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  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
  • GOLDEN GATE CHIROPRACTIC CENTER vs STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY SC Personal Injury Protection-Tier 2 $100.00-$500.00 document preview
						
                                

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Filing # 189900508 E-Filed 01/17/2024 10:43:02 AM GOLDEN GATE CHIROPRACTIC CENTER, IN THE COUNTY COURT IN AND FOR INC HILLSBOROUGH COUNTY, FLORIDA a/a/o Mr Edner Deli, CASE NO.: Plaintiff, vs. STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY Defendant. ________________________________/ NOTICE OF SERVICE OF FIRST SET OF INTERROGATORIES TO DEFENDANT COMES NOW, Plaintiff, GOLDEN GATE CHIROPRACTIC CENTER, INC a/a/o Mr Edner Deli, by and through the undersigned attorneys, hereby gives notice that pursuant to the Florida Rules of Civil Procedure, a copy of Interrogatories have been directed to Defendant, and are to be answered under oath and in writing within thirty days as set forth in the Florida Rules of Civil Procedure. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing was served upon Defendant, along with the Summons and Complaint filed in this cause. LANDAU & ASSOCIATES, P.A. 1619 NW 136th Avenue, Suite 2C Sunrise, FL 33323 Telephone (954) 744-8383 Facsimile (954) 391-7805 Email: efilings@pip-lawyers.com By: /S/ Matthew Emanuel, Esq.___ MATTHEW EMANUEL, ESQ. Florida Bar No. 98392 1/17/2024 10:43 AM Electronically Filed: Hillsborough County/13th Judicial Circuit Page 1 GOLDEN GATE CHIROPRACTIC CENTER, IN THE COUNTY COURT IN AND FOR INC HILLSBOROUGH COUNTY, FLORIDA a/a/o Mr Edner Deli, CASE NO.: Plaintiff, vs. STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY Defendant. ________________________________/ PLAINTIFF’S FIRST SET OF INTERROGATORIES TO DEFENDANT COMES NOW, Plaintiff, GOLDEN GATE CHIROPRACTIC CENTER, INC a/a/o Mr Edner Deli, by and through the undersigned attorneys and pursuant to Florida Rule of Civil Procedure 1.340, and requests Defendant, STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY, to respond in writing to each and every Interrogatory set forth below within thirty (30) days after service of these Interrogatories: 1. Please state the complete name, address and date of birth of each and every person that is either answering and/or participating in answering these interrogatories in any way and the capacity in which they are answering and/or participating in the responses contained herein. 2. Please state the Defendant’s complete and proper corporate name, nature of your business, whether you are licensed to do business in the State of Florida, whether you maintain agents for the transacting of business in the above County in which this suit was filed and whether Mr Edner Deli is an "insured," as defined under the insurance policy alleged in the complaint, the nature/type of the insurance, the place of issue of the policy and the policy period. 3. Please list the names, addresses and telephone numbers of all persons believed or known by you, your agents or attorneys that may have any knowledge concerning any of the issues raised by the pleadings, specifying the subject matter about which the witnesses have knowledge. 4. Please state whether you have obtained any statements (oral, written and/or recorded), from any of said witnesses, list the dates any such witness statements were taken, by whom any such witness statements were taken and who has present possession, custody and control of any such statements. 1/17/2024 10:43 AM Electronically Filed: Hillsborough County/13th Judicial Circuit Page 2 5. For each and every medical bill received by you from and/or on behalf of the Plaintiff for which you are denying payment, please state: a. The date the bill was received; b. The date(s) of service for which the bill was incurred; c. The date you first received the bill; d. The dollar amount for the bill received; e. The date you first acted to determine whether the bill reflected was or was not reasonable, necessary or related to the accident alleged in the Complaint; and f. The exact reason you believed said bill was not reasonable, necessary or related. 6. For each medical bill received by you from and/or on behalf of the Plaintiff for which you are reducing the amount of payment of said bill, as opposed to denying payment, please state: a. The date the bill was received; b. The date(s) of service for which the bill was incurred; c. The date you first received the bill; d. The dollar amount for the bill received; e. The date you first acted to determine whether the bill reflected was or was not the reasonable and customary amount in the medical community; f. The date you first decided that the amount of medical bill was not the reasonable and customary amount in the medical community; g. The amount of the medical bill submitted that you calculated or determined was the reasonable and customary amount in the medical community; 1/17/2024 10:43 AM Electronically Filed: Hillsborough County/13th Judicial Circuit Page 3 h. The date you completed your calculation or determination that the medical bill submitted was the reasonable and customary amount in the medical community; i. The exact method utilized by which you calculated the correct amount; j. The date you first informed the Plaintiff of the above referenced information; 7. Please list the names, home addresses (if not presently employed by the Defendant), of each and every person who has or had any involvement whatsoever in the review of the medical bills submitted by the Plaintiff as a result of the accident alleged in the Complaint, for the determination that the bills were not reasonable, necessary or related to the accident alleged in the Complaint or who had any involvement in the determination as to the reasonable amount of said bill and state in which capacity each person was involved, the dates they were involved and the exact nature of their involvement. 8. Do you intend to call any expert witnesses at the time of trial in this case? If so, identify each witness setting forth his/her name, business address; describe his/her qualifications as an expert; state the subject matter upon which he/she is expected to testify; state the substance of the facts and opinions to which he/she is expected to testify and; give a summary of the grounds of each opinion. 9. As to the facts upon which you rely to support each and every affirmative defense which includes the use of documents to support same, with respect to each document, please state the date of the document, the type of document involved and its general subject matter and the names, business addresses, residence addresses (if not presently employed by Defendant) of all persons who prepared the documents and to whom the documents were directed and which affirmative defense to which the document applies. 10. As to the facts upon which you rely to support each and every affirmative defense which requires the testimony of an individual(s) to support same, please with respect to each such individual(s): a. the name(s), business address, residence addresses (if not presently employed by the Defendant), of all persons who will testify and/or bring evidence to support said affirmative defense; and b. the knowledge or anticipated testimony of said individual(s). 1/17/2024 10:43 AM Electronically Filed: Hillsborough County/13th Judicial Circuit Page 4 By Signing below, I hereby swear and affirm, under penalty of perjury, that the responses provided herein are true, correct, complete and accurate. ____________________________ STATE OF FLORIDA ) ) ss COUNTY OF_________ ) The foregoing instrument was acknowledged before me this ____ day of ________, 20 by ___________________________ who is personally known to me or who has produced as identification and who swears or affirms that the foregoing Answers to Interrogatories are true and correct. _________________________ Notary Public, State of Florida Print Notary Name My Commission Number: My Commission Expires: 1/17/2024 10:43 AM Electronically Filed: Hillsborough County/13th Judicial Circuit Page 5