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  • Amerisure Mutual Insurance Company Plaintiff vs. David Charles Warren Knight Defendant Auto Negligence document preview
  • Amerisure Mutual Insurance Company Plaintiff vs. David Charles Warren Knight Defendant Auto Negligence document preview
  • Amerisure Mutual Insurance Company Plaintiff vs. David Charles Warren Knight Defendant Auto Negligence document preview
  • Amerisure Mutual Insurance Company Plaintiff vs. David Charles Warren Knight Defendant Auto Negligence document preview
						
                                

Preview

Filing # 124507308 E-Filed 04/07/2021 03:43:32 PM IN THE CIRCUIT COURT, IN AND FOR BROWARD COUNTY, FLORIDA CASE NO. CACE-19-021368 AMERISURE INSURANCE COMPANY a/s/o Plumbing Mart of Florida, Inc., Plaintiff, vs. DAVID CHARLES WARREN KNIGHT, Defendant. REQUEST FOR ADMISSIONS COMES NOW the Plaintiff, by and through its undersigned Attorney, and directs this its Request for Admissions to the Defendant, DAVID CHARLES WARREN KNIGHT, and the Defendant is/are requested to admit or deny the following in writing, in accordance with Rule 1.370 of the Florida Rules of Civil Procedure and within the time provided by the Rules (thirty days): 1 Defendant on or about July 25, 2016 was the cause of an automobile accident involving a vehicle insured by the Plaintiff. 2 Defendant was cited as the cause of the accident 3 Defendant, in violation of Florida law, did not have any insurance coverage. 4 Plaintiff has demanded payment from the Defendant. 5 Defendant has refused to pay. 6 Defendant failed to keep a proper look out for the presence of Plaintiff's insured.vehicle. 7 Defendant committed an improper lane change causing the accident. f #** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 04/07/2021 03:43:31 PM.*##* 8 As a result of Defendant causing said accident, the Plaintiff had to pay its insured the amount of $34,575.70. 10. Defendant was the operator of the vehicle. 11. Defendant was the owner of the vehicle which caused the automobile accident involving a. vehicle insured by the Plaintiff. I HEREBY CERTIFY that a true copy of the foregoing has been forwarded by Electronic Mail Delivery to DAVID CHARLES WARRE 7 [; KNIGHT, supercoolkid010@gmail.com; day of April, 2021. WAlliam M. Lindeman Florida Bar #699640 Attorney for Plaintiff William M. Lindeman, PA. P.O. Box 3506 Orlando, FL 32802 (407) 244-3294 (Fax) 244-3186 w.lindeman@wmlpa.com THIS COMMUNICATION IS AN ATTEMPT TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.