throbber
IN THE SUPREME COURT OF THE STATE OF NEVADA
`
`
`Appellants,
`
`TATAYA KREESHAWN JACKSON;
`AND CONNIE ANN JACKSON,
`
`
`
`GENARA GREGORE TONGOL,
`
`
`vs.
`
`Respondents.
`
`
`
` Nos. 84178 and 84561
`Electronically Filed
`
`Sep 15 2022 05:46 p.m.
`
`Elizabeth A. Brown
`
`
`Clerk of Supreme Court
`
`
`
`
`
`
`
`
`
`
`
`
`APPEAL
`from the Eighth Judicial District Court, Clark County
`Hon. Nadia Krall, District Judge
`District Court Case No. A-18-772004-C
`
`_____________________________________________________
`
`JOINT APPENDIX
`VOLUME 15 of 25 (APPX3501-3750)
`_____________________________________________________
`
`
`
`
`Jeffrey D. Olster
`Nevada Bar No. 8864
`Jeff.Olster@lewisbrisbois.com
`Lewis Brisbois Bisgaard & Smith LLP
`6385 S. Rainbow Boulevard, Suite 600
`Las Vegas, Nevada 89118
`(702) 893-3383
`Attorneys for Appellants
`TATAYA KREESHAWN JACKSON and
`CONNIE ANN JACKSON
`
`4889-8706-2323.1
`
`
`Docket 84178 Document 2022-29020
`
`

`

`Tab
`1
`2
`
`3
`
`4
`
`5
`
`6
`
`7
`
`8
`9
`10
`
`11
`
`12
`
`13
`14
`
`15
`
`16
`
`17
`
`Document
`
`Date
`3/29/2018
`11/20/2018
`
`11/20/2018
`
`3/19/2019
`
`5/13/2019
`
`07/03/2019
`
`07/03/2019
`
`7/22/2020
`
`7/23/2020
`
`11/18/2020
`4/30/2021
`
`Complaint
`Plaintiff’s Application for Default
`Judgment
`Declaration of Plaintiff in Support of
`Default Judgment
`Defendants’ Answer to Plaintiff’s
`Complaint
`Plaintiff Genara Gregore Tongol’s
`Early Case Conference List of
`Witnesses and Documents Pursuant to
`N.R.C.P. 16.1 and Initial Expert
`Disclosures
`Plaintiffs’ Responses to Defendants’
`First Set of Interrogatories to Plaintiff
`Plaintiffs’ Responses to Defendants’
`First Set of Requests for Production
`Deposition of Genara Gregore Tongol 11/19/2019
`Deposition of Karl Atkinson
`11/19/2019
`Defendants’ Designation of Expert
`5/12/2020
`Witnesses
`Deposition of Tataya Kreeshawn
`Jackson
`Plaintiff’s Offer of Judgement to
`Defendants
`Deposition of Christopher Heaton
`Plaintiff Genara Gregore Tongol’s
`Third Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Plaintiff Genara Gregore Tongol’s
`Fourth Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Defendant’s Motion in Limine #1 – to
`Limit Chiropractor Bahoora’s
`Opinions to his Chiropractic Expertise
`Defendant’s Motion in Limine #2 – to
`Exclude Evidence of the Traffic
`Officer’s Opinions of Causation and
`Fault from Officer Body Cam Footage
`
`CHRONOLOGICAL TABLE OF CONTENTS
`
`
`Volume
`1
`1
`
`1
`
`1
`
`1-2
`
`2
`
`2
`
`2
`2-3
`3
`
`3-4
`
`4
`
`4
`4-5
`
`Pages
`1-9
`10-151
`
`152-154
`
`155-159
`
`160-364
`
`365-376
`
`377-389
`
`390-440
`441-515
`516-666
`
`667-851
`
`852-854
`
`855-901
`902-1197
`
`6/30/2021
`
`8/27/2021
`
`8/27/2021
`
`5-6
`
`1198-1261
`
`6-7
`
`7
`
`1262-1659
`
`1660-1699
`
`4889-8706-2323.1
`
`
`1
`
`

