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  • GRAPPIN CLINIC OF CHIROPRACTIC PA vs PROGRESSIVE SELECT INSURANCE COMPANY SMALL CLAIMS BETWEEN $100-$500 document preview
  • GRAPPIN CLINIC OF CHIROPRACTIC PA vs PROGRESSIVE SELECT INSURANCE COMPANY SMALL CLAIMS BETWEEN $100-$500 document preview
  • GRAPPIN CLINIC OF CHIROPRACTIC PA vs PROGRESSIVE SELECT INSURANCE COMPANY SMALL CLAIMS BETWEEN $100-$500 document preview
  • GRAPPIN CLINIC OF CHIROPRACTIC PA vs PROGRESSIVE SELECT INSURANCE COMPANY SMALL CLAIMS BETWEEN $100-$500 document preview
						
                                

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Filing # 154428444 E-Filed 08/01/2022 01:34:30 PM IN THE COUNTY COURT IN AND FOR MIAMI-DADE COUNTY, FLORIDA GRAPPIN CLINIC OF CHIROPRACTIC, CASE NO: 2022-014501 SP 26 (05) P.A. A/A/O LISA WILLIAMSON, CIVIL DIVISION Plaintiff, Vs. PROGRESSIVE SELECT INSURANCE COMPANY, Defendant. ___________________________________/ NOTICE OF APPEARANCE AND DESIGNATION OF E‐MAIL ADDRESSES PURSUANT TO RULE 2.516 YOU ARE NOTIFIED that the undersigned is appearing as counsel for Defendant, PROGRESSIVE SELECT INSURANCE COMPANY, and copies of pleadings, motions and other papers should be served on the undersigned. The undersigned is a full time staff counsel attorney for Progressive Casualty Insurance Company. Furthermore, Defendant, PROGRESSIVE SELECT INSURANCE COMPANY, by and through the undersigned counsel hereby designates, pursuant to Rule 2.516 (effective September 1, 2012), the following e‐mail addresses for the purpose of service of all documents required to be served pursuant to Rule 2.516 in this proceeding upon the following three E-Mail addresses: Primary E‐Mail Address: FLPIPHC-Miami@progressive.com Secondary E‐Mail Address: Andres_Millon@progressive.com Third E-Mail Address: KELLY_FERNANDEZ@progressive.com 217791267 Filed 02/15/2024 05:42 PM - Karen E. Rushing, Clerk of the Circuit Court, Sarasota County, FL CASE NO: 2022-014501 SP 26 (05) CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing has been furnished via E-Mail on August 1, 2022 to Gregory J. Blackburn, Esq., Reifkind, Thompson & Rudzinski, LLP, Attorney for Plaintiff, Grappin Clinic of Chiropractic, P.A., a/a/o Lisa Williamson, PipService@rtrlaw.com, (954) 370-5152/(954) 370-1992 (F). Progressive PIP House Counsel Attorneys for Defendant 9675 NW 117 Avenue Suite 200 Medley, FL 33178 (305) 423-3890 (Asst.)/(305) 908-8441 (Direct) Fax: (305) 887-2781 SERVICE DESIGNATIONS: Primary: FLPIPHC-Miami@progressive.com Secondary Andres_Millon@progressive.com By: /s/ Michael P. Hughes FBN:84275 for ANDRES MILLON, ESQUIRE Florida Bar No. 112649 “Salaried Employees of Progressive Casualty Insurance Company” 2 217791267