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Filing #57070294 E-Filed 05/30/2017 08:49:53 PM
IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT
IN AND FOR ORANGE COUNTY, FLORIDA.
RAMON A. SOLANO and
JOSEFINA SOLANO,
Plaintiffs,
GENERAL JURISDICTION DIVISION
Vv.
UNIVERSAL PROPERTY& CASUALTY
CASE NO.:
INSURANCE COMPANY,
Defendant.
/
PLAINTIFFS' FIRST REQUEST FOR ADMISSIONS TO DEFENDANT
Plaintiffs, RAMON A. SOLANO and JOSEFINA SOLANO, (the "Insured"), pursuant to
Rule 1.370, Fla. R. Civ. P., request Defendant to admit the truth of these matters within forty-five
(45) days from the date of service hereof, by answering in writing.
DEFINITION AND INSTRUCTIONS
1 The term "Plaintiff(s)" means RAMON A. SOLANO and JOSEFINA SOLANO, and
his/her/their agents, contractors, attorneys, and all other persons acting or purporting to act on
his/her/their behalf.
2 The term “Insured(s)" means the named insured, RAMON A. SOLANO and
JOSEFINA SOLANO and their agents, contractors, attorneys, and all other persons acting or
purporting to act on their behalf.
3 The term "You" or "Defendant" means UNIVERSAL PROPERTY & CASUALTY
INSURANCE COMPANY, and its agents, employees, independent contractors, subsidiaries,
divisions, parent company, holding company, directors, officers, attorneys, and all other persons
acting or purporting to act on its behalf.
4 The term "Policy" means the policy, number UICD0000058117, which Defendant
issued to Insured for the property located at 13305 Greenpointe Dr., Orlando, FL 32824, that was in
effect on the date of loss alleged in Plaintiffs' Complaint filed in this action.
5 The term "Insured Building" or "Insured Property" means the insured structure and/or
its contents located at the address alleged in Plaintiffs Complaint filed in this action.
6 The term "Loss" means the event at issue in which the Insured suffered property
damage, on the date of loss alleged in Plaintiffs Complaint.
7, The term "person" means any natural person, individual, proprietorship, partnership,
corporation, association, organization, joint venture, firm, other business enterprise, governmental
body, group of natural persons or other entity.
8 The term "document" or "documents" means any written, typed, or graphic matter or
other means of preserving thought or expression and all tangible things from which information can
be processed or transcribed, including the originals and all non-identical copies, whether different
from the original by reason of any notation made on such copy or otherwise, including, but not
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limited to, correspondence, emails, memoranda, notes, messages, letters, telegrams, teletype, telefax,
bulletins, meetings or other communications, interoffice and interoffice telephone calls, diaries, claim
diaries, electronic claim notes, chronological data, minutes, books, reports, studies, summaries,
pamphlets, printed matter, charts, ledgers, invoices, worksheets, receipts, returns, computer printouts,
prospectuses, financial statements, schedules, affidavits, contracts, canceled checks, statements,
transcripts, statistics, surveys, magazine or newspaper articles, releases (and all drafts, alterations and
modifications, changes and amendments of any of the foregoing), graphic or natural records or
representations of any kind (including without limitation photographs, photographic negative,
microfiche, microfilm, videotape, recordings, motion pictures, phonograph recordings, transcripts or
log of such recording, projection), electronic, computer, mechanical, or electric records or
representations of any kind (including without limitation tapes, cassettes, discs and records), and
binders, cover notes, certificates, analysis, study memoranda, note lists, diaries, logs, questionnaires,
bills, purchase orders, shipping orders, memorandum of contract, agreements, licenses, permits,
orders, financial data, acknowledgements, computer or data procession cards, computer or data
processing discs, and other data compilations from which information can be obtained or translated,
reports and/or summaries of investigations, drafts and revisions of drafts of any documents and
original preliminary notes or sketches, no matter how produced or maintained, in your actual or
constructive possession, custody or control, whether prepared, published or released by you or by any
other person. If data is stored on computer or electronic media (intercompany email, for example),
produce hard copies of each such document." "Documents" includes all attachments and enclosures.
