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  • DIAZ, MARCELO vs. ADVENTIST HEALTH SYSTEM/SUNBELT INCet al. CA - Malpractice - Medical document preview
  • DIAZ, MARCELO vs. ADVENTIST HEALTH SYSTEM/SUNBELT INCet al. CA - Malpractice - Medical document preview
  • DIAZ, MARCELO vs. ADVENTIST HEALTH SYSTEM/SUNBELT INCet al. CA - Malpractice - Medical document preview
  • DIAZ, MARCELO vs. ADVENTIST HEALTH SYSTEM/SUNBELT INCet al. CA - Malpractice - Medical document preview
						
                                

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Filing #56973867 E-Filed 05/26/2017 10:19:43 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA MARCELO DIAZ, as Personal Representative CASE NO: 2008-CA-11228-0 of the Estate of HERMINIA DIAZ Plaintiff, vs. HARINATH SHEELA, M.D.; DIGESTIVE AND LIVER CENTER OF FLORIDA, P.A. Defendants, / PLAINTIFF’S MOTION TO COMPEL MEDIATION MARCELO DIAZ, as Personal Representative of the Estate of Plaintiff, HERMINIA DIAZ, by and through undersigned counsel, and requests this Honorable Court schedule a Case Management Conference and states as follows: 1 This case was placed on the three-week trial docket commencing August 21, 2017 and the Court. 2 Pursuant to this Honorable Court’s Uniform Order Setting Case for Jury the Trial and Pre-Trial Conference and Requiring Pre-Trial Matters to be Completed, Pretrial on July case was referred to mediation with instructions to mediate prior to the 18, 2017. 3 The Plaintiff has communicated with defense counsel in an attempt to the required mediation. Defense counsel has informed the Plaintiff that coordinate that mediation Defendant is not agreeable to scheduling mediation and is of the opinion would be pointless given the parties respective positions in the case. WHEREFORE, Plaintiff requests this Honorable Court compel the Defendant to appear at mediation prior to the scheduled Pre-trial Conference. I HEREBY CERTIFY that on foregoing with the Clerk of the Cou h day of May, 2017 | electronically filed the y using the E-Filing Portal System. I also forwarded a copy via email transmission to Rogelio Fontela, Esq. of Dennis, Jackson, ssee, FL 32317 at Martin & Fontela, P.A., 1591 Summit Lake Drive, Suite 200, Tallaha roger@djmf-law.com, ben@djmf-law.com, Jessica@djmf-law.cg nikki@djmf- law.com. ZO3 Carlos 2 -Arguy Dig grfelles & or Mills AyD Orlando, FL 32 8 03 (407)705-2880 Florida Bar No. 0500569 Attorney for Plaintiff mail@theorlandolawyers.com