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  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
  • Karen Echeverry Plaintiff vs. Michael R Howard Defendant Auto Negligence document preview
						
                                

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Filing # 77052765 E-Filed 08/27/2018 02:47:38 PM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA KAREN ECHEVERRY, CASE NO.: 18-001290 (13) Plaintiff, vs. MICHAEL R, HOWARD, Defendant. / DEFENDANT’S NOTICE OF SERVICE OF SUPPLEMENTAL INTERROGATORIES TO THE PLAINTIFF COMES NOW the Defendant, MICHAEL R. HOWARD, (hereinafter “Defendant’”), by and through her undersigned attorneys, and hereby requests the Plaintiff, KAREN ECHEVERRY, (hereinafter “Plaintiff’), to answer the attached Supplemental Interrogatories consisting of twenty-eight (28) Interrogatories under oath, in writing, and within the time allowed by the Florida Rules of Civil Procedure. CERTIFICATE OF SERVICE I HEREBY CERTIFY that on August 27, 2018, the foregoing was electronically filed with the Florida Courts E-Filing Portal and that as a registered participant of the Portal I have effectuated service through the Portal in compliance with Rule 2.516, Fla. R. Jud. Admin., on EVAN R. KRAKOWER, ESQ., 10061 NW 1* Court, Plantation, FL 33324, EvanRKrakowerPA@yahoo.com. *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 8/27/2018 2:47:38 PM.****NICHOLAS J. RYAN & ASSOCIATES 110 S. E. 6th Street, Suite 2100 Fort Lauderdale, FL 33301 Telephone: (954) 627-9401 E-mail for service (FL R. Jud. Admin. 2.516): flor.law-lisabaligian.294019@statefarm.com wy c : QQ Dawg By: Lisa J. Baligian, Esq. Florida Bar No.: 956181 Attorneys and Staff of Nicholas J. Ryan & Associates are Employees of the Corporate Law Department of State Farm Mutual Automobile Insurance CompanyDEFENDANT’S AUTOMOBILE INTERROGATORIES TO PLAINTIFR 1. What is the name and address of the person answering these Interrogatories, and, if applicable, the person’s official position or relationship with the party to whom the Interrogatories are directed? 2. Please state the complete name and address of any and all medical proivders you have seen or been treated by since the date of answering the last interrogatories including but not limited to the pain management doctor you testified about during your deposition.JURAT PAGE I hereby swear or affirm that I have read the foregoing Answers to Interrogatories and that said Answers are true and correct and to the best of my knowledge and belief this day of > 2018. STATE OF FLORIDA ) ) Ss: COUNTY OF ) Before me, the undersigned authority personally appeared who is personally known to me or has produced the following identification and who has signed the foregoing Answers to Interrogatories swearing or affirming that said answers are true and correct to the best of his knowledge and belief. Name: Notary Public, State of Florida Commission No: My Commission Expires: