arrow left
arrow right
  • Debra Hines Plaintiff vs. Homeowners Choice Prop & Casualty Ins Co Defendant Contract and Indebtedness document preview
  • Debra Hines Plaintiff vs. Homeowners Choice Prop & Casualty Ins Co Defendant Contract and Indebtedness document preview
						
                                

Preview

Filing # 52540397 E-Filed 02/15/2017 02:36:18 PM IN THE COUNTY COURT OF THE 17TH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, CIVIL DIVISION DEBRA HINES CASE NO.: CACE-14-016655 Plaintiff, v. HOMEOWNERS CHOICE PROPERTY & CASUALTY INSURANCE COMPANY, Defendant. / DEFENDANT’S REQUEST FOR ENTRY UPON LAND COMES NOW, the Defendant, HOMEOWNERS CHOICE PROPERTY & CASUALTY INSURANCE COMPANY, by and through its undersigned attorneys, pursuant to Fla. R. Civ. P. 1.350, and requests Plaintiff, DEBRA HINES, permit entry upon the land designated below for the purpose of inspection and measuring, surveying, and/or photographing the property and any structures thereon, in connection with the above-referenced cause, and within the scope of the Fla. R. Civ. P. 1.280(b). 1. Property designated for inspection: 3816 S. Lake Terrace, Miramar, Broward County, FL 33023. 2. Inspection requested: Defendant requests the Plaintiffs permit entry upon the land, property, and residence identified above for the purposes of inspection, measuring, and surveying the property and any structures thereon. 3. Time, place and manner of inspection: Defendant requires access to the exterior of the residence and any structures on the property identified above for the purposes of a visual, noninvasive inspection, measurement and survey of the residence and any structures on the property to be conducted by a representative of ATC Cardo. Defendant requests Plaintiffs permit inspection of the subject property as described above at a mutually convenient date and time for all parties and persons involved to be coordinated by counsel for the respective parties. *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 2/15/2017 2:36:18 PM.****CERTIFICATE OF SERVICE WE HEREBY CERTIFY that a true and correct copy of the foregoing has been forwarded by electronic mail to: Ryan H. Sherman, Esq. at eserviceSLPA@gmail.com and Morgan Barfield at Service@corlessbarfield.com on this 15" day of February, 2017. By: HCP.14211 GROELLE & SALMON, P.A. Attorneys for Defendant Waterford Plaza 7650 W. Courtney Campbell Causeway Suite 800 Tampa, FL 33607 (813) 849-7200 (telephone) (813) 849-7201 (fax) gstcourtdocs@gspalaw.com rschulte@gspalaw.com Teh T Ddbcber ROBERT T. SCHULTE, ESQ. FBN: 88819