release with two witness signatures.Both
R05No Death CertificateNo Death Certificate has been provided.Please provide the Death Certificate for the Injured Party.Both
R06No Notary Stamp/EmbossedThe notary stamp/embossment on the release is not legible.Please resend/upload the release that contains the Notary Stamp/Embossment. Please ensure that any embossment is viewable.Both
R07Incomplete Release UploadedThe release received is incomplete.Please resend or upload the completed and signed release. Please make sure the release is properly signed and dated.Both
R08Corrected SSNThe Social Security Number on the release for the claimant does not match the SSN provided on the claim form.The release was returned to the Trust with a Social Security number other than what appears on the Claim Form or the Death Certificate submitted for the claimant. Please verify and provide the correct Social Security number for the claimant.Both
R11POA PaperThe release was signed by someone other than the claimant and there is no information that the claimant is deceased.If the claimant is now deceased, please provide the death certificate and COC documentation. If the claimant is living, please provide Power of Attorney papers appointing the representative to act on behalf of the Injured Party.Both
R14Incorrect Release UploadedThe release that was uploaded or mailed contains information that does not match the Trust's current claim data. This may include the wrong claimant name on the release, the wrong trust release was uploaded or sent, and/or the Liquidated Value reflected on the release is incorrect. Please upload or resend the correct release for this claim.Both
R16Notary not complete or missing informationThere is no commission expiration date, no notary signature or sworn date, or the notary is expired. Please provide a new release containing complete notary information. You may also choose to have two witnesses sign the new release in place of a notary.Both
R17Signature dates do not match on the releaseThe date the release was signed by the claimant and the date the notary signed the release, do not match. Please provide a new release with matching signature dates for the claimant and the notary. You may also choose to have two witnesses sign the new release in place of a notary.Both
R18No claimant signatureThe release is missing the claimant's signature.Please resubmit the release containing the signature of the claimant.Both
R19Missing signature page of releaseThe signature page of the release is missing.Please send/re-upload the complete release including the completed signature page.Both
R20Notary stamp/seal not legibleCannot view stamp/seal on release. Need new release with a viewable notary stamp/seal. The release that was provided contained a notary stamp/seal that could not be viewed for verification. Please provide a new copy or submit a new release with a notary stamp/seal that is legible. You may also choose to have two witnesses sign a new release in place of a notary.Please provide a new copy of the release with a legible notary seal or submit a new release with a notary stamp/seal that is legible. You may also choose to have two witnesses sign a new release in place of a notary.Both
R21New release with new PR information neededThe name of the Personal Representative has not been provided.Please provide the PR information and if necessary, COC documetnation if required in your state. Both
R22Personal representative is deceasedInformation submitted indicates that the original personal representative on the claim form is now deceased.Please provide a copy of the deceased personal representative's death certificate, as well as the new personal representative's full name and a court document assigning him/her as the new legal representative for the injured party's estate. Both
R24Incomplete Release Executed DateThe Trust has received the signed release but the executed date by the claimant, notary or both is either missing or incomplete. The executed date on the release must include the day, month and year. If there is a notary on the release, the executed date for both the claimant and notary must match.Both
R26Electronic Signature History or Certification not completeThe required documentation needed to confirm the Certification and History of the Electronic Signature was not received or is incomplete. The required documentation needed to confirm the Certification and History of the Electronic Signature was not received or is incomplete. Please re-upload the completed Electronic Signature History or Certifications to the Trust.Both
R27Electronic Signature does not match claimant or personal representativeThe Electronic Signature that was submitted does not match the Trust’s current claim data. The Electronic Signature must be completed by the claimant or appointed personal representative.The Electronic Signature that was submitted does not match the Trust’s current claim data. The Electronic Signature must be completed by the claimant or appointed personal representative. Please re-upload the completed Electronic Signature Certification to the Trust.Both
R28 IP Address for Originator and Signer are the sameThe IP address of the Originator and Signer must be sent from two different IP addresses.The IP address of the Originator and Signer must be sent from two different IP addresses. Please re-upload the Electronic Signature Certification that includes two different IP addresses.Both