On April 16, 2024 a
Letter,Correspondence
was filed
involving a dispute between
The Kidwell Group Llc,
and
State Farm Florida Insurance Company,
for 19P - PERSONAL INJURY PROTECTION
in the District Court of Seminole County.
Preview
April 16, 2024
2024SC002346
VIA SERVICE OF PROCESS
STATE FARM FLORIDA INSURANCE COMPANY
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RE: THE KIDWELL GROUP LLC d/b/a AIR QUALITY ASSESSORS OF
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FLORIDA a/a/o Kenneth Welch v. STATE FARM FLORIDA INSURANCE
COMPANY
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COUNTY: SEMINOLE
CASE NO.:
F I
To Whom It May Concern:
O F
Please be advised that we would like to take the deposition of Defendant’s Corporate
Representative with knowledge of the following:
1.
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2.
3.
N Knowledge of and explanation for all responses to interrogatories;
Why Defendant has been prejudiced with respect to this claim;
What post loss conditions have not been complied with;
4. Knowledge of and basis for all affirmative defenses and exclusions;
5. Knowledge as to all allegations contained in the complaint, answer and
6. Affirmative defenses;
7. All documents requested prior to suit and reason for requesting same;
8. All estimates prepared by Defendant;
9. The insurance company’s inspection of the property;
10. Why the insurer could not determine coverage based on the information provided
by the insured;
11. The subject claims file;
12. The subject policy of insurance;
13. Explanation of all policy language relied upon to deny coverage;
14. The pre-loss inspection and photographs of the insured property;
15. Explanation and understanding of all documents produced in response to request
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for production;
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16. The inspection of the insured property after the loss.
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17. The payments made on the claim.
18.
19.
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All reasons for coverage denial
Any and all affidavits Defendant filed in this matter.
20.
O FAny and all Affirmative Defenses raised (or reserved) by Defendant in this
matter, including all supporting bases and evidence.
21.
U N The policy of insurance for the subject property, including but not limited to
inception of the policy and subsequent modifications, amendments and notices.
If Defendant has more than one corporate representative with knowledge regarding these
topics, please provide available dates for each individual with knowledge of those topics. Within
the next ten days, please respond to chelsea@chadbarrlaw.com and Dalton@chadbarrlaw.com
and provide my office with you and your client’s availability to appear for deposition. Should
you have any questions, please do not hesitate to contact my office. Thank you for your
cooperation and prompt attention regarding this matter.
Sincerely,
/s/ Dalton Gray
Dalton Gray, Esquire
IAL
F I C
O F
U N
Document Filed Date
April 16, 2024
Case Filing Date
April 16, 2024
Category
19P - PERSONAL INJURY PROTECTION
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