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  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
						
                                

Preview

Filing # 76309111 E-Filed 08/10/2018 05:55:14 PM IN THE 20T CIRCUIT COURT IN AND FOR CHARLOTTE COUNTY, FLORIDA CASE #2017 CA 000181 IRIS BEAUGRAND, etc., Plaintiff/Counter-Defendant, Vv. ROBERT O’TOOLE’S 1S? REQUEST FOR PRODUCTION TO IRIS BEAUGRAND ROBERT O'TOOLE, (QUESTIONED DOCUMENT) Defendant/Counter-Plaintiff. / Defendant/Counter-Plaintiff ROBERT O’TOOLE hereby requests that IRIS BEAUGRAND, Plaintiff/Counter-Defendant, produce the documents and things described below within the time and as provided by Florida Rule of Civil Procedure 1.350 by delivery of the original thereof to undersigned counsel! for the purposes of having the same examined by a document examiner/handwriting specialist. The document to be produced is identified as follows: The original purported “promissory note” described at paragraphs 8 and 18 of plaintiff's complaint filed in this action and attached thereto as “Exhibit A”. I DO HEREBY CERTIFY that a true and correct copy of the foregoing was caused to be served by electronic mail on August 10, 2018, upon Steele T. Williams, Esquire, STEELE T WILLIAMS, PA, attorney for plaintiff, Pineapple Place, 1381 McAnsh Square, Sarasota, Florida, 34236; StecleTWilliams@Comcast.Net. Respectfully submitted, BRET SHAWN CLARK, PA PO BOX 1133 Englewood, Florida 34295 Tel: (941) 404-4704 BretClark@WebNetLawyer.Com | Bret Clark Bret Clark, Esquire FB #384038 Attorney for Robert O'Toole ' The above-signed counsel for Mr. O’Toole suggests that the document be surrendered at the upcoming deposition of him being taken by plaintiff, currently scheduled for August 15".