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  • Rigby Owen, Jr., Lucinda Owen VS. Triple-B RV Park, Lakeside, LLC, Philip W. Bullock, Jr., Samantha Bullock, Sheri Bullock, Jeff Bullock, Paul Bullock, Tara Bullock all individually and as members/managers of Triple- B Rv Park, Lakeside, LLCInj/Damage-Other Injury or Damage >$200,000 document preview
  • Rigby Owen, Jr., Lucinda Owen VS. Triple-B RV Park, Lakeside, LLC, Philip W. Bullock, Jr., Samantha Bullock, Sheri Bullock, Jeff Bullock, Paul Bullock, Tara Bullock all individually and as members/managers of Triple- B Rv Park, Lakeside, LLCInj/Damage-Other Injury or Damage >$200,000 document preview
						
                                

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Received and E-Filed for Record 10/17/2019 12:02 PM Melisa Miller, District Clerk Montgomery County, Texas Deputy Clerk, Vanessa Medina CAUSE NO. 19-05-07051-CV RIGBY OWEN, JR. and LUCINDA § IN THE DISTRICT COURT OF OWEN § § Plaintiffs, § § VS. § § TRIPLE-B RV PARK, LAKESIDE, § LLC, PHILIP W. BULLOCK, JR., § MONTGOMERY COUNTY, TEXAS SAMANTHA BULLOCK, § SHERI BULLOCK, § JEFF BULLOCK, § PAUL BULLOCK, § TARA BULLOCK, all individually and as § members/mangers of TRIPLE-B RV PARK, § LAKESIDE § § 284TH JUDICIAL DISTRICT Defendants. § ORDER ON DEFENDANTS TRIPLE-B RV PARK, LAKESIDE, LLC AND PHILIP W. BULLOCK, JR.’S MOTION TO COMPEL PLAINTIFFS TO PROVIDE A BRIEF SUMMARY OF THE BASIS FOR THEIR OPINIONS AND PRODUCE ALL DOCUMENTS, TANGIBLE THINGS, REPORTS, MODELS, OR DATA COMPILATIONS, FACTUAL OBSERVATIONS, TESTS, SUPPORTING DATA CALCULATIONS, AND PHOTOGRAPHS THAT HAVE BEEN PROVIDED TO, REVIEWED BY OR PREPARED BY OR PREPARED FOR THEIR EXPERT IN ANTICIPATION OF THE EXPERT’S TESTIMONY CAME ON to be heard Defendants Triple-B RV Park, Lakeside, LLC and Philip W. Bullock, Jr.’s Motion to Compel Plaintiffs to Produce a Brief Summary of the Basis for their Opinions and Produce all Documents, Tangible Things, Reports, Models, or Data Compilations, Factual Observations, Tests, Supporting Date Calculations, and Photographs that have been Provided to, Reviewed by or Prepared for their Experts in Anticipation of the Expert’s Testimony, and the Court after review of pleadings and hearing the arguments of counsel is of the opinion that said Motion should be granted. It is therefore ordered, adjudged and decreed that Plaintiffs be compelled to produce all documents, tangible things, reports, models, or data compilations that have been provided to, reviewed by or prepared by or for their expert in anticipation of the expert’s testimony and provide a brief summary of the basis for their opinions within 10 days of the date of this order. SIGNED this day of , 2019. JUDGE PRESIDING APPROVED AS SUBMITTED: KENNETH A. SCOTT, P.C. By: ______________________________ KENNETH A. SCOTT State Bar No. 00791629 Ken@kscott-law.com 14711 Pebble Bend Drive, Suite 100 Houston, Texas 77068 Telephone: (713) 369-2722 Facsimile: (713) 868-9444 ATTORNEYS FOR DEFENDANTS TRIPLE-B RV PARK, LAKESIDE, LLC AND PHILIP W. BULLOCK, JR.