arrow left
arrow right
  • Jeanette Summers Plaintiff vs. Seaside Beach Club Condominium Assn Inc Defendant Neg - Premises Liability Commercial document preview
  • Jeanette Summers Plaintiff vs. Seaside Beach Club Condominium Assn Inc Defendant Neg - Premises Liability Commercial document preview
  • Jeanette Summers Plaintiff vs. Seaside Beach Club Condominium Assn Inc Defendant Neg - Premises Liability Commercial document preview
						
                                

Preview

Filing # 55918257 E-Filed 05/03/2017 01:18:41 PM IN THE CIRCUIT COURT OF THE 17" JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO. 16-022598 (09) JEANETTE SUMMERS, Plaintiff, vs. SEASIDE BEACH CLUB CONDO- MINIUM ASSOCIATION, INC., Defendant. / NOTICE OF DISCLOSURE OF EXPERT WITNESSES COMES NOW the Plaintiff by and through her undersigned counsel and files this her Notice of Disclosure of Expert Witnesses and states that although she has not retained any expert witnesses, Plaintiff may call any of the following treating physicians: 1. Scott Silverstein, D. O. Innovative Health & Wellness 729 East Atlantic Boulevard Pompano Beach, FL 33060 Dr. Silverstein is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 2. Stephen Silverstein, D. O. Innovative Health & Wellness 729 East Atlantic Boulevard Pompano Beach, FL 33060 Dr. Silverstein is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 3. S. Richard Zavoyski, M. D. Meli Orthopedic Centers of Excellence *4* FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 5/3/2017 1:18:41 PM.****#A-39 4701 North Federal Highway Fort Lauderdale, FL 33308 Dr. Zavoyski is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 4. Harold Siegel, D. O. Broward Health Imperial Point 6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Siegel is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 5. George P. Azar, M. D. Broward Health Imperial Point 6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Azar is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 6. Macie J. Ferenc, D. O. Broward Health Imperial Point 6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Ferenc is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 7. Richmond Estacio, M. D. Broward Health Imperial Point 6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Estacio is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 8. Jonathan Kamerlink, M. D. Broward Health Imperial Point6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Kamerlink is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. 9. Nicholas M. Arfaras, M. D. Broward Health Imperial Point 6401 North Federal Highway Fort Lauderdale, FL 33308 Dr. Arfaras is a physician who will testify concerning the Plaintiff's past medical care and treatment, present medical condition and future medical care and treatment, permanency and reasonableness of medical charges. | HEREBY CERTIFY that a copy of the foregoing has been sent via e-mail to GEORGE E. HEBERT, JR., ESQUIRE, attorney for Defendant, at George.hebert@wpricepa.com and Kari.stratton@wopricepa.com on this 3% day of May, 2017. Respectfully submitted, LAW OFFICES OF WILLIAM C. RUGGIERO Attorneys for Plaintiff Suite 703 - Museum Plaza 200 South Andrews Avenue Fort Lauderdale, Florida 33301 (954) 462-2300 E-mail Ruggiero@WCRIaw.com Secondary e-mail mnelson@WCRlaw.com By: isi WilamC Ripgeo WILLIAM C. RUGGIERO WCR:mrn Florida Bar No. 878499