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(i) That TERESA VAN BLARCUM underwent a surgical
procedure known as a dilatation and curretage on the morning of
October 28, 1976.
(j) At all times relevant hereto, J. EDWARD
VAN BLARCUM was the lawful husband of TERESA VAN BLARCUM.
. - (k). That AGNES M. PIASECKI had public liabil-
ity insurance coverage with NEW HAMPSHIRE INSURANCE COMPANY.
(1) That ANNE PRICE had public liability-
insurance coverage with ALLSTATE INSURANCE COMPANY.
(m) That Plaintiff, TERESA VAN BLARCUM, has
physically recovered from any and all injuries she may have
received as a result of this accident.
(n) That she returned to work one (1) week -
_ after she was discharged from the hospital.
(o) That no doctor has indicated to her that
she suffered any permanent injury. -
(2)~ EVIDENCE: Documentary and other evidence -
listed on the Pre-Trial Statements shall be admitted into
evidence without objection hereinbelow reserved.
~ PLAINTIFF'S EVIDENCE:
I; (a) Medical records and bills from Fort
! Pierce Memorial Hospital and.Lawnwood Medical Center.
l
I No objections in reference to the medical
records; as to the bills, necessity, relevancy and materiality
are reserved. -
(b) Medical bills of Romeo Balaton, M.D.. ~ -
_ Objections reserved as to necessity, relevancy
and materiality.
(c) Photographs of Plaintiff's family.
All objections reserved.
~ ~ (d) Mortality. tables. ~ _
Relevancy and materiality reserved.-
(e) Certified copy of the guilty plea of
MARY HUBNER PULYER. -
- All objections as to relevancy and materiality
are reserved. M
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