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Filing # 148529075 E-Filed 04/27/2022 05:42:24 PM
IN THE CIRCUIT COURT OF THE FIFTH
JUDICIAL CIRCUIT, IN AND FOR LAKE
COUNTY, FLORIDA
CASE NO.: 2021 CA 1666
LEVI JOHN MILLER, JR.,
Plaintiff,
VS.
HOGAN DEDICATED SERVICES, LLC
and STEVEN LAWRENCE HUBBARD,
Defendants.
/
PLAINTIFF’S FIRST REQUEST FOR PRODUCTION TO
DEFENDANT, STEVEN LAWRENCE HUBBARD
Plaintiff, LEVI JOHN MILLER, JR., by and through the undersigned counsel and hereby
requests that Defendant, STEVEN LAWRENCE HUBBARD, produce for inspection or copying
the documents set forth below. Defendants shall produce these documents at 20 N. Orange Ave.,
16" Floor, Orlando, FL 32801 within thirty (30) days after service of this Request for
Production.
I. Definition.
A As used throughout this Request to Produce, the following terms are defined as
follows:
B "Document" is used in the broad sense and means any tangible object or thing that
‘ontains, conveys, or records information. Production is required of the original, or any copy if the
original is not available, of any book, record, minutes of meetings, reports and/or summaries of
interviews, reports and/or summaries of investigations; opinions or reports of consultants; opinions
of counsel; communications of any nature, including internal company communications,
memoranda, telegrams, telexes, letters, notes of telephone conferences, agreements, reports or
summaries of negotiations, brochures, pamphlets, advertisements, circulars, trade letters, press
releases, drafts and revisions of drafts of documents, any written, printed, typed or other graphic
matter of any kind or nature, drawings, photographs, paper, communication, chart, tap, disk, card,
FILED: LAKE COUNTY, GARY J. COONEY, CLERK, 04/28/2022 09:17:45 AM
wire or other electronic or mechanical recording or transcript or any other instrument or device from
which information can be perceived, in the employees or agents, or known by Plaintiff to exist,
unless otherwise privileged.
Cc. "Document" also includes copies containing information in_addition to that
contained on the original (such as notations, computations, attachments, etc.), and shall include all
copies of documents by whatever means made and whether or not claimed to be privileged or
otherwise excludable from discovery. To the extent that a request that a request calls for the
production of multiple identical documents or things, only one copy of each such identical
documents or things need be produced. Two copies are not identical if one of the copies has any
information, writing, printing, or other marks not present on the other of the copies.
D. If any tape, disk, card, wire, or other electronic or mechanical recording or transcript
or any computer program is produced, such documents as are necessity for the decoding, putting
back, printing out and/or interpretation thereof, and any other documents which are necessity to
convert such information into a useful and necessity to convert such information into a useful and
usable format shall also be produced, in order to make this request under Rule 1.350 meaningful and
genuine.
E "Person" means any natural person, public or private corporation (whether or not
organized for profit), partnership, unincorporated association, governmental agency or body, or
other legal entity.
F, "Company" means any business or governmental entity to which this request is
addressed and includes all of its affiliated, subsidiaries, parents, divisions, successors in interest, and
predecessors as well as all of its directors, officers, principals, partners, employees, agents,
representatives, attorneys, any other persons working for or on behalf thereof, whether temporary or
permanent, and any "person" in which Plaintiff has acquired an interest.
G "Statement" means (1) any written statement made by a person and signed or
otherwise adopted or approved by him; or (2) any stenographic, mechanical, electrical, or other
recording, or a transcription thereof, which is a substantially verbatim recital of an oral statement
made by that person and recorded contemporaneously with the making of such oral statement.
H. As may be used in these Request "and" is conjunctive (meaning, e.g., A and B); and
"or" is disjunctive and inclusive (meaning, e.g., A or B, or both). No answer should be withheld, or
limited, because it refers or relates to only one, or to more than one, item in a request.
