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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
  • 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 # 105630927 E-Filed 03/30/2020 04:26:52 PM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA CASE NO: 2019 CA 001939 ON HON. MICHAEL MURPHY ZASKIA MERCADO, Plaintiff, vs. CHEDDAR'S CASUAL CAFE, INC., Defendant. — eaeeaiaiaiaia(‘_ié_C PLAINTIFF’S AMENDED NOTICE OF TAKING DEPOSITION DUCES TECUM (Coordinated with Paula Norris on 3/30/2020) (Change of Date Only: From 3/31/2020 to 6/1/2020) PLEASE TAKE NOTICE that Plaintiff, ZASKIA MERCADO, by and through the undersigned attorneys will take the following Deposition: tt“ “ae... LUC™CO™”.U™U™©™U™C~C~C~C~C—C—CUC_ CL June 1, 2020 Gerald Fischer Wicker Smith O'Hara McCoy & Ford, P.A. : ° ' 2:00 PM (Produced by Counsel) 390 N. Orange Ave., Suite 1000 Orlando, FL 32801 upon oral examination before Orange Legal, Court Reporters, or a Notary Public in and for the State of Florida at Large, or some other officer duly authorized by law to take depositions and may be videotaped by Orange Legal for the purposes of discovery, for use at trial, or both of the foregoing, or for such other purposes as permitted under the applicable and governing rules. Deponent is to bring the documents and things listed on the attached Schedule “A”. 1 DUCES TECUM — SCHEDELE “A” e Curriculum Vitae e Job description and responsibilities as Corporate Security Manager for Darden Restaurants, Inc. e Job description and responsibilities as Loss Prevention Analyst for the Cheddar’s Casual Café brand. e Any policies, procedures, documents, professional readings, literature or manuals which Deponent used or uses in the planning, managing and development of the Darden Restaurant surveillance systems otherwise known as CCTV systems. e Any procedures, policies, documents, professional readings, literature or manuals which Deponent used or uses in the implementation methods used to best handle anticipated lawsuits/claims. e Any camera layout, or plans that depict the cameras that are in the restaurant, and that would include any and all CCTV layout. PLEASE GOVERN YOURSELF ACCORDINGLY. CERTIFICATE OF SERVICE I HEREBY CERTIFY that on March 30, 2020, I electronically filed the foregoing with the Clerk of Court by using the Florida Courts e-Filing Portal which will send notification of electronic filing to: Kurt M. Spengler, Esq. and Melissa T. Woodward, Esq., Wicker Smith 2 O'Hara McCoy & Ford, P.A., 390 N. Orange Ave., Suite 1000, Orlando, FL 32801, via email at ORLcrtpleadings@wickersmith.com, and via email to Orange Legal, Inc. at info@orangelegal.com. /s/ Manuel Stefan, Esq. Manuel “Manny” Stefan, Esq. Florida Bar No.: 0103389 MORGAN & MORGAN, P.A. 4495 South Semoran Blvd. Orlando, FL 32822 Telephone No.: (407) 452-6982 Facsimile No.: (407) 572-0124 Primary email: MStefan@forthepeople.com Secondary email: EDiaz@forthepeople.com Attorneyfor Plaintiff cc: Orange Legal, Inc. 3