`

`Tab
`18
`
`19
`
`20
`
`21
`
`22
`
`23
`
`24
`
`25
`
`26
`
`27
`
`28
`
`29
`
`30
`
`Document
`Defendant’s Motion in Limine #3 – to
`Exclude Plaintiffs’ Expert Frank
`Perez, Ph.D pursuant to N.R.S. 50.275
`Defendant’s Motion in Limine #4 – to
`Preclude Referring to Jury as
`“Conscience of the Community” and
`to Ask Jury “To Send a Message to
`Defendant that their Conduct was
`Unreasonable”
`Defendant’s Motion in Limine #5 – to
`Prevent Plaintiff from Presenting
`Cumulative Testimony from Experts
`Dr. Perez, Dr. Terry and Chiropractor
`Bahoora and to Limit Chiropractor
`Bahoora to the Area of Chiropractic
`Care
`Defendant’s Motion in Limine #6 – to
`Exclude Plaintiffs’ Experts Richard
`Newman, MD and Scott Auerbach,
`PT, pursuant to N.R.S. 50.275
`Plaintiffs’ Motion in Limine No. 1: To
`Exclude References to Collateral
`Sources of Payment for Medical Bills
`and All Other Expenses, including
`Health Insurance, Liens, and/or
`Medicare
`Plaintiffs’ Motion in Limine No. 7:
`Regarding Alleged Medical Build-Up
`or Attorney Driven Care
`Stipulation and Order Regarding
`Motions in Limine
`Stipulation and Order Regarding
`Motions in Limine
`Supplement to Defendant’s Motion in
`Limine #6 – to Exclude Plaintiffs’
`Experts Richard Newman, MD and
`Scott Auerbach, PT
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 1
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 7
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #1
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #2
`
`4889-8706-2323.1
`
`
`2
`
`Date
`8/27/2021
`
`Volume
`7-8
`
`Pages
`1700-1785
`
`8/27/2021
`
`8
`
`1786-1799
`
`8/27/2021
`
`8-9
`
`1800-2031
`
`8/27/2021
`
`8/27/2021
`
`8/27/2021
`
`8/30/2021
`
`9/6/2021
`
`9
`
`9
`
`9
`
`9
`
`9
`
`2032-2069
`
`2070-2078
`
`2079-2088
`
`2089-2095
`
`2096-2102
`
`9/7/2021
`
`9-10
`
`2103-2251
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`10
`
`10
`
`10
`
`10
`
`2252-2262
`
`2263-2337
`
`2338-2482
`
`2483-2499
`
`

`

`Tab
`31
`
`32
`
`33
`
`34
`
`35
`
`36
`
`37
`
`38
`
`39
`
`40
`
`41
`
`42
`
`43
`44
`
`45
`46
`47
`
`48
`
`49
`
`Document
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #3
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #4
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #5
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #6
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 1
`Reply in Support of Plaintiff’s Motion
`in Limine No. 7
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #1
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #2
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #3
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #4
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #5
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #6
`Defendants’ Pre-Trial Memorandum
`Defendants’ Amended Pre-Trial
`Memorandum
`Plaintiff’s Pre-Trial Disclosure
`Court Minutes
`Transcript of Proceedings Re: All
`Pending Motions
`Plaintiff Genara Gregore Tongol’s
`Seventh Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Defendants’ Objection to Plaintiff’s
`Amended Pre-Trial Memorandum and
`Motion for Reimbursement of Expert
`Costs
`
`Date
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/15/2021
`
`9/15/2021
`
`Volume
`10-11
`
`11
`
`11
`
`11
`
`11
`
`11
`
`Pages
`2500-2593
`
`2594-2601
`
`2602-2681
`
`2682-2716
`
`2717-2721
`
`2722-2727
`
`9/15/2021
`
`11-13
`
`2728-3024
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/16/2021
`9/16/2021
`
`9/21/2021
`9/28/2021
`9/28/2021
`
`10/11/2021
`
`13
`
`13
`
`13
`
`13
`
`13
`
`13
`13
`
`13
`13
`13
`
`13
`
`3025-3031
`
`3032-3037
`
`3038-3046
`
`3047-3053
`
`3054-3063
`
`3071-3077
`3064-3070
`
`3078-3093
`3094-3096
`3097-3150
`
`3151-3244
`
`10/11/2021
`
`13-14
`
`3245-3414
`
`4889-8706-2323.1
`
`
`3
`
`

`

`Tab
`50
`
`51
`
`52
`
`53
`54
`
`55
`
`56
`
`57
`
`58
`
`59
`
`60
`
`61
`
`62
`
`63
`
`Document
`Defendants’ Objection to Plaintiff’s
`Amended Pre-Trial Memorandum and
`Plaintiff’s Fifth and Sixth
`Supplements to Early Case
`Conference Disclosure of Witnesses
`and Documents
`Defendants’ Objection to Plaintiff’s
`Seventh Supplement to Early Case
`Conference List of Witnesses and
`Documents
`Defendants’ Trial Motion to
`Reconsider Exclusion of Plaintiff’s
`Claims for Neck and Back Injuries
`Order
`Transcript of Proceedings Re: All
`Pending Motions
`Reply to Defendants’ Objection to
`Plaintiff’s Amended Pre-Trial
`Memorandum and Plaintiff’s Fifth
`and Sixth Supplements to Early Case
`Conference Disclosure of Witnesses
`and Documents and Plaintiff’s
`Opposition to Defendants’ Motion for
`Reimbursement of Expert Cost
`Transcript of Proceedings: Jury Trial
`– Day 1
`Plaintiff’s and Defendants’ Proposed
`Joint Jury Instructions
`Transcript of Proceedings: Jury Trial
`– Day 2
`Transcript of Hearing Re: Jury Trial –
`Day 3 (Partial)
`Transcript of Proceedings: Jury Trial
`– Day 3
`Transcript of Proceedings: Jury Trial
`– Day 4
`Transcript of Proceedings: Jury Trial
`– Day 5
`Defendants’ Trial Motion to Publish
`the Deposition Transcript of Officer
`Heaton and Proposed Page-Line
`Designations
`
`Date
`10/11/2021
`
`Volume
`14-15
`
`Pages
`3415-3536
`
`10/12/2021
`
`15
`
`3537-3635
`
`10/12/2021
`
`10/12/2021
`09/28/2021
`
`10/12/2021
`
`15
`
`15
`15
`
`15
`
`3636-3644
`
`3645-3657
`3658-3711
`
`3712-3719
`
`10/13/2021
`
`15-16
`
`3720-3996
`
`10/13/2021
`
`16-17
`
`3997-4030
`
`10/14/2021
`
`17-18
`
`4031-4252
`
`10/15/2021
`
`18
`
`4253-4255
`
`10/15/2021
`
`18-19
`
`4256-4549
`
`10/18/2021
`
`19-20
`
`4550-4806
`
`10/19/2021
`
`10/19/2021
`
`20
`
`20
`
`4807-4980
`
`4981-4985
`
`4889-8706-2323.1
`
`
`4
`
`

