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  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
  • CYR, TIMOTHY vs. EDISON INSURANCE COMPANY INSURANCE CLAIM document preview
						
                                

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Filing # 87718124 E-Filed 04/09/2019 04:21:08 PM IN THE CIRCUIT COURT OF THE FOURTEENTH JUDICIAL CIRCUIT IN AND FOR BAY COUNTY, FLORIDA GENERAL JURISDICTION DIVISION TIMOTHY CYR and JESSICA CYR, CASE NO.: 19001054CA Plaintiff, FLORIDA BAR NO.: 127612 vs. EDISON INSURANCE COMPANY, Defendant. / PLAINTIFF’S FIRST INTERROGATORIES TO DEFENDANT COMES NOW, the Plaintiff, TIMOTHY CYR and JESSICA CYR, by and through undersigned counsel, pursuant to Rules 1.280 and 1.340 of the Florida Rules of Civil Procedure, and propounds upon the Defendant, EDISON INSURANCE COMPANY, the attached eleven (11) Interrogatories to be answered under oath and in writing within forty- five (45) days after service thereof. | HEREBY CERTIFY that a true and correct copy of the foregoing was served attached with the Original Summons and Complaint. Thomas J. Morgan, Jr., Esquire MORGAN LAW GROUP, P.A. Counsel for Plaintiff 55 Merrick Way, Suite 404 Coral Gables, Florida 33134 Phone: 305.569.9900 Fax : 305.443.6828 /tm By: _ /s/ Thomas J. Morgan Thomas J. Morgan, Jr.INTERROGATORIES TO DEFENDANT “You(r)” as used in these Interrogatories means your corporation, company or partnership, or anyone who handles, adjusts or investigates claims on its behalf. 1. State your complete corporate name, nature of your business, whether you are licensed to do business in the State of Florida, whether you maintain agents for the transacting of your customary business in any particular county, and whether your name as it appears in the Plaintiff's Complaint is correct. 2. State the name, residence address, business address, telephone number, and position/job title of the individual answering these Interrogatories. 3. List the names, addresses and telephone numbers of all persons believed or known by you, your agents or attorneys to have knowledge concerning any of the issues raised by the pleadings, specifying the subject matter about which the witnesses have knowledge and state whether you have obtained any statements (oral, written and/or recorded) from any of said witnesses, list the dates any such witness statements were taken, by whom any such witness statements were taken, and who has present possession, custody and control of any such statements. 4. State any and all provisions of the subject policy relied upon by Defendant for denial, non-payment and/or reduction of Plaintiff's claim. 5. List the names, residence addresses, business addresses and telephone numbers of all persons who, on your behalf or on behalf of your agents or representatives, have inany way participated in the investigations, adjusting or handling of the Plaintiff's claim involved herein and specify the date and the nature of the participation of each such person. 6. Do you intend to call upon any expert witness at the trial of this case? If so, please identify each witness as follows: his/her name, qualifications as an expert, substance of their opinions to which they are expected to testify, summary of the factual grounds for each opinion, and provide a list of all claim files and/or court cases for which you have hired the same expert witness in the last two (2) years. 7. For any and all policy defenses which you reasonably believe are available with regard to the claim made by the Plaintiff herein: describe in detail the factual and legal basis for any such defenses and give complete names, residence addresses, business addresses, and telephone numbers of each and every person believed or known by you, your agents, representatives, or attorneys, to have any knowledge of the facts which provide the basis for any such defenses. 8. Provide a complete list of all payments made to or on behalf of the Plaintiff for the subject loss, specifying the nature of the services rendered, the provider of the services, the amount of the charges, the date the charges were incurred, the date you first had notice of the charges, and the date the charges were paid by you.9. List the names, addresses and official positions of each and every person in your employ or in the employ of anyone on your behalf, who has had any involvement in the review of the denial or withholding of payment of the Plaintiff's claim and state in what capacity they were involved, the date they were involved and the nature of their involvement. 10. With regard to the Plaintiffs First Request to Produce, for each item on the Request to Produce of which you are withholding production claiming any privilege (work product/attorney-client/etc.), please state, with respect to each such document. (a) The date of the document; the number of pages of the document; the type of document involved and its general subject matter without disclosing its contents; and, the names, business addresses, residence addresses and telephone numbers of all persons who prepared the document or to whom the document was directed. (b) — The privilege upon the Defendant relies on withholding the document; all facts upon which the Defendant relies in support of the privilege; the names, business addresses, residence addresses, telephone numbers, positions and occupations of all persons known or believed by Defendant to have knowledge concerning the factual basis for Defendant's assertion of privilege with regard to the documents; (c) Any policy provisions, statutory language or case law which Defendant relies upon in claiming the privilege. 11. With regard to each and every one of the above Interrogatories, for each Interrogatory which you are refusing to answer, claiming a privilege (work product/attorney- client/etc.), please state: (a) The privilege upon which Defendant relies in refusing to answer the Interrogatory, and, all facts which are relied upon in support of the privilege.(b) | Thenames, residence addresses, business addresses, telephone numbers, positions and occupations of all persons known or believed by Defendant to have knowledge concerning the factual basis for Defendant’s assertion of privilege with regard to the information. (c) Any policy provisions, statutory language or case law which Defendant relies upon in claiming the privilege. Affiant: STATE OF FLORIDA COUNTY OF BEFORE ME, the undersigned authority, personally appeared ____, who, being first duly sworn, on oath deposes and says that the foregoing Answers to Interrogatories are true and correct, and that he/she has read the Answers to Interrogatories and knows the contents thereof. SWORN TO AND SUBSCRIBED before me this ____ day of , 20. NOTARY PUBLIC My commission expires: