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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
						
                                

Preview

Filing # 128995970 E-Filed 06/17/2021 04:55:12 PM 92358-5/mtw/12090870 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 CHEDDAR'S CASUAL CAFE, INC.’S EXPERT DISCLOSURES Defendant, CHEDDAR'S CASUAL CAFE, INC., (“Defendant”), by and through its undersigned counsel and pursuant to Florida Rules of Civil Procedure, hereby files this Expert Witness Disclosure and states as follows: 1. Michael Philip Silverstein, M.D. Orlando Health Jewett Orthopedic Institute 1285 Orange Ave. Winter Park, FL 32789 Dr. Silverstein is a Board Certified Orthopedic Surgeon, who is expected to testify as to Plaintiff's alleged injuries in this case and its relatedness to the incident and subsequent surgeries; the permanency of her injury; reasonableness and necessity of any proposed surgical treatment to Plaintiff; the reasonableness of future medical care and treatment, if any; and Plaintiffs ability to work, and all other damages issues without limitation. Dr. Silverstein’s opinions will be based upon his education, training, experience, and review of pertinent material, including pre and post incident medical records, discovery materials and anticipated compulsory medical examination of Plaintiff. Attached is a copy of Dr. Silverstein’s Curriculum Vitae attached hereto as Exhibit A. Please contact our office for his deposition availability. 2. Any and all Rule 1.360 examining physicians of Plaintiff. 3. Any and all treating physicians of Plaintiff. 4. Any and all of Plaintiff's experts. 5. Any and all expert rebuttal witnesses and/or for impeachment purposes. witnesses. CASE NO. 19CA1939-ON 6. Any and all expert witnesses revealed through discovery. 7. Defendant reserves the right to amend this expert witness disclosure as it becomes necessary through discovery. WE HEREBY CERTIFY that a copy hereof has been electronically served via Florida ePortal to: Manuel Stefan, Esquire, mstefan@forthepeople.com, cvictor@forthepeople.com; on this 17th day of June, 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 Defendant Cheddar's Casual Café, Inc. 390 N. Orange Ave., Suite 1000 Orlando, FL 32801 Phone: (407) 843-3939 Fax: (407) 649-8118 ORLcrtpleadings@wickersmith.com -2-