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  • PENA, YSI v. THOMAS, DIANA Et AlV01 - Vehicular - Motor Vehicles - Driver and/or Passenger(s) vs. Driver(s) document preview
  • PENA, YSI v. THOMAS, DIANA Et AlV01 - Vehicular - Motor Vehicles - Driver and/or Passenger(s) vs. Driver(s) document preview
  • PENA, YSI v. THOMAS, DIANA Et AlV01 - Vehicular - Motor Vehicles - Driver and/or Passenger(s) vs. Driver(s) document preview
  • PENA, YSI v. THOMAS, DIANA Et AlV01 - Vehicular - Motor Vehicles - Driver and/or Passenger(s) vs. Driver(s) document preview
						
                                

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D.N. FBT-CV23-6123397-S : SUPERIOR COURT YSI PENA :J.D.OF FAIRFIELD VS. :AT BRIDGEPORT DIANA THOMAS ET AL : May 13, 2024 MOTION TO COMPEL Pursuant to the Connecticut Practice Book Section 13-14(a), the defendant, GEICO General Insurance Company wherein respectfully requests that the court compel the plaintiffs, to submit to a deposition in connection with the above-captioned matter. In support of this motion, the defendant has noticed the plaintiffs’ depositions on October 12, 2023, December 6, 2023, January 31, 2024, February 29, 2024 and April 25,2024 all of which did not go forward. Trial in this matter is currently scheduled for October 3, 2024. WHEREFORE, the undersigned defendant respectfully requests that this court compel the plaintiffs’ depositions for Ysi Pena to take place as currently noticed on May 29, 2024, at KD Law Group,3858 Main St. Bridgeport, CT. THE DEFENDANT(S) GEICO General Insurance Company By: /s/427320 Sarah Skelcher, Esq. Mazza and Welch 99 Hawley Lane, STE 1103 Stratford, Connecticut 06614 Juris No. 408555/203-331-1505 Sensitivity: Public CERTIFICATION I certify that a copy of this document was or will immediately be mailed or delivered electronically or non-electronically to all attorneys and self-represented parties of record and that all written consent for electronic delivery was received from all attorneys and self-represented parties of record who received or will immediately be receiving electronic delivery. Michael Denkovich, Esq. Karayiannis & Denkovich PC PO Box 229, Bridgeport, Connecticut 06601 mrd@esqmail.com Anne Levasseur, Law Offices of Dennis J. Rinaldi 2319 Whitney Avenue, Suite 3-A, Hamden, Connecticut 06518 lomsg.hamden@allstate.com ____/s/427320_____________ Sarah Skelcher, Esq. Sensitivity: Public