On July 08, 1984 a
Party Notice
was filed
involving a dispute between
Yue, Xiao,
and
Chapp, Inc.,
Foerster, Cynthia,
for CIRCUIT CIVIL
in the District Court of Osceola County.
Preview
Filing # 134485846 E-Filed 09/13/2021 03:59:17 PM
IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT,
IN AND FOR OSCEOLA COUNTY, FLORIDA
XIAO SHENG YUE,
Plaintiff,
CASE NO.: 2020-CA-1106AN
v.
CYNTHIA M. FOERSTER AND
CHAPP, INC.,
Defendants.
ee
NOTICE OF COMPULSORY MEDICAL EXAMINATION
COME NOW, Defendants, CYNTHIA M. FOERSTER and CHAPP, INC., by and
through the undersigned attorney, and hereby request that Plaintiff, XIAO SHENG YUE,
undergo a compulsory medical examination at the time and place indicated below:
DATE: Wednesday, October 27, 2021
TIME: 10:30 a.m. (check in at 10:00 a.m.)
PHYSICIAN: Eric D. Kramer, M.D.
PLACE: U.S. Legal Support
830 North John Young Parkway
Park Hill Place Executive Suites
Second Floor
Kissimmee, FL 34741
**Face covering is required**
Pursuant to Florida Rules of Civil Procedure, the scope of the compulsory examination
shall be such as determined by Dr. Kramer to be necessary to properly evaluate the claimed
injures and disabilities of the Plaintiff. The examination will be non-invasive diagnostic testing.
As good cause for the examination, Defendants state that the physical condition of the Plaintiff is
in controversy in this action.
You are hereby notified that pursuant to Rule 1.360(a)(1)(A) you are required to serve a
written response to this request within thirty (30) days after service of the request specifying
wither the above examination will be permitted as requested or, in the event it is object to, the
specific reasons for said objection.
Defendant will pay Dr. Kramer for the examination, however if Plaintiff fails to keep the
appointment with Dr. Kramer without proper notification the coast of the examination will be the
responsibility of the Plaintiff.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that, on this 13th day of September 2021, I electronically filed the
foregoing with the Clerk of the Court via the Florida Courts’ e-Filing Portal, pursuant to and in
compliance with Rule 2.516, Florida Rules of Judicial Administration, which completes service
by furnishing a true and correct copy of the foregoing via electronic mail to all counsel of record.
LAW OFFICES OF SANTEIRO & GARRISON
/s/ Jorge Santeiro, Jr.
Jorge Santeiro, Jr.
FBN 66230
6300 University Parkway
Suite 101
Sarasota, FL 34240
Tel: (800) 226-3224 Ext. 1021
Primary: _jsanteiro@fcci-group.com
Secondary: ssmith5@fcci-group.com
Secondary: legalservice@fcci-group.com
Attorney for Defendants
ce: terri.harrison@mspbhealth.com
Document Filed Date
September 13, 2021
Case Filing Date
July 08, 1984
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