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(f) Bill of Dr. Aportelo.
All objections are reserved, as it .was not
listed on the Pre-Trial Statement.
- DEFENDANTS'EVIDENCE: -
-(.a) Medical records of Lawnwood Medical
Center.
No objections - -
(b) Medical records of Battle Creek Sanitarium,
Battle Creek, Michigan.
All objections reserved.
(c) Medical Records of Lilia Post Hospital, _
Battle Creek Michigan.
All-objections reserved.
(d)- Medical Records of Lakeview General Hospi-
tal, Battle Creek, Michigan.. -
- All objections reserved.
- (e) Medical Records of Community Hospital,
Battle Creek, Michigan.
All objections reserved. - -
- (f) Deposition and Answers to Interrogatories -
I~j filed in Case No. 77-128-CA in this Court.
~
~ -
Objections as to relevancy and materiality.
(3) OTHER PROVISIONS:.
(4) EXPERT WITNESSES may be called out of turn
by either party. ~ •i
E (5) WITNESSES. Only those witnesses listed at
the Pre-Trial Conference and names filed with the Clerk of
the Court will be permitted to_testify, except for the -
parties themselves. Either party may call any witness lis-
ted by any other party. E
(6) E RCISE OF PEREMPTORY CHALLENGES. Plaintiff
shall have peremptory challenges. Eft Defendants C~
~ shall have three. (3) peremptory challenges. Peremptory
challenges shall be done outside of the hearing of the jury,
in a manner selected by the Court. Rule 1.431(e).
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g~341 192 -
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