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  • VENISSA DRIGGERS AS PERSONAL REPRESENTATIVE OF THE ESTATE OF DAVID FLICK DECEASED vs. BARCIA, MARKAuto Negligence document preview
  • VENISSA DRIGGERS AS PERSONAL REPRESENTATIVE OF THE ESTATE OF DAVID FLICK DECEASED vs. BARCIA, MARKAuto Negligence document preview
  • VENISSA DRIGGERS AS PERSONAL REPRESENTATIVE OF THE ESTATE OF DAVID FLICK DECEASED vs. BARCIA, MARKAuto Negligence document preview
  • VENISSA DRIGGERS AS PERSONAL REPRESENTATIVE OF THE ESTATE OF DAVID FLICK DECEASED vs. BARCIA, MARKAuto Negligence document preview
						
                                

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Filing # 155240381 E-Filed 08/12/2022 03:10:12 PM IN THE CIRCUIT COURT FOR THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR CHARLOTTE COUNTY, STATE OF FLORIDA - CIVIL DIVISION VENISSA DRIGGERS, as Personal Representative of the Estate of DAVID B. FLICK, Deceased, Plaintiff, vs. Case No: 21-CA-000410 MARK BARCIA, HOOTERS OF PORT CHARLOTTE, INC., BWR NORTH PORT, LLC d/b/a BUFFALO WINGS AND RINGS, ATLANTA RESTURANT PARTNERS, LLC d/b/a TGI FRIDAYS, and JACKMONT HOSPITALITY, INC. d/b/a TGI FRIDAYS, Defendants. / DEFENDANT MARK BARCIA’S DISCLOSURE OF EXPERT WITNESSES Defendant, MARK BARCIA, by and through the undersigned counsel and pursuant to the Amended Agreed Case Management Plan and Order filed January 20, 2022, hereby files its initial list of expert witnesses that may be offered into evidence at the trial, as follows: 1. Elliot Stern, Ph.D. Florida Forensic Engineering, Inc. 6708 Benjamin Road, Suite 500 Tampa FL 33634 Dr. Stern is a forensic engineer expert. It is anticipated that Dr. Stern will testify based on his knowledge, training and experience in the field of accident reconstruction. Dr. Stern’s testimony will include, but will not be limited to, his findings associated with his reconstruction of the subject accident. A copy of Dr. Stern’s Curriculum Vitae is attached hereto. 2. All experts listed by any other party in the above-captioned matter. 3. Any non-retained expert who prepared a report that was produced in discovery. 00569590.DOCXThis Defendant reserves the right to amend and/or supplement this Disclosure of Expert Witnesses upon proper notice to all parties in this litigation and to the Court, and further preserves any and all objections to any and all expert witnesses listed by any other party. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been sent via email to Randall L. Spivey, Esquire (randall@spiveylaw.com), SPIVEY LAW FIRM, 13400 Parker Commons Boulevard, Fort Myers, Florida 33912; Cristobal A. Casal, Esquire (eserviceftm@conroysimberg.com), CONROY SIMBERG, 12730 New Brittany Blvd., Suite 300, Fort Myers FL 33907; Mitchel Chusid, Esquire mchusid@ritterchusid.com), RITTER CHUSID LLP, 5850 Coral Ridge Drive, Suite 201, Coral Springs FL 33076; and Howard W. Holden, Esquire (LUKSFTM-Pleadings@Is-law.com), LUKS, SANTANIELLO, PETRILLO & COHEN, 1422 Hendry Street, Third Floor, Fort Myers FL 33901, on this |Z day of August 2022. Wile / JR., ESQUIRE af/Number: 358169 ALZMAN JENSEN, P.A. State Bank Building, Second Floor 5 Little Road Trinity, Florida 34655 Phone (727)723-3772 Fax (727)723-1421 Attorney for Defendant Primary Email: service@unicesalzman.com Secondary Emails: — jjensen@unicesalzman.com asiller@unicesalzman.com dcantwell@unicesalzman.com 00569590.DOCX