People v Wade,283 Mich App 462; 771 NW2d 447 (2009)(april'09).Employing the eight point assessment in MCR 2.003(B), and citing to Armstrong v Ypsilanti Charter Twp, 248 Mich App 573, 596; 640 NW2d 321 (2001), the court held that the trial court's derogatory comments regarding security guards did not sufficiently show bias to allow disqualification in this case where a security guard was on trial for murder in relation to a shooting that occurred while he was on duty. Generalized hostility or bias does not demand disqualification.