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  • Lueretta Smith Plaintiff vs. Winn- Dixie Stores, Inc Defendant Neg - Premises Liability Commercial document preview
  • Lueretta Smith Plaintiff vs. Winn- Dixie Stores, Inc Defendant Neg - Premises Liability Commercial document preview
  • Lueretta Smith Plaintiff vs. Winn- Dixie Stores, Inc Defendant Neg - Premises Liability Commercial document preview
  • Lueretta Smith Plaintiff vs. Winn- Dixie Stores, Inc Defendant Neg - Premises Liability Commercial document preview
						
                                

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Filing # 114323840 E-Filed 10/02/2020 10:40:55 AM IN THE CIRCUIT COURT OF THE 177! JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO: CACE 19-021319 Lueretta Smith, individually, Plaintiff, VS. Winn-Dixie Stores, Inc., a Florida corporation, Defendant. / QUALIFIED WAIVER OF OBJECTION AND REQ T FOR COPIES TO BE PROVIDED WITHIN 10 DAYS OF DEFENDANT'S RECEIPT THEREOF The Plaintiff, by and through his/her undersigned counsel, pursuant to Rule 1.351, Florida Rules of Civil Procedure, hereby qualifiedly waives objection to the Notices of Production from Non-Party served by counsel for the Defendant, for the below listed, and requests that said Defendant's counsel provide legible copies of each and every item furnished in response to the subpoena referred to in the Notice of Production from Non-Party within (10) days after said documents and items have been furnished or to notify Plaintiff of the non-party's inability to provide such records. If Defendant refuses to abide by these terms, then Plaintiff hereby OBJECTS to the issuance of the subject subpoena to non-party. Moreover, if the Defendant refuses to abide by these terms, the Plaintiff would hereby object to the use thereof at trial, and would further reserve the right to move or compel, for sanctions, or for an Order in Limine restricting the use thereof, as to the records produced by the following: RECORDS CUSTODIAN: Harold Rosen, M.D. Unimed Health System *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 10/02/2020 10:40:54 AM.****CERTIFICATE OF SERVICE I certify that a copy hereof has been furnished via email to Paul J. Gamm, Esq., at pgamm@hinshawlaw.com and kcardenas@hinshawlaw.com on October 2, 2020. Law Offices of Justin G. Morgan, P.A. Weston Corporate Centre I 2500 Weston Road, Suite 211 Weston, Florida 33331 Tel: (954) 217-1016 Fax: (954) 217-1019 pleadings@justinmorganlaw.com /s/ Susan Guller SUSAN GULLER, ESQ. F.B.N.: 385859