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  • HORNER, MICHAEL Contract and Indebtedness document preview
  • HORNER, MICHAEL Contract and Indebtedness document preview
  • HORNER, MICHAEL Contract and Indebtedness document preview
  • HORNER, MICHAEL Contract and Indebtedness document preview
  • HORNER, MICHAEL Contract and Indebtedness document preview
  • HORNER, MICHAEL Contract and Indebtedness document preview
						
                                

Preview

COUNTY COURT . LAKE COUNTY, FLORIDA < CASE NO: 35-2019-SC-001327-AXXX-XX MICHAEL HORNER 441 VINCENT DR. MOUNT DORA, FL 32757 (Plaintiff) Vs. UNIVERSAL INSURANCE HOLDINGS, INC. d/b/a: UNIVERSAL INSURANCE HOLDINGS COMPANY OF FLORIDA UNIVERSAL PROPERTY AND CASUALITY INSURANCE COMPANY Attorney for defendant: Jason r. Unbanowicz Esq. Universal Property & Casualty Ins. Co 491 Montgomery Place Suite: 2001 Altemonte Springs, FL 32714 Leb W Le 100 Ou (Defendant) REQUEST TO AMEND CLAIM Plaintiff (MICHAEL HORNER) herby requests the court to allow for revision of the orginal claim for the following reasons. (A) Request to change damages amount from $5000 to $8000. Starting January 1, 2020 small claims court changed it rules, and increased the maximum amount of the courts ability to rule, from $5000 to $8000. (B) Ina pretrial confrence the presiding judge offered the plaintiff the option to combine elements of multiple lawsuits filed by the Plaintiff into one, and only one case. The Plaintiff respectfully asks to the court to allow the following additions of damages incurred. Due to the size of the tree, and the odd way in which the tree split, a professional tree, and debris removal company had to be hired. A crane had to be used to lift the tree off the house safely to prevent further damage to the home from occuring. A massive limb caught the electric wire to the home, and ripped the electric services off the house. The plaintiff seeks reimbursement from the defendant for these added claims. Photos marked "Exhibit 5" are attached.. Rg.2 Horner VS. Universal Insurance Holdings, inc. Case No: 35-2019-sc-001327-Axxx-xx The Plaintiff has filed this request with the court on October 7th, 2020. CERTIFICATE OF SERVICE | HEREBY CERTIFY that a true and correct copy of the foregoing request for amendments was furnished to the defendant by mail, and Email. Service to: Jason Urbanowicz Esq. counsel for defendant Universal Property & Casualty Ins. Co. upciceserviceO5@universalproperty.com, 491 Montgomery Place. Ste: 2001 Altemonte Springs, FL 32714 Lie. MICHAEL HORNER (PLAINTIFF) 441 VINCENT DR. MOUNT DORA, FL 32757“EXHIBIT 5"