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SU~264
IH TFIE CIRCUIT OF THE NINETEENTH
JUDICIAL CIRCUIT OF FLORIDA, IN AND
'FOR ST. LUCIE CQUNTY, FLORIDA
CASE NUMBER: 80-160 -~/9
CHERYL A. JENKINS,
PLAINTIFF.
IVS
JOHN RICHARD COPPOCK,
NATIONAL LINEN SERVICES,
DEFENDANTS.
JRDER ON PRE-TRIAL CONFERENCE
PRE-TRIAL Conference having been held, it is:
OREDERED AND ADJUDGEG
I. STIPULATIONS AND ADMISSIONS
(a) That on or about June 8, 1979, CHERYL A. JENKINS was operating
an automobile on the street of Fort Pierce, Florida.
(b). That on or about June 8, 1979 JOHN RICHARD COPPOCK was operating
a truck that collided with an automobile driven by CHERYL A. JEiiKINS.
(c). That the accident occurred on June 8, 1979 in Fort Pierce, Fla.
at near the intersection of Indrio Rd in Fort Pierce, Florida.
(d). That the automobile which JOHN RICHARD COPPOCK was operating at
the time of the accident is owned by NATIONAL LINEN SERVICE and who is self-
insured.
(e). That the defendant, JOHN RICHARD COPPOCK, was operating a vehi-
cle owned by the defendant, NATIONAL LINEN SERVICE in the course and scope of
his employment at the tine this accident occurred.
(f). That an accident occurred on June 8, 1979, on Indrio Road di-
I rectly across from the Montego Bay Restaurant, Fort Pierce, St. Lucie County,
(Florida.
II. EVI:,~:~~ The parties hereby incorporate by .reference all wit-
A~.t OFFICES OF
,i.RY AND LEWIS
SUITE IiD
. i RviEN -ROFESitONAL
BUIIDYM.
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nesses listed anu the list of documentary evidence previously filed in the
court by the parties hereto in their respective unilateral pretrial statements
land amendments thereto.
(a). Dr. Haas's medical reports what may be offered by the
P1 ai nti ffs-Defendants reserve all objections .
(b). Dr. Haas's medical bill-that may be offered by the Plaintiff-
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