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  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
						
                                

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Filing # 134023762 E-Filed 09/03/2021 01:27:14 PM 92358-5/MTW/12444332 IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA ZASKIA MERCADO, Plaintiff, CASE NO. 19CA1939-ON vs. CHEDDAR'S CASUAL CAFE, INC., Defendant. / DEFENDANT’S RESPONSE TO SUPPLEMENTAL REQUEST TO PRODUCE Defendant, Cheddar's Casual Café, Inc., by and through the undersigned attorneys, and pursuant to the applicable Fla. R. Civ. P., responds to Plaintiff's Supplemental Request to Produce dated August 4, 2021, as follows: 1. A true and correct copy of any and all accident investigation/reporting/risk management manuals and/or videos and/or modules relevant to the accident investigation and reporting for the accident at issue or for any accident on the premises. RESPONSE: Defendant refers Plaintiff to the attached Cheddar’s Restaurant Manager Handbook attached hereto as Exhibit A, which was previously provided to Plaintiff's counsel on or about on September 1, 2021. 2. A list of prior incidents involving customer slip and falls at, near, or on the path/corridor to the bathroom at the subject store for the three (3) year period of time immediately preceding the subject incident. (NOTE: please include date of incident, location in store where incident occurred and description of incident sufficient for the Court to determine substantial similarity to the subject incident). RESPONSE: Defendant objects to this Supplemental Request on the grounds that it is vague and ambiguous and seeks documentation that is neither relevant nor reasonably calculated to lead to the discovery of admissible evidence, especially since other “incidents” rarely arise from the same and/or substantially similar circumstances and therefore such documentation is neither relevant to the issues in this lawsuit nor reasonably calculated to lead to the discovery of admissible evidence. Subject to and without waiving the foregoing objections and preserving the same, and based upon a diligent and reasonable investigation conducted, Defendant has been able to identify the following incidents that fall within the parameters of this supplemental request: CASE NO. 19CA1939-ON | Date | CDeescription Provided 8/23/2015 Guest claims to have slipped on the way to the restroom. Floor was inspected and observed to be clean and dry. Believed to be caused by claimant’s sling back shoes way to the restroom. 2/22/2016 Guest claims to have slipped on the way to the restroom. Believed to be caused by the presence of wet substance on the floor way to the restroom. WE HEREBY CERTIFY that a copy hereof has been electronically served via Florida ePortal to: Manuel Stefan, Esquire, mstefan@forthepeople.com, cvictor@forthepeople.com, ahiramarmoreno@forthepeople.com; on this 3rd day of September, 2021. /s/ Kurt M. Spengler Kurt M. Spengler, Esquire Florida Bar No. 717665 Melissa T. Woodward, Esquire Florida Bar No. 022143 WICKER SMITH O'HARA MCCOY & FORD, P.A. Attorneys for Cheddar's Casual Café, Inc. 390 N. Orange Ave., Suite 1000 Orlando, FL 32801 Phone: (407) 843-3939 Fax: (407) 649-8118 ORLertpleadings@wickersmith.com 2