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  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
  • PORTER, AURORA ANN vs. ORLANDO UTILITIES COMMISSION 3 document preview
						
                                

Preview

Filing # 120876310 E-Filed 02/05/2021 08:55:16 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR ORANGE COUNTY, FLORIDA CASE NO: 2017-CA-3902-O AURORA ANN PORTER, Plaintiff, Vv ORLANDO UTILITIES COMMISSION, Defendant. / PLAINTIFF’S MOTION FOR ORDER SETTING MEDIATION CONFERENCE Plaintiff, AURORA ANN PORTER, by and through her undersigned counsel, moves this Honorable Court to enter an order referring this case to mediation, and as grounds therefore states as follows: 1. This is an action for damages arising out of a motor vehicle accident that occurred on April 2, 2016. 2 Written discovery has been exchanged by and between the parties, and the deposition of the defendant driver has been taken. 3. The undersigned counsel have attempted since March of 2020 to schedule this matter for mediation with opposing counsel as it would be in the best interest of all parties to resolve this matter through mediation. 4. Opposing counsel requested that they have the opportunity to schedule the plaintiff for a Compulsory Medical Examination in order to have a productive mediation which was agreed to by plaintiff's counsel. 5. Since that time, follow up correspondence has been sent to opposing counsel to schedule this case for mediation conference to no avail. CERTIFICATE OF COMPLIANCE I HEREBY CERTIFY that the undersigned had a substantive conversation by telephone with opposing counsel on January 15, 2021 in a good faith effort to resolve this motion before the motion was noticed for hearing but the parties were unable to reach an agreement. GARY J. YYNTON, Esquire WHEREFORE, plaintiff moves this Honorable Court for an Order Setting Mediation Conference in this claim in order to keep this case moving forward and as a prerequisite before a trial can be heard in this matter. CERTIFICATE OF SERVICE I CERTIFY that on the S$ day of Fa ruUkse 7 , 2021, the foregoing was electronically filed through the Florida Courts E-Filing Portal which will send notice of electronic filing to Dennis O’Connor, Esq., Ronald L. Harrop, Esq. at O’Connor & O’Connor, LLC, 800 N. Magnolia Ave., Ste. 1350, Orlando FL 32803, eservice@oconlaw.com rrogers@oconlaw.com doconnor@oconlaw.com: rharrop@oconlaw.com, kurtans@oconlaw.com, Carlos L. Woody, Esq., Terry L. Tressler, Esq. at 100 W. Anderson St., Orlando FL 32801, cwoody@ouc.com, ttressler@ouc.com, kplajstek@ouc.com. GARY J. OYNTON, Esquire Co-counsel for plaintiff, Porter Florida Bar No: 266671 1150 Louisiana Avenue, Suite 1 Winter Park, FL 32789 Ph: 407-422-8011 Fx: 407-339-4279 EM for Service: ora(@ gal boynton.com docs@garyjboynton.com - and- FAITH KEATING, Esquire Co-counsel for plaintiff, Porter Florida Bar No: 0549525 1150 Louisiana Ave., Suite 1 Winter Park, FL 32789 (407) 895-4927 EM for service: faithkeatinglaw@gmail.com