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Filing # 168000524 E-Filed 03/03/2023 01:56:44 PM
IN THE CIRCUIT COURT, FOURTH
JUDICIAL CIRCUIT, IN AND FOR
DUVAL COUNTY, FLORIDA
CASE NO. 2020-CA-6698
DIVISION CV-F
LEISA JONES and MIA GRAHAM,
Plaintiffs,
vs.
JOHN MORRISEY; C&K TRUCKING, LLC;
and PROGRESSIVE SELECT INSURANCE
COMPANY,
Defendants.
_____________________________________
DEFENDANTS JOHN MORRISEY AND C&K TRUCKING, LLC’S NOTICE OF TAKING
DEPOSITION DUCES TECUM OF GIL SPRUANCE
(in person)
YOU WILL PLEASE TAKE NOTICE that commencing on Thursday, March 23, 2023 at
1:00 p.m. ET, Defendants, C&K Trucking, LLC and John Morrisey, will take the deposition of Gil
Spruance, in person, at 4604 Atlantic Boulevard, Suite 1B, Jacksonville, Florida 32207, before
Georgia Winegeart & Associates, Court Reporters, a Notary Public, or before some other officer
authorized by law to take depositions.
Said deposition is being taken for the purpose of discovery, for use as evidence at trial, or
both, pursuant to the applicable Rules of Civil Procedure and Statutes.
The deponent is directed to bring with him the documents listed as follows:
1. Any and all documents, materials, data, or items of any nature provided to you by
or on behalf of the plaintiff, Leisa Jones, in connection with your consideration of the issues in the
above-entitled cause.
2. Any and all documents, materials, data, or items of any nature provided to you
from any other source other than the plaintiff, Leisa Jones, in connection with your consideration
of the issues in the above-entitled cause.
ACCEPTED: DUVAL COUNTY, JODY PHILLIPS, CLERK, 03/04/2023 01:21:23 PM
3. Any compilations, calculations, photographs, videotapes, diagrams, drawings,
data, reports, correspondence, handwritten notes, or any other materials of any kind whatsoever,
prepared, generated, or gathered by you in connection with your analysis of the issues in the
above-entitled cause.
4. Your entire file in this matter, including any and all reports or other writings
containing any opinions or conclusions you have developed in connection with the above-entitled
case.
5. Your professional resume or curriculum vitae.
6. A list of all cases in which you have been retained as an expert witness and given
testimony for the last four years, either in deposition or trial or both, including the name of the
case, jurisdiction, and name of party or attorney who retained you.
7. All time and billing records for services rendered in this case.
8. All models, illustrations, or any other exhibits which you intend to use to explain,
illustrate, demonstrate, or support your testimony at trial.
[Certificate of Service on the following page]
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on this 3rd day of March 2023, I electronically filed the foregoing
with the Florida Courts E-Filing Portal, which will serve it on the following counsel of record via
electronic mail:
Wesley T. Ford
Frank Fratello
Matthew J. Grossman
Robert Gunn
FARAH & FARAH, P.A.
1534 Kingsley Avenue
Orange Park, Florida 32073
Primary: wford@farahandfarah.com
Primary: ffratello@farahandfarah.com
Primary: mgrossman@farahandfarah.com
Primary: rgunn@farahandfarah.com
Secondary email: seppling@farahandfarah.com
Secondary: mgoodbread@farahandfarah.com
Secondary: ldubberly@farahandfarah.com
Secondary: estone@farahandfarah.com
Attorneys for Plaintiff
/s/ L. Johnson Sarber, III___________
L. Johnson Sarber, III
Florida Bar No. 0104116
CARR ALLISON
The Greenleaf and Crosby Building
208 North Laura Street, Suite 1100
Jacksonville, Florida 32202
Telephone: (904) 328-6456
Facsimile: (904) 328-6473
Email: jsarber@carrallison.com
Secondary Email: asparks@carrallison.com
Secondary Email: lmurphy@carrallison.com
Attorneys for Defendants John Morrissey and
C&K Trucking, LLC
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