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HomeMy WebLinkAbout0853 3. The following agreements were made as to the Plaintiffs' pre-trial exhibits: - (a) The Defendants agree to the form and reasonableness of the medical and hospital bills and funeral bill of the Plaintiffs, the same having been initialled by the Defendants' counsel. (b) The Defendants waive all objections to the ~ Certificate of Death of Mary Elizabeth Fellows. ; (c) The parti~s stipulate that it will not be necessary for the Medical Records Custodian of Ft. Pierce Memorial Hospital or Brevard Hospital to appear to authenticate the hospital records of said hospitals. ~ , (d) The parties stipulate that the testimony of the photographer will not be required with regard to the ~ . , Plaintiffs' photo exhibits of the accident scene, ttie decedent, ~ ~ ! and the family of the decedent. _ _ (e) The parties stipulate that x-rays may be used , without the testimony of the Rad~ologist or Technician provided : they are identified by a physician. (f) The parties stipulate that it will not be necessary to call the Records Custodian of Hallmark Construction Company, the employer of the Plaintiff, DENNIS W. FELLOWS, with regard to the Plaintiffs' exhibit of the wage and income record ~ ; of DENNIS W. FELLOWS. ~ ~ t ` (g) The Defendants agree to the use of copies of t ` the payroll register of the City of Ft. Pierce with regard to the ~ 3 ~ wage and income record of the Dececient, t~fARY J. FELLOWS. ~ € 4. The following agreements were made as to the ? Defendants' pre-trial exhibits: t s 4 , (a) The testimony of the photographer will not ' be required regarding the photographs to be offered by the Defendants. ~ ~ Page 2 5 ~ ~ ~r~~ PA6E ~ : 84GX ~ _ r t 3 r=ra-~,_-'~- fi , -g~ ~ x n ~ %