Preview
Filing # 98716558 E-Filed 11/12/2019 10:48:43 AM
IN THE CIRCUIT COURT, IN AND FOR
MARION COUNTY, FLORIDA
CASE NO.
MIKLE FIZER AND RACHEL
GRIEBLING-FIZER,
Plaintiffs,
Vv.
AMERICAN INTEGRITY INSURANCE
COMPANY OF FLORIDA,
Defendant.
/
NOTICE OF SERVICE OF CORRESPONDENCE
Plaintiffs, MIKLE FIZER AND RACHEL GRIEBLING-FIZER, hereby file this Notice
of Service of the original and one (1) copy of the attached correspondence to the
Defendant.
| HEREBY CERTIFY that | have furnished a true and correct copy of the
foregoing correspondence by service of process contemporaneously with the Complaint
in this matter.
Dated this 12th day of November, 2019.
THE NATION L,
Pp LLP
ep
Marc, andy, i
Florida Bar No. 91735
570 Crown Oak Centre Drive
Longwood, FL 32750
Telephone: (407) 339-1104
Facsimile: (407) 339-1118
Primary Email: Iryan@nationlaw.com
Secondary Email: mjandy@nationlaw.com
Attorneys for Plaintiffs
Electronically Filed Marion Case # 19CA002479AX 11/12/2019 10:48:43 AMZ|
THE NATION LAW FIRM
November 12, 2019
TO: AMERICAN INTEGRITY INSURANCE COMPANY OF FLORIDA
c/o Chief Financial Officer, State of Florida
Division of Legal Services
200 E. Gaines Street
Tallahassee, FL 32314-6200
RE: MIKLE FIZER AND RACHEL GRIEBLING-FIZER v. AMERICAN INTEGRITY
INSURANCE COMPANY OF FLORIDA
Dear Sir or Madam:
This firm has been retained by the Plaintiffs, MIKLE FIZER AND RACHEL
GRIEBLING-FIZER, regarding severe storm damage to the dwelling located at 17891
SE 87th Bourne Avenue, The Villages, Florida. | am writing to inform you that | will be
the attorney handling this matter and all correspondence should be directed to my
attention.
DEMAND FOR PRESERVATION OF EVIDENCE
Demand is also made that you preserve all documents, tangible things and
electronically stored information potentially relevant to the issues in this insurance loss
or claim. You should anticipate that litigation is imminent and that much of this
information is subject to disclosure or will be responsive to discovery in this matter, even
if it is stored on your current and former computer systems and other media and devices
(including personal digital assistants, voice-messaging systems, online repositories and
cell phones), collectively referred to hereafter as “ESI”. ESI includes not only electronic,
magnetic and optical storage media reasonably accessible to you, but also in areas you
may deem not reasonable accessible. You are obligated to preserve potentially
relevant evidence from both these sources of ESI, even if you do not anticipate
producing such ESI.
ESI hidden system files or metadata, presently located on or contained in a free
standing computer or laptop, or on any part of a server, CPU or digital device that may
contain data storage capabilities including, but not limited to hard disk drives, optical
disk drives, removable media, such as floppy disk drives, CD-ROM and DVD drives, Zip
drives, Jaz drives, Maxtor drives, snap drives or other, similar drives, data processingcards, computer magnetic tapes, backup tapes, drum and disk storage devices or any
other similar electronic storage media or system of whatever name or description.
Preserve all digital image evidence that may be stored on any type of hardware
used to store or manipulate electronic images, including but not limited to microfilm,
microfiche and their repositories and readers, or design or engineering computer
systems and regardless of any digital image's format, including .jpg, .bmp, or some
other advanced or proprietary form of digital image format, such as CAD layered
drawings.
Preserve all existing sources of digital evidence that may not presently be in use
by your company or may have been deleted from your active systems, whether the
source is a backup tape or disk, some other data retention system or some form of
disaster recovery system. Including the imaging of hard drives, please take all
reasonable steps to preserve digital evidence that may have been deleted from your
active files and which may not be readily recoverable from a backup medium, such as
metadata.
