On December 04, 2019 a
Trial Materials
was filed
involving a dispute between
Carr, Jamie,
Carr, Jennifer,
and
Gulfstream Property & Casualty Insurance Company,
for INSURANCE CLAIM
in the District Court of Bay County.
Preview
Filing # 127615130 E-Filed 05/26/2021 04:56:00 PM
IN THE CIRCUIT COURT OF THE
1474 JUDICIAL CIRCUIT IN AND
FOR BAY COUNTY, FLORIDA
CASE NO.: 19004412CA
JAMIE AND JENNIFER CARR,
Plaintiffs,
V.
GULFSTREAM PROPERTY & CASUALTY
INSURANCE COMPANY
Defendant.
|
DEFENDANT, GULFSTREAM PROPERTY & CASUALTY
INSURANCE COMPANY’S EXHIBIT LIST
Defendant, GULFSTREAM PROPERTY & CASUALTY INSURANCE COMPANY,
by and through itsundersigned counsel, and pursuant to the Court's Order Setting Cause
for Jury Trial and Pre-Trial, hereby files and serves Plaintiffs with its list of potential
exhibits as follows:
Trial Exhibit Summary Objection | Admitted
Exhibit # (Y/N) (Y/N)
Sa 11/03/17-11/03/18
| «| 10/15/18 | Insureds Claim Acknowledgement {| |
[Pe eagerness
Jeremy Rettig |
[MEN [leomretg
Jeremy Rettig ee |
Oil Jeremy Rettig ca
| 11/11/18 |PaymentLettertolnsureds | |
| «11/24/18 | Disclosure LettertoInsureds | |
| IONS [Estimate
Estimate prepared
prepared byJeromyretig
by Jeremy Rettig | |
| [MN |iotenbylormyRetig
taken by Jeremy Rettig ||
iad ot
Sketches taken by Jeremy Rettig
| «| 01/07/19 |PaymentLettertoInsureds
Supplemental | |
eer leis
with Photographs eee |
| «05/09/19 | Disclosure LettertoInsureds | |
Re eaten
of Rights Letter |
| «| 05/31/19 |PaymentLettertoInsureds
Supplemental | |
i prepared by Jeremy Rettig
er ree
Ann eee
Lubarsky with Photographs |
Pe isscearenmmeree
by Julie Ann Lubarsky with Photographs | |
| PNY inspections
Inspections Moisture Mapping
Moisture Mapoing Report
Report ||
PSI inspections
Inspections Moki Report
Mold Report ||
Pe errors
Source fT
Estate
| CT
Estimate
All receipts submitted
eee
by Plaintiffs |
| | Allinvoices submitted by Plaintiffs | |
| CT CC Allestimates submitted by Plaintiffs = | |
ee Defendant
production
in response to any requests for
ee
|ae
All depositions and exhibits to the
those not yet taken.
Any visual aids prepared by experts
their anticipated testimony, including
models, maps, blueprints, reports,
photographs, videotapes, charts, graphs
and or tables.
|| tetceeemes produced by any expert
their expert opinions in
in formulating
this action. | |
other visual aid depicting the property or
any portion thereof which is the subject of
any alleged loss.
ieo Defendant has no stated objection.
A i matter.
2
BUTLER WEIHMULLER KATZ CRAIG LLP
deed. hs
, . Pa | .
f \
KATHY J. MAUS, ESQ.
Florida Bar No.: 0896330
kmaus@butler.legal
JULIUS F. PARKER, III,ESQ.
Florida Bar No.: 0160857
jparker@butler.legal
Secondary: apinnock@butler.legal
Mail Center: 400 N. Ashley Drive, Suite 2300
Tampa, Florida 33602
Telephone: (850) 894-4111
Facsimile: (850) 894-4999
Attorneys for Defendant
CERTIFICATE OF SERVICE
| certify that a copy hereof has been furnished to:
Scott M. Rosso, Esq.
David R. Shaheen, Esq.
GED Lawyers, LLP
7171 North Federal Highway
Boca Raton, FL 33487
pdlittaw@gedlawyers.com
Secondary: bgoetsch@gedlawyers.com
Attorneys For: Plaintiffs
by e-Portal and e-Service on May 26, 2021.
a0
Seed. ube
JULIUS F. PARKER, III,ESQ.
3
Document Filed Date
May 26, 2021
Case Filing Date
December 04, 2019
For full print and download access, please subscribe at https://www.trellis.law/.