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  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
  • JOHN VALIS vs CHRISTINE HITCHCOCKAUTO NEGLIGENCE CASE Division: CV-C document preview
						
                                

Preview

Filing # 144729765 E-Filed 02/28/2022 02:10:13 PM IN THE CIRCUIT COURT, FOURTH JUDICIAL CIRCUIT IN AND FOR DUVAL COUNTY, FLORIDA CASE NO.: 2020-CA-002067 DIVISION: CV-C JOHN VALIS, Plaintiff, vs. CHRISTINE HITCHCOCK and USAA CASUALTY INSURANCE COMPANY, Defendant. / DEFENDANT WILLIAM OLIVER CHAMP, JR.’S AMENDED EXPERT WITNESS DISCLOSURE Defendant, USAA CASUALTY INSURANCE COMPANY, by and through their undersigned counsel and pursuant to the Order Setting Case for Jury Trial and For Pre-Trial Conference and Requiring Matters to Be Completed Prior to Pre-Trial Conference dated April 26, 2021, hereby file their Expert Witness Disclosure and in support thereof states. 1. Abraham Rogozinski, M.D. Rogozinski Orthopedic Clinic 3716 University Blvd., Suite 3 Jacksonville, FL 32216 Dr. Rogozinski is an orthopedic surgeon who will testify based upon his review of medical records of treatment rendered to plaintiff prior to and subsequent to the accident at issue. He will also testify regarding the results of a Compulsory Medical Examination. Dr. Rogozinski will also provide rebuttal testimony to testimony of the Plaintiff's experts. 2. Dennis W. Wulfeck, M.D., FACR 8375 Dix Ellis Trail Prominence 600, Suite 201 Jacksonville, FL 32256 ACCEPTED: DUVAL COUNTY, JODY PHILLIPS, CLERK, 02/28/2022 02:43:47 PM Dr. Wulfeck is a radiologist who will testify based upon his review of medical records and radiology films of treatment rendered to Plaintiff prior to and subsequent to the accident at issue. Dr. Wulfeck will also provide rebuttal testimony of the Plaintiff's experts. 3. Defendant reserved the right to call any and all health care providers rendering treatment to the plaintiff before and after the subject accident. Any and all expert witnesses identified or called by any party. Defendant reserves the right to supplement this Disclosure as discovery in this matter may reveal or require subsequent filing of supplements. CERTIFICATE OF SERVICE 1 HEREBY CERTIFY that on February 28, 2022, a true and correct copy of the foregoing was filed in compliance with Fla. R. Jud. Admin. 2.516 using the Florida Courts E-Filing Portal which will send an electronic notice of filing and service copy to: Michael D. Marrese, Esquire Paul M. Eza, Esquire Morgan & Morgan, P.A. Law Offices of Sonya S. Wesner 76 South Laura Street, Suite 1100 200 East Robinson Street, Suite 510 Jacksonville, FL 32022 Orlando, FL 32801 Email: Mmarrese@forthpeople.com; Email: jaxsmail@nationwide.com Jlow@forthepeople.com; Attorney for Defendant Hitchcock Pcalleremi@forthepeople.com Attorney for Plaintiff MARSHALL DENNEHEY WARNER COLEMAN & GOGGIN, P.C. /s/ Kathleen A. Carlson Kathleen A. Carlson Florida Bar No. 111918 Primary E-Mail: kacarlson@mdweg.com Secondary E-Mail: amrivera@mdweg.com 200 West Forsyth Street, Suite 1400 Jacksonville, FL 32202 Telephone: (904) 358-4200 Facsimile: (904) 355-0019 Attorneys for Defendant USAA Casualty Insurance Company