EFTA00727952.pdf
PDF Source (No Download)
Extracted Text (OCR)
EWEST PALM BEACH OFFICE:
2139 PALM BEACH LAKES BLVD.
WEST PALM BEACH. FLORIDA 33409
P.O. BOX 3626
WEST PALM REACH. FLORIDA 33402
(561)686.6300
1400-760.8607
1.600-220-7006 Spanish
ATTORNEvs AT LAW:
ROSALYN WA BAKER-IMPRES
F. GREGORY BAsEmART ••
T.HARDEE BASS. IN
LAURIE J.I4R1313S
BRAN R. DENNEY
EARL L DENNEY. JR.'"
BRENDA S.EDO*" •
JMAESW.GUSTAFSCW JR'
JACK P HU.
DAM K KELLEY JR.'
WILLIAM El MO,
DARRYL L LEWIS•
WELIAM A. NORTON*,
PATRCK E. CONtM1 •
EDWARD V RICCI
Ai
xSALES -.1
SC.AROLA '•
NSESRCY ••
A. SHIPLEY Ai -,
PHER K WEED".
KAREN E TERRY •
C CALVIN WAWINER III-'
' SHARENCLOPAS
• BOARD CERTIFIED
ALSO AOMT111:1
NEW JERSEY
I IAA,550.04USETYS
, MISSS.StPPI
• LIARYLAND
• Wilt
PARALEGALS:
VW WI AYAPI•TEJEDA
ALYSSA A PEEMARDO
MAROA Y GODSON
RANDY Ea MAPES/4E
C. HOPKINS
NE
•A KNAPP
VINCENT L LLON.ARD. JR.
JAmES FETES, LOVE
Ca
nt.] A PRATO
w. PITCHER
P. PORGY
KATH.EEN WON
STEVE It MATH
Qom* S STARK
WALTER A. STEIN
BRIAN P. %UMW
August 31, 2009
SEARCY
DENNEY
SCAROLA
BARNHART
8-SHIPLEY,A
Michael Pike, Esquire
Burman, Critton, Luttier & Coleman LLP
303 Banyan Boulevard, Suite 400
West Palm Beach, FL 33401
RE: =.
vs. Epstein, et al.
Our File No.:
281849
Dear Mike:
DMIJAHASSEE OFFICE.
THE TOWLE HOUSE
517 NORTH CAU4OUN STREET
TALLAHASSEE, FL 32301-1231
RO.BOX 1230
1ALIAHASSEE. FLORIDA 32302
VIA E-MAIL AND U.S. MAIL
I am in
Plaintiff,
with a certificate of service date of
dependent Medical Examination of
August 25, 2009. I write to you to ensure that this document will in no way act as
a waiver on my part of my currently pending motion for protective order regarding
e of your CME. Although we have provided September 8, 2009 for
CME, we still need a ruling from the Court regarding the CME before it
can actually go forward.
Your document references that "Unless a timely and valid objection to this Notice
is filed within the time set forth by Rule 35 or as ordered by the court on an
emergency basis (Rule 7.1(E)), the Plaintiff is required by this Rule to be in
attendance at the above-scheduled examination! I confess that I have scoured
Rule 35 but have not been able to find any reference whatsoever to a "timely and
valid objection to this Notice." Can you please enlighten me regarding same?
Lastly, your notice states that "Plaintiff has agreed to assume the costs of the
additional monitor! As we have previously discussed via email, the reference to
Plaintiff agreeing to bear the costs of the additional monitor was a typo as it is the
Defendant who has agreed to pay for same. Please correct me if I am wrong in
this regard.
(850) 220-7600
1.888.649-7011
a
ssiSsi
s
WWW.SEARCYLAW.COM
EFTA00727952
Page 2
On the subject of videotaping the CME, am I correct in assuming that you will
provide my office with a copy of the videotape of the CME? You will recall we did
the same for you in A.C.'s case. We will, of course, pay for the costs associated
with duplicating the videotape.
I look forward to hearing from you.
JACK R, HILL
JPHTjph
cc:
Richard Willits, Esquire
as
EFTA00727953
Document Preview
PDF source document
This document was extracted from a PDF. No image preview is available. The OCR text is shown on the left.
This document was extracted from a PDF. No image preview is available. The OCR text is shown on the left.
Extracted Information
Locations
Dates
Phone Numbers
Document Details
| Filename | EFTA00727952.pdf |
| File Size | 193.1 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 3,120 characters |
| Indexed | 2026-02-12T13:52:42.217260 |
Related Documents
Documents connected by shared names, same document type, or nearby in the archive.