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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 # 146297974 E-Filed 03/23/2022 04:37:32 PM 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, CASE NO: 21-CA-513 CIVIL DIVISION Vv. PROGRESSIVE AMERICAN INSURANCE COMPANY, Defendant. / DEFENDANT'S NOTICE OF SERVICE OF PROPOSAL FOR SETTLEMENT COMES NOW, the Defendant, PROGRESSIVE AMERICAN INSURANCE COMPANY, by and through the undersigned attorney, hereby files notice that on this date a Proposal for Settlement was served upon counsel for DORATTA WATT as provided for in Florida Statute 768.79 and Florida Rules of Civil Procedure 1.442. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing has been furnished via E-Mail on March 23, 2022 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; cborzell@forthepeople.com; RHowai rthepeople.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 Employees of Progressive Casualty nsurance Company”