I As may be used in this Request to Produce, the terms "trademark" and "service
mark" shall be considered interchangeable, and the term "mark" shall be considered to refer to any
trademark, service mark, trade name, or business designation, or any other word, symbol, design,
logo, title, or slogan used to identify the source of origin of products or services. References to
‘products" or "goods" shall be considered to include services.
II. Claim of Privileg
If any document or statement is withheld from this request under a claim of privilege, then
please furnish a list which identifies each document or statement for which privilege is claimed and
include the following information for each such document:
Description sufficient to identify.
The date(s).
The subject matter(s).
The sender(s) or author(s).
The recipient(s).
The persons to who copies were furnished, together with their job titles.
The present depository or person having custody of the document.
The nature and basis of privilege or immunity claimed.
The paragraph(s) of this request to which each such document or statement
relates or corresponds.
Ill. Grouping or Numbering of Items Produced.
Pursuant to Fla. R. Civ. P. 1.350, it is requested that the document or other items
submitted in response to this Request to Produce be organized and labeled according to the
individual paragraphs of the request to which they are responsive, and within each group,
arranged in chronological order.
IV. Place, time, and manner of response.
A response to this Request to Produce is due within thirty (30) days after service of this
Request to Produce, and shall be made at the offices of Morgan & Morgan, P.A., 20 N. Orange
Avenue, 16" Floor, Orlando, FL 32801, or at such other place as the parties may agree. Authentic
copies of document may be supplied, provided that existing originals are available for inspection,
examination, and comparison.
DEFENDANT SHALL PRODUCE THE FOLLOWING ITEMS AND MATTERS:
1 All statements made by any occupants of the vehicles involved in the subject
accident.
2. All statements made by any witnesses to the subject accident.
3 All statements made by Plaintiff pertaining to or concerning the subject matter.
4. All photographs and/or video of the vehicles involved in the subject accident
showing damages sustained or alternatively, the right to inspect such vehicles.
5 All photographs and/or video of Defendant or Plaintiff depicting injuries received in
the subject accident.
6 Any and all video and/or photographs of the accident scene, both before and after
subject accident, as well as any and all video of the vehicles and/or parties involved, both before and
after, in said subject accident.
7
A copy of any and all insurance agreements, insurance policies or agreements of any
kind or nature under which any person or company carrying on an insurance business may be liable
to satisfy part of all of a judgment which may be entered in this action or to indemnify or reimburse
any payments made to satisfy any such judgment or settlement, including but not limited to a
certified copy of the declarations sheet as to each such policy.
8 Document relating to or discussing repairs or maintenance to Defendant's vehicle
that were done for the six (6) month period of time preceding and including the date of the accident
and for the six (6) month period of time following the date of the accident.
9 The repair bill and estimates for the repairs to any of the vehicles involved in the accident
for damages incurred in the accident.
10. Documents relating to or discussing any statements made by Defendant.
11. All photographs and/or video of the accident scene and surrounding areas.
12, Any surveillance video and/or photographs of Plaintiff taken following the subject
accident.
13, Any records reflecting the towing of any vehicles involved in the accident from the
scene of the accident.
14, A copy of the driver's license of any drivers involved in the subject accident that
existed on the date of the accident as well as the current driver's license.
15.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on April 27, 2022, | electronically filed the foregoing with the
Clerk of the Courts by using the Florida Courts eFiling Portal which will send a notice of
electronic filing to the following: Trevor T. Rhodes, Esquire, Banker Lopez Gassler, P.A., 501
East Kennedy Blvd., Suite 1500, Tampa, FL 33602 (service-trhodes@bankerlopez.com).
/s/Harran Udell
Harran E. Udell, Esquire
Florida Bar No. 037249
Morgan & Morgan, P.A.
20 N. Orange Ave., 16" Floor
Orlando, FL 32801
Telephone: (407) 420-1414
Facsimile: (407) 245-3371
Primary E-Mail: HUdell@forthepeople.com
Secondary E-Mail: lfoelker@forthepeople.com;
awhitehead@forthepeople.com
Attorneys for Plaintiff