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  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
  • NONKIN, ANN MARIE v. PESCHEL, MICHAEL Et AlT90 - Torts - All other document preview
						
                                

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DOCKET NO. LLI-CV14-6009898-S SUPERIOR COURT ANN MARIE NONKIN JUDICIAL DISTRICT OF LITCHFIELD vs. AT LITCHFIELD MICHAEL PESCHEL, ET AL MAY 13, 2015 DISCLOSURE OF EXPERT WITNEESS Pursuant to Practice Book § 13-4(4), the Plaintiff hereby discloses her expert witness as follows: A. The expert she expects to call to testi at trial is as follows: Connecticut Building Company *2 106 Anderson Road Morris, Connecticut 06763 a5 860-459-6197 mark. fenn@connecticutbuildingco.com www.connecticutbuildingco.com Mark Fenn: Principal B. The subject matter of the testimony of said expert is as follows: Mr. Mark Fenn will testify as to the current conditions of the property known as 128 Millerton Road, Lakeville, Connecticut. Mr. Fenn is also prepared to testify as to the water damage and the mold damage done to said property and what is needed to be done to said property to rectify the water damage and the mold damage done to the property home. C. The substance of the fact and opinions on which the above expert is expected to estify is as follow Mr. Mark Fenn will testify as to the current conditions of the property known as 128 Millerton Road, Lakeville, Connecticut. Mr. Fenn is also prepared to testify as to the water damage and the mold damage done to said property and what is needed to be done to said property to rectify the water damage and the mold damage done to the property home. Namely Mr. Fenn will testify as what the water damaged in Ms. Nonkin’s a? oR EB basement of her home, the mold that has occurred because of said water damage and what 35 go “6 will need to be done to bring the property back to its previous condition. 2 D._ The grounds for the opinions on which the expert is expected to testify: ao =F Bo Based upon Mr. Fenn’s educational background, years of experience of construction and remodeling properties, his knowledge of plumbing and mold removal and his visits to subject property, Mr. Fenn is prepared to testify as to his opinion of the damage done to the basement, and growth of the mold in the basement. (See attached bio on Mr. Fenn) . Estimate will be provided as soon as it is made available. PLAINTIFF By William A. Conti Her Attorney CERTIFICATION OF SERVICE [hereby certify that a copy of the foregoing was sent to the following counsel and/or pro se parties of record by first class mail, postage prepaid, this 13" day of May 2015: William C. Franklin, Esq., Cramer & Anderson, 46 West Street, P.O. Box 278, Litchfield CT 06759; Peter Ponziani, Esq., Litchfield Cavo, 82 Hopmeadow Street, Suite 210, Simsbury, CT 06089. — oe os ne SB §8 35 William A. Conti zo “5 Commissioner of the Superior Court ez ao =e Eo eo i Traditional Carpentry. Classically Redefined. Mark Fenn: Pri 860-459-6197 “ . mark. www. 106 Anderson Road , Morri4, Connecticut 06763 HIC Number: 0636169 yO fase ves | me oF nel ne Pedi i Professional: Licensed Professional Contractor in the State of Connecticut Education: Mr. Fenn went to Oliver Wolcott Tech for plumbing. During the four years of school, Mr. Fenn worked for a licensed Plumber. He then went to UCONN while continuing to work for Fenn Building as a contractor. Experience: Mr. Fenn has had approximately 15 years working in both plumbing and construction. He has worked the past 13 years primarily as a contractor, working for Fenn Building as a project manager and later became a partner in said business. Approximately, 3 years ago he went into business for himself working as the Principal of Connecticut Building Company. He has personally worked on new construction, remodeling, renovation, including mold removal on over 600 different homes over the past 15 years. For further review of Mr. Fenn’s work and experience please see his website listed above.