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  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
  • WEIDIG, BRIAN vs. FLORIDA INSURANCE GUARANTY ASSOCIATIONDamages document preview
						
                                

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Filing # 197200103 E-Filed 04/29/2024 02:11:24 PM IN THE CIRCUIT COURT OF THE 20TH JUDICIAL CIRCUIT IN AND FOR CHARLOTTE COUNTY, FLORIDA BRIAN & ROBERTA WEIDIG, CASE NO.: 23-001965CA Plaintiffs, v. FLORIDA INSURANCE GUARANTY ASSOCIATION, F/K/A UNITED PROPERTY & CASUALTY INSURANCE COMPANY, Defendant. / NOTICE OF SERVICE OF DEFENDANT, FLORIDA INSURANCE GUARANTY ASSOCIATION’S, EXPERT WITNESS INTERROGATORIES TO PLAINTIFFS COMES NOW, Defendant, FLORIDA INSURANCE GUARANTY ASSOCIATION, INC. (“FIGA”), by and through undersigned counsel, and pursuant to the Florida Rules of Civil Procedures, files this, its Notice of Service of FIGA’S Expert Witness Interrogatories to Plaintiffs. CERTIFICATE OF SERVICE WE HEREBY CERTIFY that a true and correct copy of the foregoing is being served via e-mail through the Florida E-Portal System to: Joshua Lopez, Esq., Your Insurance Attorney, PLLC, Attorneys for Plaintiffs, yial 8@yourinsuranceattorney.com: eservice@yourinsuranceattorney.com; rsotomayor@yourinsuranceattorney.com on April 29, 2024. WALTON LANTAFF SCHROEDER & CARSON LLP Attorneys for Defendant, FIGA 6700 North Andrews Avenue, Suite 404 Fort Lauderdale, Florida 33309 Tel: (954) 463-8456 Fax: (786) 693-8333 By: 4s/__ Richard G. Rosenblum RICHARD G. ROSENBLUM, ESQUIRE Florida Bar No.: 363065 Primary Email: rrosenblum@waltonlantaff.com Secondary Email: bmcartor@waltonlantaff.com FILED: 04/29/2024 03:22 PM: Roger D. Eaton, Clerk of the Circuit Court, Charlotte County, FL DIN27 CASE NO.: 23-001965CA DEFENDANT, FLORIDA INSURANCE GUARANTY ASSOCIATION’S, EXPERT WITNESS INTERROGATORIES TO PLAINTIFFS IT IS INTENDED BY THESE INTERROGATORIES TO DISCOVER ANSWERS NOT ONLY WITHIN YOUR OWN KNOWLEDGE OR OBTAINABLE BY YOU, BUT ANY INFORMATION OR KNOWLEDGE IN THE POSSESSION OF, OR OBTAINABLE BY YOUR ATTORNEYS, INVESTIGATORS, REPRESENTATIVES, OR ANYONE ACTING IN OR ON YOUR BEHALF SPECIFICALLY, THE KNOWLEDGE OR INFORMATION PROVIDED OR ABLE TO BE PROVIDED BY PLAINTIFF IS SOUGHT. 1 State the name, address and profession of each person whom you expect to call as an expert witness at trial. ANSWER: 2 With regard to each expert listed above, state his/her background, education, and experience which qualifies him/her to testify as an expert. ANSWER: 3 Give the name or title of each paper which each expert has authored in the area of his/her expertise. ANSWER: FILED: 04/29/2024 03:22 PM: Roger D. Eaton, Clerk of the Circuit Court, Charlotte County, FL DIN27 CASE NO.: 23-001965CA 4 State the name, volume and page number of the publication in which each article or paper listed above can be found. ANSWER: 5 State the substance of the facts to which each expert listed above is expected to testify. ANSWER: 6. State the opinion to which each expert listed above is expected to testify. ANSWER: Give a summary of the grounds or basis for each opinion stated above. ANSWER: FILED: 04/29/2024 03:22 PM: Roger D. Eaton, Clerk of the Circuit Court, Charlotte County, FL DIN27 CASE NO.: 23-001965CA IN WITNESS WHEREOF, the Plaintiff, ROBERTA WEIDIG, has executed the foregoing answers to FIGA’S Expert Witness Interrogatories and states that same are true and correct to the best of the undersigned’s knowledge and belief. ROBERTA WEIDIG STATE OF FLORIDA COUNTY OF BEFORE ME, the undersigned authority personally appeared, physical presence, or online notarization, , who is being duly sworn according to law, deposes and says that he/she executed the foregoing Answers to FIGA’S Expert Witness Interrogatories and that they are true and correct to the best of his/her information and belief. IN WITNESS WHEREOF, I have hereunto set my hand and affixed the seal of my office; in the County and State last aforesaid, this day of , 2024. Personally known to me; or Produced as identification Type of identification produced NOTARY PUBLIC Printed Name of Notary Public My Commission Expires: FILED: 04/29/2024 03:22 PM: Roger D. Eaton, Clerk of the Circuit Court, Charlotte County, FL DIN27 CASE NO.: 23-001965CA IN WITNESS WHEREOF, the Plaintiff, BRIAN WEIDIG, has executed the foregoing answers to FIGA’S Expert Witness Interrogatories and states that same are true and correct to the best of the undersigned’s knowledge and belief. BRIAN WEIDIG STATE OF FLORIDA COUNTY OF BEFORE ME, the undersigned authority personally appeared, physical presence, or online notarization, , who is being duly sworn according to law, deposes and says that he/she executed the foregoing Answers to FIGA’S Expert Witness Interrogatories and that they are true and correct to the best of his/her information and belief. IN WITNESS WHEREOF, I have hereunto set my hand and affixed the seal of my office; in the County and State last aforesaid, this day of , 2024. Personally known to me; or Produced as identification Type of identification produced NOTARY PUBLIC Printed Name of Notary Public My Commission Expires: FILED: 04/29/2024 03:22 PM: Roger D. Eaton, Clerk of the Circuit Court, Charlotte County, FL DIN27