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Filing# 152199963 E-Filed 06/27/2022 06:02:44 AM
IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
CASE NO. CACE21009583 DIVISION: 21 JUDGE Singer, Michele Towbin (21)
Heather Grant, et al
/ Petitioner(s)
Plaintiff(s)
V
David Vadillo, et al
Defendant(s)/ Respondent(s)
i
Agreed Order on Plaintiff's Conditional Objection to Defendants' Request For Rule 1.360
Examination
THIS CAUSE, having come on to be heard before me, the undersigned Circuit Court Judge, on
Plaintiff,HEATHER GRANT'S Conditional Objection to Defendants' Request for Rule 1.360
Examination with Neurosurgeon, Brett Osborne, M.D., and the Court having reviewed the instant
Motion and being advised of the agreement between the parties,and being otherwise fullyadvised in
the premises,it is hereby
ORDERED and ADJUDGED that:
1. Plaintiff, HEATHER GRANT, shall attend the examination with Dr. Brett Osborne noticed
for 12:00 p.m. on July 29, 2022, at 7195 W. Oakland Park Boulevard, Lauderhill,FL 33319 with
the following conditions:
may have a court reporter, videographer and/or her counsel present
a)Plaintiff at the
examination.
is responsiblefor paying for the services of a court reporter or videographer
b)Plaintiff at the
examination. However, Plaintiff will not incur any additional fees from the CME examiner
or Defendant for having a court report, videographeror counsel present.
c)No agents of the Defense, other than Dr. Osbourne and his staff will present during the
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*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 06/27/2022 06:02:44 AM.****
Case Number: CACE21009583
examination or questioning.
d)Plaintiffwill not complete any written questionariesor intake forms other than for
identification purposes.
e)The examining CME physicianmay ask any questionsreasonablyrelated to forming his
of Plaintiff.
medical opinion and to evaluate the allegedinjuries
f)Defendant will furnish to Plaintiff's counsel a copy of the examiner's report within thirty(30)
days of the date of examination or within ten (10)days of receivingit from the CME doctor,
whichever occurs first.
g)Plaintiffwill not be responsible for providing any documents to Dr. Osborne as it is
to provide same to Dr. Osborne.
Defendant's responsibility For example, Plaintiff is not
responsiblefor bringing documents (except for identification),
x-rays, MRI films or any
other item to the CME.
h)Dr. Osborne may take a medical historyconsistent with what a treatingphysician would be
expected to take under similar circumstances. He may inquireas to the mechanism of injury,
but Dr. Osborne may not inquire as to liability
issues or who was at fault for causing the
accident.
i)Counsel for Defendant is responsiblefor notifyingDr. Osborne of these conditions and any
orders entered thereon.
DONE AND ORDERED in Chambers at Broward County, Florida on 26th day of June. 2022.
C39583
CACE21009583 06-26-2022 6:14
OC
PM
Hon. Michele Towbin Singer
CIRCUIT JUDGE
Signed by Singer,Michele Towbin (21)
Electronically
Copies Furnished To:
Bruce Franklin Silver, E-mail : pleadings@silverlawoffices.com
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Case Number: CACE21009583
Bruce Franklin Silver, E-mail :
nicolesilver@silverlawoffices.com
Bruce Franklin Silver, E-mail :
brucesilver@silverlawoffices.com
George L. Fema(inez, E-mail :
rebecca.epstein@qpwblaw.com
George L. Fernandez, E-mail kimberly.rowe@QPWBLAW.com
:
George L. Fernandez, E-mail bfetokakis-fernandez@QPWBLAW.com
:
George L. Fernandez, E-mail : gfemandez@QPWBLAW.com
Haydrich Estrada, E-mail haydrich.estrada@qpwblaw.com
:
IvetteN. Galante, E-mail : ivette.galante@QPWBLAW.com
Jaime E. Campos, Esq., E-mail :
Jon A. Zepnick, Esq., E-mail : jonzepnick@anselmiller.corn
Jon A. Zepnick, Esq., E-mail : eansel@anselmiller.corn
Jon A. Zepnick, Esq., E-mail : makethecal 103@aol.com
Lisa B Silverman, E-mail : FtLauderdaleHC@progressive.com
Lisa B Silverman, E-mail : lsilver2@progressive.com
Loren Myles Korkin, E-mail : lkorkinsecy@rumberger.corn
Loren Myles Korkin, E-mail : lkorkin@rumberger.corn
jon zepnick, E-mail: rshields@anselmiller.com
jon zepnick, E-mail : maketheca1103@aol.com
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