Gilmore v. Fulbright & Jaworski, LLP

Filing 18

DESIGNATION OF EXPERT WITNESS LIST by Elizabeth Gilmore, filed.(Sneed, Joe)

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Gilmore v. Fulbright & Jaworski, LLP Doc. 18 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 1 of 15 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION ELIZABETH A. GILMORE, Plaintiff V. FULBRIGHT & JAWORSKI L.L.P., Defendant § § § § § § § § § C. A. NO. 4:06-CV-03849 JURY PLAINTIFF ELIZABETH A. GILMORE'S RULE 26(a)(2) DESIGNATION OF EXPERTS In accordance with Rule 26(a)(2) of the Federal Rules of Civil Procedure, Plaintiff, Elizabeth A. Gilmore, respectfully designates the following experts: A. (1) Joe Sneed 699 F.M. 2027 Cameron, Texas 76520-5040 (979) 364-2767 Plaintiff's attorney/attorney's fees See all documents generated, or to be generated, in this lawsuit. No formal reports have been prepared or are anticipated. (2) Randal A. Kauffman P.O. Box 1211 Tomball, Texas 77377-1211 (281) 290-9759 Plaintiff's attorney/attorney's fees See all documents generated, or to be generated, in this lawsuit. No formal reports have been prepared or are anticipated. Experts Dockets.Justia.com Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 2 of 15 B. (1) Treating Experts Howard. K. Wilson, M.D. 1200 Binz Street, Suite 1410 Houston, Texas 77004 (713) 523-9508 Howard K. Wilson, M.D., and any and all other health care providers associated with Howard K. Wilson, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Howard. K. Wilson, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (2) Richard Johnson, M.D. Diagnostic Clinic of Houston 1200 Binz Street Houston, Texas 77004 (713) 797-9191 Richard Johnson, M.D., and any and all other health care providers associated with Richard Johnson, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is 2 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 3 of 15 willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Richard D. Johnson, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (3) E. Russell Weidman, M.D. Texas Institute of Reproductive Medicine &Endocrinology 7400 Fannin, Suite 850 Houston, Texas 77054 (713) 791-1874 E. Russell Weidman, M.D., and any and all other health care providers associated with E. Russell Weidman, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for E. Russell Weidman, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. 3 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 4 of 15 (4) St. Luke's Community Medical Center 17200 St. Luke's Way The Woodlands, Texas 77384 (936) 266-2000 St. Luke's Community Medical Center and any and all other health care providers associated with St. Luke's Community Medical Center involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for St. Luke's Community Medical Center Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (5) Memorial Hermann - The Woodlands 9250 Pinecroft The Woodlands, Texas 77380 (281) 364-2300 Memorial Hermann ­ The Woodlands and any and all other health care providers associated with Memorial Hermann ­ The Woodlands involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. 4 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 5 of 15 No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Memorial Hermann ­ The Woodlands. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (6) Jeffrey Kelley, D.O. 12522 Greenspoint Drive Houston, Texas (281) 876-2300 Jeffrey Kelley, D.O., and any and all other health care providers associated with Jeffrey Kelley, D.O., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Jeffrey Kelley, D.O. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (7) George P. Noon, M.D. 6560 Fannin St., Suite 1860 Houston, Texas 77030 (713) 790-3155 5 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 6 of 15 George P. Noon, M.D., and any and all other health care providers associated with George P. Noon, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for George P. Noon, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (8) The Methodist Hospital 6565 Fannin Street Houston, Texas 77030 (713) 790-3311 The Methodist Hospital and any and all other health care providers associated with The Methodist Hospital involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. 6 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 7 of 15 Custodian of records for The Methodist Hospital. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (9) Robert K. Zurawin, M.D. Baylor College of Medicine Dept. of Obstetrics & Gynecology 6560 Fannin, Suite 901 Houston, Texas 77040 (713) 798-7500 Robert K. Zurawin, M.D., and any and all other health care providers associated with Robert K. Zurawin, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Robert K. Zurawin, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (10) George G. Hughes, M.D. 1001 Medical Plaza Dr., Ste. 220 Spring, Texas 77380 (281) 296-0400 7 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 8 of 15 George G. Hughes, M.D., and any and all other health care providers associated with George G. Hughes, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for George G. Hughes, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (11) Digestive and Liver Disease Consultants, P.A. Northwest Medical Plaza 275 Lantern Bend, Suite 200 Houston, Texas 77090 (281) 440-0101 Digestive and Liver Disease Consultants, P.A., and any and all other health care providers associated with Digestive and Liver Disease Consultants, P.A., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. 