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HomeMy WebLinkAbout03-0066STATE OF SOUTH CAROLINA COUNTY OF HAMPTON IN THE COURT OF COMMON PLEAS FOURTEENTH JUDICIAL CIRCUIT YOLANDA SANCHEZ AND LAUREN HILEMAN, PLAINTIFFS, VS. RICHARD A. SINGLETON AND ROBERT ELLIOT TRUCKING, DEFENDANTS. ) ) Docket No.: ) ) ) ) ) CASE NO. 01-CP-25-525 Cumberland County, PA ORDER ) ) This matter is before the Court pursuant to motion of the Defendants whereby they seek this Court to issue an order compelling the appropriate authorities in the State of Maryland to issue a deposition subpoena duces tecum compelling the attendance of Todd Brubaker of the PMA Group, 500 N. 12th St., Lemoyne, Pennsylania for a telephonic and videotaped deposition concerning the above-captioned case. This case was served on the Defendants on or about November 11, 2000, resulting from an automobile accident on November 12, 1998. The Plaintiff, Yolanda Sanchez, previously filed a claim with PMA Group for an accident dated May 12, 1996. Mr. Brubaker is expected to testify regarding the authenticity of PMA Group's records for Ms. Sanchez's claim. The Court finding good cause exists for such. IT IS HEREBY ORDERED, ADJUDGED AND DECREED that the Cumberland County Clerk of Court Prothonotary issue a deposition subpoena duces tecum requiring that Todd Brubaker or an appropriate representative of PMA Group submit to a deposition about this matter in Maryland consistent with the above. This the day of ,200_. Presiding Judge Certified - A True Copy Clerk of Court STATE OF SOUTH CAROLINA ) ) COUNTY OF HAMPTON ) YOLANDA SANCHEZ AND LAUREN ) HILEMAN, ) PLAINTIFFS, VS. RICHARD A. SINGLETON AND ROBERT ELLIOT TRUCKING, DEFENDANTS. IN THE COURT OF COMMON PLEAS FOURTEENTH JUDICIAL CIRCUIT CASE NO. 01-CP-25-525 CUMBERLAND COUNTY, PA DOCKET NO.: d5~ - do~ PETITION FOR ORDER TO ISSUE OUT OF STATE SUBPOENA Defendants, by and through their undersigned attorney, hereby move this Honorable Court for an order compelling the Clerk of Court of Cumberland County Prothonotary to issue a subpoena duces tecum to Todd Brubaker, of the PMA Group, 500 N. 12th St., Lemoyne, Pennsylvania to attend a telephonic and videotaped deposition duces tecum regarding this matter. In support of their motion, Defendants state as follows: This case arises from an automobile accident which occurred on November 12, 1998. The Plaintiff, Yolanda Sanchez, had filed a claim with PMA Group for previous injuries she received in an accident dated May 12, 1996. Mr. Brubaker is expected to testify regarding the authenticity of PMA Group's records regarding Ms. Sanchez's claim. Wherefore, Defendants respectfully request that this Court issue an order for the issuance of a subpoena duces tecum by the Cumberland County Clerk of Court Prothonotary compelling Todd Bmbaker's attendance at a telephonic and videotaped deposition duces tecum in Lemoyne, Pennsylvania. Respectfully submitted, Charleston, South Carolina Dated: I )_[{~./~)Z_ YOUNG, CI F. MENT, RIVERS & TISDAI.F., LLP Duke R. Highfield .~ 28 Broad Street Post Office Box 9~ Charleston, SC 29402 (843) 577-4000 Attorneys for the Defendant CERTIFICATE OF MAIl ,lNG I hereby certify that a copy of the foregoing pleading was mailed ~to all counsel-~f..record in this proceeding this [ ~ day of ~.-~ 2002. -2- JAN 07 003 STATE OF SOUTH CAROLINA COUNTY OF HAMPTON IN THE COURT OF COMMON PLEAS FOURTEENTH JUDICIAL CIRCUIT YOLANDA SANCHEZ AND LAUREN HILEMAN, PLAINTIFFS, VS. RICHARD A. SINGLETON AND ROBERT ELLIOT TRUCKING, DEFENDANTS. CASE NO. 01-CP-25-525 Cumberlancl County, PA Docket No.: ORDER This matter is before the Court pursuant to motion of the Defendants whereby they seek this Court to issue an order compelling the appropriate authorities in the State of bf-arTtand to issue a deposition subpoena duces tecum compelling the attendance of Todd Brubaker of the PMA Group, 500 N. 12th St., Lemoyne, Pennsylania for a telephonic and videotaped deposition concerning the above-captioned case. This case was served on the Defendants; on or about November 11, 2000, resulting from an automobile accident on November 12, 1998. The Plaintiff, Yolanda Sanchez, previously filed a claim with PMA Group for an accident dated Ma)' 12, 1996. Mr. Bmbaker is expected to testify regarding the authenticity of PMA Group's records for Ms. Sanchez's claim. The Court finding good cause exists for such. IT IS HEREBY ORDERED, ADJUDGED AND DEC'REED that the Cumberland County Clerk of Court Prothonotary issue a deposition subpoena duces tecum requiring that Todd Bmbaker or an appropriate representative of PMA Group submit to a deposition about this matter in Maryland consistent with the above. This the )o" day of ?fr~,,,~ ,2oo~. Copy Clerk of Court STATE OF SOUTH CAROLINA ) ) COUNTY OF HAMPTON ) YOLANDA SANCHEZ AND LAUREN ) HILEMAN, ) ) PLAINTIFFS, ) ) ) RICHARD A. SINGLETON AND ) ROBERT ELLIOT TRUCKING, ) ) DEFENDANTS. ) ) IN THE COURT OF COMMON PLEAS FOURTEENTH JUDICIAL CIRCUIT CASE NO. 01-CP-25-525 CUMBERLAND COUNTY, PA DOCKETNO.: db3 -/o~ PETITION FOR ORDER TO ISSUE OUT OF STATE SUBPOENA Defendants, by and through their undersigned attorney, hereby move this Honorable Court for an order compelling the Clerk of Court of Cumberland County Prothonotary to issue a subpoena duces tecum to Todd Brubaker, of the PMA Group, 500 N. 12th St., Lemoyne, Pennsylvania to attend a telephonic and videotaped deposition duces tecum regarding this matter. In support of their motion, Defendants state as follows: This case arises from an automobile accident which occurred on November 12, 1998. The Plaintiff, Yolanda Sanchez, had filed a claim with PMA Group for previous injuries she received in an accident dated May 12, 1996. Mr. Brubaker is expected to testify regarding the authenticity of PMA Group's records regarding Ms. Sanchez's claim. Wherefore, Defendants respectfully request that this Court issue an order for the issuance of a subpoena duces tecum by the Cumberland County Clerk of Court Prothonotary compelling Todd Brubaker's attendance at a telephonic and videotaped deposition duces tecum in Lemoyne, Pennsylvania. Respectfully submitted, Charleston, South Carolina Dated: t ~- ( t ~ / t; 7.__ YOUNG, CLEMENT, RIVERS & TISDALE, LLP Duke R. Highfield .~ 28 Broad Street j Post Office Box 95[':. Charleston, SC 29402 (843) 577-4000 Attorneys for the Defendant CERTIFICATE OF MAILING I hereby certify that a copy of the foregoing pleading was mailetltto all counsel~.,record in this proceeding this [ ~'~_____ day of ~.-~~ ~_ , 2002. -2-