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  • SCOT R MENDELSON VS JOHNNY REYES ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
  • SCOT R MENDELSON VS JOHNNY REYES ET AL Motor Vehicle - Personal Injury/Property Damage/Wrongful Death (General Jurisdiction) document preview
						
                                

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ORIGINAL FREEMAN MATHIS & GARY, LLP RONALD MA WHINNEY / Bar No. 181982 550 South Hope Street, 22nd Floor Los Angeles, California 90071-2627 (213) 615-7000; FAX (213) 615-7100 SpoOunty Flor ILE of of Calitomia Attorneys for Defendants Lies a les JOHNNY REYES, MARIA REYES JAN Sher R 19 ang Cai "aNcisco Gs ios Otearcey SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES 10 il SCOT R. MENDELSON, an individual, ) Case No. BC632977 ) Dept.: 92 12 Plaintiff, v. DEFENDANTS' MOTION IN LIMINE NO. 5 TO EXCLUDE TESTMONY JOHNNY REYES, an individual; MARIA FROM PLAINTIFF'S NON-RETAINED 14 | REYES, an individual and DOES 1-25, inclusive, ) EXPERTS AND TREATING HEALTH ) CARE PROVIDERS THAT ARE pe, 15 Defendants. ) OTHERWISE INADMISSIBLE AND/OR ) OUTSIDE THE SCOPE OF THEIR 16 EXPERTISE; MEMORANDUM OF POINT AND AUTHORTIES; 17 DECLARATION OF RONALD MAWHINNEY 18 Complaint Filed: September 6, 2016 19 Trial Date: March 6, 2018 20||TO: ALL PARTIES HEREIN AND TO THEIR RESPECTIVE COUNSEL OF RECORD: 21 Defendants JOHNNY REYES and MARIA REYES (“Defendants”) hereby move the court 22 for a pre-trial order precluding plaintiff SCOT R. MENDELSON’s (“Plaintiff”) non-retained 23 experts and treating physicians from testifying regarding any evidence or information from medical 24 records containing acts, conditions or events not personally observed or independently acquired cE to 25 and informed by the treating physician's training, skill or experience and the causation of plaintiff's Poe? 26 injury, which are otherwise inadmissible at the time of trial. By this motion, Defendants also seek kar Bee? $7 27 to preclude Plaintiff's non-retained experts’ narrative medical reports, and from testifying Freeman Sie my Gan, ‘Atom at 28 DEFENDANTS’ MOTION IN LIMINE NO. 5 TO EXCLUDE TESTIMONY FROM PLAINTIFF'S NON- RETAINED EXPERTS AND TREATING HEALTH CARE PROVIDERS THAT ARE OTHERWISE INADMISSIBLE AND/OR OUTSIDE THE SCOPE OF THEIR EXPERTISE, 46159121 11139-68946 RLM