8 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 9 of 15 Custodian of records for Digestive and Liver Disease Consultants, P.A. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (12) Quest Diagnostics The Woodlands Professional Building 920 Medical Plaza Dr., Suite 480 The Woodlands, Texas 77380 (281) 296-8200 Quest Diagnostics and any and all other health care providers associated with Quest Diagnostics involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Quest Diagnostics. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (13) Denise J. Guiffrida, M.D. 910 Travis Street South Houston, Texas 77002 (713) 652-5111 Denise J. Guiffrida, M.D., and any and all other health care providers associated with Denise J. Guiffrida, M.D., involved in the examination, 9 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 10 of 15 diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Denise J. Guiffrida, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (14) Alan G. Selbst, DDS Houston Endodontic Specialists 902 Frostwood Drive, Suite 112 Houston, Texas 77024-2401 (713) 461-1166 Alan G. Selbst, DDS, and any and all other health care providers associated with Alan G. Slebst, DDS, involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. 10 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 11 of 15 Custodian of records for Alan G. Selbst, DDS Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (15) Robert C. Fulweber, M.D. 6560 Fannin, Suite 1562 Houston, Texas 77030 (713) 797-9483 Robert C. Fulweber, M.D., and any and all other health care providers associated with Robert C. Fulweber, M.D., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Robert C. Fulbweber, M.D. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (16) Bernard M. Barrett 6624 Fannin, Suite 2200 Houston, Texas 77030 (713) 790-9000 Bernard M. Barrett and any and all other health care providers associated with Bernard M. Barrett involved in the examination, diagnosis, care, or 11 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 12 of 15 treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Bernard M. Barrett. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (17) Drs. Rainey and Beaver 2727 Holcombe, 4th Floor Houston, Texas 77025 (713) 442-0000 Drs. Rainey and Beaver and any and all other health care providers associated with Drs. Rainey and Beaver involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Drs. Rainey and Beaver. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by 12 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 13 of 15 custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (18) Luisa Lohner 4801 Woodway Dr. Houston, Texas 77056 (713) 627-8780 Luisa Lohner and any and all other health care providers associated with Luisa Lohner involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Luisa Lohner. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (19) Gary Smith Houston Urologic Assoc. 6560 Fannin Houston, Texas 77030 (713) 790-9779 Gary Smith and any and all other health care providers associated with Gary Smith involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also 13 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 14 of 15 execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Gary Smith. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. (20) Michael Marlow, D.O. Alden Health Center 8000 Research Forest Drive, Suite 380 The Woodlands, Texas 77382 (281) 296-5000 Michael Marlow, D.O., and any and all other health care providers associated with Michael Marlow, D.O., involved in the examination, diagnosis, care, or treatment of Plaintiff. Medical facts and opinions concerning examination, diagnosis, care, treatment, or evaluation of Plaintiff. Medical experts, treating physicians not retained by, employed by, or otherwise subject to the control of Plaintiff. Plaintiff has produced/is willing to produce all medical records in her possession. Plaintiff will also execute a medical authorization to allow Defendant to obtain additional information if described by Defendant. No report will be furnished as medical expert treating physician not retained by, employed by, or otherwise subject to control by Plaintiff. Custodian of records for Michael Marlow, D.O. Testimony concerning authenticity and business records of these records. Custodian of medical records not retained by, employed, or otherwise subject to control of Plaintiff. See any and all affidavits executed by custodian after execution along with copies of any and all documents attached thereto. No report will be furnished as not retained by, employed by, or otherwise subject to control of Plaintiff. 14 Case 4:06-cv-03849 Document 18 Filed 07/31/2007 Page 15 of 15 DATED: July 31, 2007. Respectfully submitted, s/Joe Sneed________________________________ Joe Sneed, Attorney-In-Charge for Plaintiff Federal I.D. No. 1072 State Bar No. 18785900 699 FM 2027 Cameron, Texas 76520-5040 (979) 364-2767 (Telephone) joesneedatty@yahoo.com Attorney for Plaintiff CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of a duplicate of the above and foregoing Rule 26(a)(2) Designation of Experts of Plaintiff Elizabeth A. Gilmore has been served upon all opposing parties, or their attorneys of record, by either certified mail, return receipt requested, hand delivery, or telephonic or electronic document transfer on the 31st day of July, 2007. Lawrence H. Clore Fulbright & Jaworski L.L.P. 1301 McKinney, Suite 5100 Houston, Texas 77010-3095 Via Hand Delivery s/Joe Sneed________________________________ Joe Sneed 15

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