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  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
						
                                

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Filing # 172384971 E-Filed 05/03/2023 04:39:14 PM 92358-5/18377291 IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA ZASKIA MERCADO, Plaintiff, CASE NO. 2019-CA-001939-ON vs. CHEDDAR'S CASUAL CAFÉ, INC., Defendant. ____________________________/ DEFENDANT’S SUPPLEMENTAL REQUEST TO PRODUCE PURSUANT to Fla. R. Civ. P., 1.350, the Plaintiff, Zaskia Mercado, is requested to produce to the Defendant, Cheddar's Casual Café, Inc., in the time required by Fla. R. Civ. P., 1.350, at the offices of the undersigned counsel, the following: 1. Any and all new medical, physician, treater, hospital and/or mental health reports and/or records since your last discovery response or that have never been provided to Defendants and that were received by the Plaintiff(s), Plaintiff(s)’ attorneys, investigators, agents, servants, or employees, from doctors, physicians, therapists, mental health counselors or anyone else who has examined or rendered treatment to you for injuries incurred as a result of the accident or incident which is the subject matter of this lawsuit. 2. All medical bills, doctor bills, hospital bills, drug bills, nursing bills, ambulance bills, mental health bills, therapy bills, and bills for similar expenses incurred since your last discovery response or that have never been provided to Defendants that are a result of and related to the injuries which are or may be the subject matter of this lawsuit. 3. All laser color copies of any and all photographs since your last discovery response that are in the possession of the Plaintiff(s), Plaintiff(s)’ attorneys, investigators, agents, servants, or employees that are in any manner related to the subject matter of this lawsuit, specifically including but not limited to all photographs of the parties, prosthetic(s), custom-made innersoles and/or shoes and/or mobility devices. If none in your possession, but the item(s) exist, please so state, including the name and address of the party who maintains possession. 4. Laser copies of all photographs since your last discovery response depicting any change in the physical appearance of the Plaintiff(s) that was allegedly caused by the act or acts of the Defendant(s). 5. All documentary evidence of benefits or payments (i.e. medical lien) made to the Plaintiff(s) or on Plaintiff(s) behalf pursuant to Florida Statute. CASE NO. 2019-CA-001939-ON 6. All other documents in the possession or control of the Plaintiff(s) since your last discovery response that support the Plaintiff(s)’ claims that the Defendant(s) are liable for the damages being claimed in this case. WE HEREBY CERTIFY that a copy hereof has been electronically served via Florida ePortal to: Manuel Stefan, Esquire, mstefan@forthepeople.com, cvictor@forthepeople.com; on this 3rd day of May, 2023. /s/ Kurt M. Spengler Kurt M. Spengler, Esquire Florida Bar No. 717665 Melissa T. Woodward, Esquire Florida Bar No. 022143 WICKER SMITH O'HARA MCCOY & FORD, P.A. Attorneys for Cheddar's Casual Café, Inc. 390 N. Orange Ave., Suite 1000 Orlando, FL 32801 Phone: (407) 843-3939 Fax: (407) 649-8118 ORLcrtpleadings@wickersmith.com 2