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  • WATT, DORATTA vs PROGRESSIVE AMERICAN INSURANCE COMPANYAUTO NEGLIGENCE document preview
  • WATT, DORATTA vs PROGRESSIVE AMERICAN INSURANCE COMPANYAUTO NEGLIGENCE document preview
						
                                

Preview

Filing # 135901735 E-Filed 10/05/2021 09:34:35 AM IN THE CIRCUIT COURT OF THE FIFTH JUDICIAL CIRCUIT IN AND FOR CITRUS COUNTY, FLORIDA DORATTA WATT and ALYSSA WATT, a minor by and through her Parent and Natural Guardian, DORATTA WATT, Plaintiffs, v. PROGRESSIVE AMERICAN INSURANCE COMPANY, Defendant. / CASE NO: 21-CA-513 CIVIL DIVISION NOTICE OF SERVICE OF MOTOR VEHICLE NEGLIGENCE INTERROGATORIES TO PLAINTIFF, DORATTA WATT The Plaintiff, DORATTA WATT, is hereby requested to and required to answer the attached Motor Vehicle Negligence Interrogatories propounded by the Defendant, PROGRESSIVE AMERICAN INSURANCE COMPANY, under oath, and further, in accordance with the Florida Rules of Civil Procedure 1.340. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing has been furnished via E-Mail on October 5, 2021 to Christopher Borzell, Esquire, Morgan & Morgan, Tampa, P.A., Attorney for Plaintiffs, Doratta Watt and Alyssa Watt, a minor by and through her Parent and Natural Guardian, Doratta Watt, CTBPleadings@forthepeople.com; chorzell@forthepeople.com. Law Office of Terryl Blackmon Walker Attorneys for Defendant 600 North Westshore Blvd., Suite 300 Tampa, FL 33609 (813) 371-4024 (Asst.)/(813) 371-3945 (Direct) Fax: (866) 516-8617 SERVICE DESIGNATIONS: Primary: TampaHC@progressive.com Secondary: Christopher_Ballard@progressive.com By: CHRISTOPHER M. BALLARD, ESQUIRE Florida Bar No. 10274 ‘Salaried Emplosees of Progressive Casualty Insurance Company”