9 The term "all documents" means every document or group of documents, as above
defined, that are known to you or that can be located or discovered by reasonably diligent efforts.
10. As used herein, the singular shall include the plural, the plural shall include the
singular, and masculine feminine and neuter shall include each of the other genders.
11. The connectives "and" and "or" shall be construed either disjunctive or conjunctively
as necessary to bring within the scope of these requests all responses that might otherwise be
construed to be outside their scope.
12, The terms “coverage letter(s)" means the correspondence from You to the Insured
throughout the claim at issue regarding Your position as to coverage for the Loss.
13, The terms "relating to" or "in any way related to" means in whole or in part
constituting, containing, concerning, discussing, commending upon, describing, analyzing,
identifying, stating, pertaining to, referring to, or forming the basis of.
14, "Identify" and "identity" mean:
a. With respect to a natura! person, to state the person's name, title at the time in
question, employer and business address at the time in question, and the current or last known
employer, business address, and home address;
b b. With respect to an organization or entity, to state the full legal name of the
entity and full name by which the organization or entity is commonly known or does business;
Cc. With respect to a document, to state the name(s) and title(s) of the author(s)
and/or signatory(ies), addressee(s), and recipient(s) of any copies; the subject matter or title; the date
of the document; the division, department, or unit of your organization with which the author(s)
and/or addressee(s) are or were affiliated; and its present location and custodian; and
d. With respect to an oral communication to state the names and titles of all
persons involved in the communication, and the date and approximate.time of the communication.
REQUESTS FOR ADMISSIONS
Admit the truth of the following statements:
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1 On March 28, 2016, the Insureds had an insurance Policy with Defendant that was in
full force and effect for the Insured Property located at 13305 Greenpointe Dr., Orlando, FL 32824,
2. Damage caused by wind, hail, and ensuing water damage is covered under the Policy.
3 Ensuing damage caused by water is covered under the Policy whether the
precipitating event is covered or not.
Damage caused by water is not expressly excluded from coverage under the Policy.
Ensuing damage caused by water is not expressly excluded from coverage under the
Policy.
Defendant was timely notified that the Loss occurred at the Insured Property.
The Insured has complied with all prerequisites for receiving benefits under the
Policy for the Loss.
8 The above-named Defendant is propertly named in this lawsuit.
9. The Loss that occurred on March 28, 2016 at the Insured’s Property is a covered loss
under the Policy.
10. Defendant assigned claim number 1602FL22000300 to the Loss.
11. Defendant paid less than required to put Plaintiffs in their Pre-Loss condition less the
deductible.
12. Prior to Plaintiffs suing Defendant in this lawsuit, Defendant had the opportunity to
evaluate Plaintiffs’ Loss.
13. Defendant's claims file and electronic claim notes are kept in the ordinary course of
business.
14, That all of the Defendant's representatives that adjusted the Plaintiffs' claim were
agents of the Defendant and acted within the scope and course of their agency.
15. That the Defendant never advised Plaintiffs in writing of their right to mediation in
violation of Florida Statutes 627.7015(2), (7).
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16. That all premiums required for purchase of the policy were paid.
17. Defendant inspected the Insured Property prior to the Loss.
18. Defendant authored and/or drafted the Policy, and has a true and correct copy of the
Policy in its possession.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the Request forAdmissions was served
upon the Defendant along with the Summons and Complaint.
LAW OFFICE OF DAVID D. GONGORA, P.A.
5401 S. Kirkman Rd., Suite 310
Orlando, FL 32819
Telephone: (407) 500-2524
Primary Email: David@davidgongora.com
Secondary Email: LegalAssistA @davidgongora.com
|
2â„¢ Seconda DavidGongoraEsq@gmail.com
By:
David D.
ff\)
Gondry, Esq’FBN: 110745"
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