On July 08, 129 a
Hearing
was filed
involving a dispute between
Simon Sally,
and
Asperilla Mark Md,
Asperilla Mark Md Pa,
Charlotte Medical Asscoi,
Colunga Frank Md,
Constine Ronald Md,
Dale Greenberg Md,
Estepa Samual Md,
Khalidi Nasir Md,
Khalidi Sakina Md,
Levy Baker Constine Et A,
Maas Carlos E Md,
Maas Carlos E Md Pa,
Mickelson Chris Md,
Moopen Moiden Md,
Moopen Moiden Md Pa,
Nandigam Bala Md,
Primary Care Physicians,
St Josephs Emergency Med,
Thomasz K Wazny Md Pa,
Wazny Thomasz K Mc,
for MALPRACTICE - CA
in the District Court of Charlotte County.
Preview
DAK:ik (N THE CIRCUIT COURT OF THE
97-605 20" JUDICIAL CIRCUIT IN AND FOR
CHARLOTTE COUNTY, FLORIDA
CASE NO. 00-120 CA
SALLY SIMON, as Personal
Representative of the Estate of
a7
2
io
Michael Simon, 3
Plaintiff, 3 Fi
Chart = i
vs. arlotte C. "4
©1352735 Date: 08/20/01 - 11.45/90" id: 120 mr
SAMUEL ESTEPA,M.D., Case#: 000001 oo
les: 0002
ce THAN
SUPPLEMENTAL NOTICE OF HEARING
‘Special it nt- 1 hour
YOU ARE HEREBY NOTIFIED that a hearing in the above styled cause has
been set down before The Hon. Sherra Winesett, at the Charlotte County
Courthouse, 350 E. Marion Avenue, Punta Gorda, Florida, on Friday, August 24, 2001
at 1:30 p.m. or as soon thereafter as counsel can be heard on the following:
1. Plaintiffs Motion in Limine to Preclude Testimony About Treatment
Rendered by Non-Fabre Defendant Physicians;
2. Plaintiffs Motion in Limine to Preclude the Use of Deposition of
Charles Virgin, M.D., in Its Entirety;
3. Plaintiff's Motion in Limine to Preclude the Use of the Videotape
Depositions of Conrad Epping Koerper, M.D. and Mark Asperilla,
M.D.;
4. Plaintiff's Motion in Limine to Preclude Portions of Depositions
which Defendant Intends to Read at Trial.
KOLTUN & LAZAR, P.A., ATTORNEYS AT LAW, 7000 SW 97" AVE., #210, MIAML FL 334 73 (305) 595-6791
IMAGED
DPSimon v. Estepa, M.D., Case No. 00-120 CA
Movant counsel certifies that a bona fide effort to agree or to narrow the issues
on the Motion(s) noticed has been made with opposing counsel or that, because
of time consideration, such effort has not yet been made, but will be made prior
to the hearing.
| HEREBY CERTIFY that true and correct copies of the foregoing were
faxed/mailed this #77” day of August, 2001 to: BENITO DIAZ, ESQ., Diaz &
Morel-Saruski, Attorneys for Defendant, Estepa, M.D., 2912 Douglas Road, Coral
Gables, FL 33134; JEAN KNEALE, ESQ. and JENNIFER A. KERR, ESQ., Hicks,
Anderson & Kneale, P.A., Co-Counsel for Defendant, Estepa, M.D., 799 Brickell
Avenue, Miami, FL 33131; and THOMAS A. CULMO, ESQ., Culmo & Culmo, P.A., Co-
Counsel for Plaintiff, 2400 South Dixie Highway, #100, Miami, FL 33133.
KOLTUN & LAZAR, P.A.
Attorneys for Plaintiff
7000 S.W. 97th Avenue, Suite 210
Miami, FL 33173
305 595-6791 - Dade
305 595-5400 - Facsimile
ak
SCOTT A. LAZAR
FBN: 987506
KOLTUN & LAZAR, P.A., ATTORNEYS AT LAW, 7000 SW 97" AVE., #210, MIAMI, FL 33173 (305) 595-6791