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Filing# 178546571 E-Filed 07/31/2023 11:12:25 AM
IN THE CIRCUIT COURT OF THE SEVENTEENTH
JUDICIAL CIRCUIT IN AND FOR BROWARD
COUNTY, FLORIDA
ADRIANA HINCAPIE AND NICOLAS CASE NO.: CACE 21-016648 (14)
HINCAPIE,
Plaintiffs,
VS.
JOSEPH BERNARD WEZKIEWICZ, JR.,
AND JOSEPH BERNARD WEZKIEWICZ,
III,
Defendants.
i
DEFENDANTS' EXPERT WITNESS LIST
** ALL DOCUMENTS ASSOCIATED WITH THIS WILL BE SENT VIA
UPS DELIVERY **
COMESNOW the Defendants, JOSEPH BERNARD WEZKIEWICZ, JR. AND JOSEPH
BERNARD WEZKIEWICZ, III (hereinafter"Defendants"), by and through their undersigned attorneys,
and in compliance with this Court's Uniform Pre-Trial Order and Order SettingTrial,file this Expert
Witness List as follows:
1 Any and all experts named by the Plaintiffs on their Expert Witness List without waiving
any objectionsthereto.
2. Any and all healthcare providers and/or treatingphysicians of the Plaintiffs (prior and
subsequent).
3. Jordan Grabel, M.D. (Expert - Neuro)
1411 N. FlaglerDrive, Suite 5900
West Palm Beach, FL 33401
(see attached C.V.)
4. Christopher J. -
Troiano, M.D. (Expert Non-Spinal Ortho)
7710 N.W. 71St Court, Suite 103
Tamarac, FL 33321
(see attached C.V.)
5. Michael Zeide, M.D. (Expert - Billing)
1501 Presidential Way, Suite 6
West Palm Beach, FL 33401
(see attached C.V.)
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 07/31/2023 11:12:25 AM.****
CASE NO- CACE 21-016648 (14)
6. Neil A. Schechter, M.D. (Expert - Spinal Ortho)
600 S. Pine Island Road, Suite 300
Plantation,FL 33324
(see attached C.V.)
Experts
- Defense and/or IME physicians will testifyas to education, professional experience and
additional qualificationsas medical experts; will testifyas to review of Plaintiffs' medical records,
radiographic and MRI films and any other diagnostic testing,the orthopedic and/or neurologic
examination(s) of the Plaintiffs and offer opinions in confonnity with the IME report(s),including but
not limited to causation, the Plaintiffs' current status, prognosis, threshold issues and reasonableness &
necessityof Plaintiffs' treatment and medical bills.
Depositions of experts: Counsel for the Defendants will arrange with counsel for the Plaintiffs,
and times as may be mutually agreeable pursuant
the depositions (ifany) of each other's experts at dates
to the provision of the Order Setting Trial.
7. Defendants reserve the right to amend this Expert Witness List at a time prior to trial as
discovery continues in this matter.
8 Other witnesses upon reasonable notice to the parties.
I HEREBY CERTIFY that on July 31, 2023, the foregoing was electronically filed with the Florida
Courts E-FilingPortal and that as a registeredparticipant
of the Portal I have effectuated service through
the Portal in compliance with Rule 2.516, Fla. R. Jud. Admin., on Karl W. Labertew, B.C.S.
klabertew@rubensteinlaw.com, lbosch@rubensteinlaw.com, eservice@rubensteinlaw.com, Rubenstein
Law, P.A., 9130 S Dadeland Blvd, Miami, FL 33156.
NICHOLAS J. RYAN & ASSOCIATES
110 S. E. 6th Street,Suite 2100
Fort Lauderdale, FL 33301
Telephone: (954) 627-9401
E-mail for service (FL R. Jud. Admin. 2.516):
sheri.critelli@statefarm.com
Juul.CiADU
Sheri L. Critelli,
Esq.
Florida Bar No.: 813508
Attorney for Defendants
Attorneys and Staff of Nicholas J. Ryan & Associates are Employees
of the Law Department of State Farm Mutual Automobile Insurance
Company