SUSPENSION OF ROUTINE DESTRUCTION
Demand is also made that you to immediately preserve and hold potentially
relevant ESI, documents and tangible things, and to act diligently and in good faith to
secure this ESI. You are further directed to immediately identify and modify or suspend
features of your information systems and devices that, in routine operation, operate to
cause the loss of potentially relevant ESI. Examples of such features and operations
include:
Purging the contents of email repositories by age, capacity or other criteria;
Using data or media wiping, disposal, erasure or encryption utilities or devices;
Overwriting, erasing, destroying or discarding back up media;
Re-assigning, re-imaging or disposing of systems, servers, devices or media;
Running antivirus or other programs effecting wholesale metadata alteration;
Releasing or purging online storage repositories;
Using metadata stripper utilities;
Disabling server or IM logging; and
Executing drive or file defragmentation or compression programs.
SYSTEMS, LAPTOPS, ONLINE ACCOUNTS AND OTHER ESI VENUES
Although we expect that you will act swiftly to preserve data on office
workstations and servers, your property or portable systems contain potentially relevant
data. To the extent that you have sent or received potentially relevant emails or created
or reviewed potentially relevant documents away from the office, you must preserve the
contents of systems, devices and media used for these purposes (including not only
potentially relevant data from portable and property computers, but also from portable
thumb drives, CD-ROM disks and the user's PDA, smart phone, voice mailbox or otherforms of ESI storage). Similarly, if you used online or browser-based email accounts or
services (such as AOL, Gmail, Yahoo Mail or the like) to send or receive potentially
relevant messages and attachments, the contents of these account mailboxes
(including Sent, Deleted, and Archived Message folders) should be preserved.
Preserve digital evidence that is subject to your control regardless of where else
it May be located on-site at your main offices, within the network infrastructure of your
company or on or in one of your other computer support systems including those at your
subsidiaries, predecessors, successors, assigns, joint venturers, partners, parents,
agents or affiliates (in this country or throughout the world), including but not limited to
the following locations:
a. Your LAN and WAN network systems, regardless of methods of
connectivity (e.g., by T1, T3 or optical lines), domains, including PDCs, network
OS (such as Novell, Microsoft, UNIX, Citrix or some other similar type) or
protocols, or your backup and disaster recovery hardware and media, regardless
of the physical location of those electronic storage systems.
b. Your email servers and any repository of your email (including within the
inbox, sent box, deleted box or some similar file of the computers of employees or
management), or in any backup form whatsoever, regardless of whether you use
Microsoft Exchange, Outlook, Outlook Express, Lotus Notes or some combination
of email management software or some alternative commercial or proprietary
email management software.
c. Your IS administrative offices, including backup and disaster recovery
restoration repositories, data retention repositories, purge repositories, training
repositories, or libraries of hardcopy materials of any description (regardless of
where located) and online training and operation manuals that have been scanned
to disk.
d. Your offsite technical and service bureau support systems, including but
not limited to ASP (application service provider) support, scanning or data
conversion support, offsite data storage or archive support.
e. Your web hosting and administration services, including intranet and
extranet sites, regardless of whether they are now publicly posted or exist in
English or some other language.
PAPER PRESERVATION OF ESIIS INADEQUATE
As hard copies do not preserve electronic searchability or metadata, they are not
an adequate substitute for, or cumulative of, electronically stored versions. If information
exists in both electronic and paper forms, you should preserve both forms.AGENTS, ATTORNEYS, VENDORS AND THIRD PARTIES
Your preservation obligation extends beyond ESI in your care, possession or
custody and includes ESI in the custody of others that is subject to your direction or
control. Accordingly, you must notify any current or former agent, attorney, employee,
custodian or contractor in possession of potentially relevant ESI to preserve such ESI to
the full extent of your obligation to do so, and you must take reasonable steps to secure
their compliance.
DO NOT DELAY PRESERVATION
lam available to discuss reasonable preservation steps; however, you should not
defer preservation steps pending such discussions if ESI may be lost or corrupted as a
consequence of delay. Should your failure to preserve potentially relevant evidence
result in the corruption, loss or delay in production of evidence to which we are entitled,
such failure will constitute spoliation of evidence. If the INSURANCE COMPANY OF
FLORIDA is found to have lost or destroyed documents, records or ESI, then we will not
hesitate to seek monetary sanctions and Orders of issue preclusion and terminating
sanctions (dismissal of your pleadings).
We anticipate your prompt response to this letter and | look forward to hearing
from you soon.
Kindest yegards,
Pry
Marcpandy, Esquire