arrow left
arrow right
  • AMY WICKERSHAMet al vs. BENJAMIN BRASHEAR, MDet alMEDICAL MALPRACTICE document preview
  • AMY WICKERSHAMet al vs. BENJAMIN BRASHEAR, MDet alMEDICAL MALPRACTICE document preview
						
                                

Preview

FILED 10/26/2020 11:23 AM FELICIA PITRE DISTRICT CLERK DALLAS CO., TEXAS John P White DEPUTY No. DC-20-00255 WCKERSHAM AND AMY WICKERSHAM : IN THE DISTRICT COURT OF IN PERRY WICKERSHAM ' VS. vs. z MD, GARRY GUCE, MD, BENJAMIN BRASHEAR, MD, BENJAMIN MD, : DALLAS COUNTY, TEXAS SCHEURICH, MD, GUSTAVO DANIEL SCHEURICH, GUSTAVO N.N. DEL TORO, DO, D0, PAUL A. A. GUTTUSO, GUTTUSO, MD, CHRISTINA D. WRIGHT, D. WRIGHT, RD, RD, BRASHEAR FAMILY MEDICAL, MEDICAL, PA., et a1 P.A., et a] : 44TH JUDICIAL DISTRICT DISTRICT CERTIFICATION CERTIFICATION RECORDS PERTAWING PERTAINING TO: Amy Wickersham RECORDS FROM: Legend Oaks Healthcare Rehabilitation of Healthcare and Rehabilitation Ennis (NIedical) of Ennis (Medical) I, I, the undersigned authority, the undersigned authority, Notary Notary Public in and Public in and for the State for the State of of Texas, hereby certify Texas, hereby certify pursuant pursuant to to the the Rule Rule 203, Texas 203, Texas Rules of Civil Rules of Civil Procedure, Procedure, That the That the witness witness was was duly duly sworn by the sworn by officer; the officer; That this Deposition That this by Written Deposition by Questions is Written Questions a true is a record of true record the testimony of the given by testimony given the witness by the named herein, witness named herein, as the as the Custodian of Records Custodian of Records for Legend Oaks Healthcare for Legend Healthcare and Rehabilitation Rehabilitation of Ennis ;; of Ennis That $$ 197.76 That 197.76 is is the the charge charge for the preparation for the preparation ofof the completed Deposition the completed Deposition by by Written Written Questions and any Questions and any copies of copies exhibits, charged of exhibits, charged to to Attorney Attorney for for Plaintiff, Plaintiff, Mr. John A. Jr., TBA ## 05512300; Davis, Jr., A. Davis, 05512300; That That the original Deposition Deposition by Written Questions, together with with all all copies of all all exhibits, exhibits, waslwill was/will he - the original by Written Questions, together copies of be forwarded forwarded to the above to the above said on 1 said on b” \‘33 -'Law ; \ b 10w ; That That the the original original Deposition Deposition byby Written Questions, together Written Questions, with all together with all copies of all copies of exhibits shall all exhibits shall now now be sent by be sent by hand delivery hand delivery or or certified certified mail mail return receipt return receipt requested requested in in a a properly properly addressed addressed and and sealed package to the above sealed package to the above named attorney attorney for safekeeping to for safekeeping to be used at trial; used at trial; and That That aa copy of this copy of certificate was served this certificate on all served on all parties herein, pursuant parties shown herein, to Rule pursuant to Rule 21a, Texas Rules 21a, Texas Rules of of Civil Procedure. The following Civil Procedure. includes all following includes all parties of record: parties of record: Ms. Missy Atwood, Attorney For Defendant (Via Fax: 512-472-0721) Ms. Missy Atwood, Attorney For Defendant (Via Fax: 512-472-0721) Ms. Cathy F. Ms. Cathy Bailey, Attorney F. Bailey, For Defendant Attorney For Defendant (Via (Via Fax: Fax: 469-698-4201) 469-698-4201) Mr. Mr. Ty Ty Bailey, Bailey, Attorney For Defendant Attorney For Defendant (Via (Via Fax: Fax: 214-754-0999) 214-754-0999) Ms. Kimberly Ms. Kimberly K.K. Bocell, Bocell, Attorney For Defendant Attorney For Defendant (Via (Via Fax: Fax: 469-698-4201) 469-698-4201) Mr. Alan Mr. L. Campbell, Alan L. Attorney For Campbell, Attorney Defendant (Via For Defendant Fax: 800-793-7607) (Via Fax: 800-793-7607) Mr. Michael Mr. L. Hurst, Michael L. Hurst, Attorney Attorney For For Defendant Defendant (Via Fax: 214-871-8290) (Via Fax: 214-871-8290) Mr. Mr. Rayshun lackson, Attorney Rayshun Jackson, For Defendant Attorney For Defendant (Via (Via Fax: Fax: 214-651-6244) Ms. Jennifer Ms. King, Attorney A. King, Jennifer A. For Defendant Attorney For Defendant (Via (Via Fax: Fax: 214-740-2834) Ms. Michele Ms. Michele Quattlebaum, Quattlebaum, Attorney Attorney For Defendant (Via For Defendant Fax: 713-523-9422) (Via Fax: Mr. Mr. Stan Stan Thiebaud, Thiebaud, Attorney Attorney For For Defendant (Via Fax: Defendant (Via 214-754-0999) Fax: 214-754-0999) GlVEN UNDER MY HAND AND SEAL 0F GIVEN OF OFFICE ON Q’day 0N THIS THE - day of @ b*b-, l 202901041: 2020, 2020. Mfihe State of Texas Carol Davis Carol Davis Reporting, Reporting, Records & Records & Video, Video, Inc. Inc. mumom 7838 Hillmont 7838 ““190 PATRICK HOWARD MAHONE‘ Houston, TX 77040 Houston, 5:: . 3*; -. My NotaryID#10924627 (713)647-5100 Fax (713) 647-5170 (713) 647-5100 Fax(713)647-5170 2.9x. __.;o ‘7} EXpwesJune18.2021 Order No. 01—40651-003 OrderNo. 01-40651-003 733? ,5,