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  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
  • Reginald Lauriston, et al Plaintiff vs. Universal Property & Casualty Insurance Company Defendant 3 document preview
						
                                

Preview

Filing # 127783268 E-Filed 05/28/2021 04:09:00 PM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NUMBER: REGINALD LAURISTON AND MARIE-LYNE ATHIS, Plaintiff, V. UNIVERSAL PROPERTY & CASUALTY INSURANCE COMPANY, Defendant. I PLAINTIFF'S FIRST REQUEST FOR ADMISSIONS TO DEFENDANT Plaintiff, Reginald Lauriston and Marie-Lyne Athis, by and through the undersigned counsel, under Florida Rule of Civil Procedure 1.370, submits to Defendant, Universal Property & Casualty Insurance Company, the following requests for admissions for Defendant to admit or deny within forty-five (45) days of the service of the Complaint herein: 1. Admit that you issued a policy of homeowners insurance that provided insurance coverage to a property located at 7763 Plantation Blvd, Miramar, Florida 33023. RESPONSE: 2. Admit that the homeowners insurance policy you issued, which is described in the Complaint, provided coverage for hurricane damage. RESPONSE: *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 05/28/2021 04:08:57 PM.**** 3. Admit that the insurance policy you issued to Plaintiff for the property located at 7763 Plantation Blvd, Miramar, Florida 33023 was in full force and effect as of September 10th, 2017. RESPONSE: 4. Admit that the hurricane loss described in the Complaint, which occurred on or about September 10th, 2017, was a covered event pursuant to the terms of the subject policy. RESPONSE: 5. Admit that any payment you issued on this claim was in accordance with the terms of the insurance policy at issue in this lawsuit. RESPONSE: 6. Admit that above-named Defendant is properly named in this action. RESPONSE: 7. Admit that Defendant's adjuster(s) who worked on this claim did so in accordance with Fla. Stat. § 626.878. RESPONSE: CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of this document will be served on Defendant along with the Summons and the Complaint in this action. Date: May 28, 2021 /s/Patrick Cassady COHEN LAW GROUP Patrick Cassady, Esq. Florida Bar Number: 1002935 FOR THE FIRM 350 North Lake Destiny Road Maitland, Florida 32751 Phone: (407) 478-4878 Fax: (407) 478-0204 Primary: Secondary: