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  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
  • ZENA DAWSON  vs.  ERIN BROWN, et alMOTOR VEHICLE ACCIDENT document preview
						
                                

Preview

FILED 11/1 1/2020 9:44 AM FELICIA PITRE TRICT CLERK PageoA S CO., TEXAS Cassandra Walker DEPUTY DENISE BROWN - July 28, 2020 CAUSE NO. DC-20-08041 ZENA DAWSON; § IN THE DISTRICT COURT OF Plaintiff, g VS. g DALLAS COUNTY, TEXAS ERIN BROWN; AND DENISE BROWN; g Defendants. g 68TH JUDICIAL DISTRICT REPORTER'S CERTIFICATION DEPOSITION OF DENISE BROWN JULY 28, 2020 (REPORTED REMOTELY) 10 I, Traci McGaha, Certified Shorthand Reporter 11 in and for the State of Texas, hereby certify to the 12 following: l3 That the witness, DENISE BROWN, was duly sworn 14 by the officer and that the transcript of the oral 15 deposition is a true record of the testimony given by 16 the witness; 17 That the deposition transcript was submitted 18 on August 3, 2020 to the witness or to the 19 attorney for the witness for examination, signature and 2O return to me in 20 days by agreement of the parties; 21 That the amOunt of time used by each party at 22 the deposition is as follows: 23 Mr. Rob Loar - 0 hours, 18 minutes Mr. Kyle Smith — 0 hours, 1 minute 24 25 That pursuant to information given to the PREFERRED LEGAL SERVICES, INC. (214) 750-0047 Page 23 DENISE BROWN - July 28, 2020 deposition officer at the time said testimony was taken, the following includes counsel for all parties of record: Mr. Rob Loar, Counsel for Plaintiff; Mr. Kyle Smith, Counsel for Defendants. I further certify that I am neither counsel for, related to, nor employed by any of the parties or attorneys in the action in which this proceeding was taken, and further that I am not financially or otherwise interested in the outcome of the action. 10 Further certification requirements pursuant to ll Rule 203 of TRCP will be certified to after they have 12 occurred. 13 Certified to by me this 3rd day of 14 August, 2020. 15 l6 ' 17 :7 MC EE¥Lg1 A, t! 18 Expiration date: 01/31/21 Firm No. 157 19 Preferred Legal Services, Inc. Expiration date: 12/31/22 20 P.O. BOX 551387 Dallas, Texas 75355 21 214—750—0047 22 23 24 25 PREFERRED LEGAL SERVICES, INC. (214) 750—0047 Page 24 DENISE BROWN - July 23, 2020 FURTHER CERTIFICATION UNDER RULE 203 TRCP The original deposition was/- returned to the deposition officer on - I If returned, the attached Changes and Signature page contains any changes and the reasons therefor; If returned, the original deposition was delivered to Mr. Rob Loar, Custodial Attorney; That $é2Q&Q_OC) is the deposition officer's charges to the Plaintiff for preparing the original 10 deposition transcript and any copies of exhibits; 11 That the deposition was delivered in 12 accordance with Rule 203.3; and that a copy of this 13 certificate was served on all parties shown herein 14 and filed with the Clerk. 15 Certified to by me this \§*¥l day of 16 NNJUMDM 2020. 17 1 18 1 s Expiration date: 01/31/21 19 Firm No. 157 Preferred Legal Services, Inc. 20 Expiration date: 12/31/22 P.O. Box 551387 21 Dallas, Texas 75355 214—750—0047 22 23 24 25 PREFERRED LEGAL SERVICES. INC. (214) 750—0047