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Filing # 120926201 E-Filed 02/05/2021 03:37:25 PM
IN THE CIRCUIT COURT OF THE
SEVENTEENTH JUDICIAL CIRCUIT IN
AND FOR BROWARD COUNTY,
FLORIDA
BRUCE FOSTER, an individual,
CASE NO. CACE 20 018216
Plaintiff,
vs.
MURPHY PIPELINE CONTRACTORS, LLC,
aay PIPELINE CONTRACTORS, INC,
Defendants,
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NOTICE OF TAKING ZOOM VIDEO DEPOSITION
**Please advise if an Interpreter is required**
PLEASE TAKE NOTICE that the Defendant, MURPHY PIPELINE CONTRACTORS,
LLC, will take the Zoom video deposition(s) of the below named person(s) on the date(s) and at
the hour(s) indicated opposite their names at the office of:
NAME: BRUCE FOSTER
DATE: Thursday, June 3, 2021
TIME: 10:00 a.m.
PLACE: ZOOM Video Conference
Phipps Reporting to provide Zoom Link.
as specified above, upon oral examination before a Court Reporter, or some other officer duly
authorized by law to take depositions. The deposition will continue from day to day until
completed. The deposition is being taken for the purpose of discovery, for use at trial, or both
of the foregoing, or for such other purposes as are permitted under the applicable and
WADSWORTH, MARGREY & DIXON, LLP
261 NE 1* Street, 5 Floor, Miami, FL. 33132 Telephone (305) 777-1000 Facsimile (305) 777-1001
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 02/05/2021 03:37:25 PM.****governing Rules. Pursuant to Florida Rule of Civil Procedure 1.310(b)(4)(C) the officer
administering the oath will upon request (i) identify the style of the action, (ii) state the date,
and (iii) swear the witness. Unless otherwise stated, the officer/stenographer administering
the oath shall operate the video. See State v. Wells, 538 So, 2d 1292, 1295 (Fla. 2d DCA 1989).
The deposition is being taken for the purpose of discovery, for use at trial, or both of the foregoing,
or for such other purposes as are permitted under the applicable and governing rules.
CERTIFICATE OF SERVICE
WE HEREBY CERTIFY that, pursuant to Florida Rule of Judicial Administration 2.516, a
true copy of the foregoing was sent via Electronic Mail at cb@barnardinjurylaw.com to Cameron
Barnard, Esq., Barnard Injury Law, PLLC, 2110 N. 54th Ave, Hollywood, FL, 33021 on February
5, 2021.
WADSWORTH, MARGREY & DIXON, LLP
Attorneys for Defendants
261 NE 1* Street, 5 Floor
Miami, FL 33132
(305) 777-1000 Telephone
(305) 777-1001 Facsimile
fe ale
By:
Christopher W. Wadsworth, Esq.
Florida Bar No.: 78026
E-mail: cw@wmd-law.org
Secondary: pleadings@wmd-law.org
ce: scheduling@phippsreporting.com
WADSWORTH, MARGREY & DIXON, LLP
261 NE 1* Street, 5 Floor, Miami, FL 33132 Telephone (305) 777-1000 Facsimile (305) 777-1001