`

`Tab
`64
`
`65
`
`66
`
`67
`
`68
`
`69
`70
`71
`72
`
`73
`74
`
`75
`76
`
`77
`78
`79
`801
`
`81
`
`82
`
`83
`
`Document
`Plaintiff’s Trial Motion to Preclude
`Publishing of Deposition Statements
`of Officer Heaton and Officer
`Atkinson
`Transcript of Hearing Re: Jury Trial –
`Day 6 (Partial)
`Transcript of Proceedings: Jury Trial
`– Day 6
`Transcript of Hearing Re: Jury Trial –
`Day 7 (Partial)
`Transcript of Proceedings: Jury Trial
`– Day 7
`Jury Instructions
`Verdict Form
`Judgment on Verdict
`Plaintiff’s Motion for Attorney Fees
`and Costs
`Notice of Entry of Judgment
`Defendants’ Opposition to Plaintiff’s
`Motion for Attorney Fees and Costs
`Notice of Appeal
`Reply in Support of Plaintiff’s Motion
`for Attorney Fees and Costs
`Court Minutes
`Notice of Entry of Order
`Notice of Appeal
`Plaintiffs’ Motion in Limine No. 10:
`To Preclude Chiropractor Michael
`Millar’s Report, Opinions and
`Testimony
`Plaintiffs’ Motion in Limine No. 11:
`To Preclude Report, Opinions, and
`Testimony of Hugh L. Bassewitz,
`M.D.
`Plaintiffs’ Motion in Limine No. 12:
`To Preclude Reports, Opinions, and
`Testimony of Keith Stolworthy,
`Ph.D., P.E.
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 10
`
`Date
`10/19/2021
`
`Volume
`20-21
`
`Pages
`4986-5110
`
`10/20/2021
`
`21
`
`5111-5113
`
`10/20/2021
`
`21-22
`
`5114-5356
`
`10/21/2021
`
`10/21/2021
`
`10/21/2021
`10/21/2021
`12/20/2021
`12/27/2021
`
`12/28/2021
`1/5/2022
`
`1/27/2022
`2/11/2022
`
`2/16/2022
`3/11/2022
`4/11/2022
`8/27/2021
`
`22
`
`22
`
`22
`22
`22-23
`23
`
`23
`23-24
`
`24
`24
`
`24
`24
`24
`24
`
`5357-5361
`
`5362-5448
`
`5449-5494
`5495-5496
`5497-5502
`5503-5559
`
`5560-5568
`5569-5896
`
`5897-5899
`5900-5924
`
`5925-5926
`5927-5935
`5936-5938
`5939-5981
`
`8/27/2021
`
`24-25
`
`5982-6020
`
`8/27/2021
`
`25
`
`6021-6050
`
`9/9/2021
`
`25
`
`6051-6089
`
`
`1 Nos. 80-89 are out of chronological sequence.
`
`4889-8706-2323.1
`
`
`5
`
`

`

`Document
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 11
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 12
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 10
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 11
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 12
`Plaintiff’s Pre-Trial Memorandum
`
`Date
`9/9/2021
`
`9/9/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/21/2021
`
`Volume
`25
`
`25
`
`25
`
`25
`
`25
`
`25
`
`Pages
`6090-6119
`
`6120-6182
`
`6183-6188
`
`6189-6194
`
`6195-6201
`
`6202-6220
`
`Tab
`84
`
`85
`
`86
`
`87
`
`88
`
`89
`
`
`
`
`
`
`
`4889-8706-2323.1
`
`
`6
`
`

`

`ALPHABETICAL TABLE OF CONTENTS
`
`
`Tab
`1
`46
`77
`3
`
`4
`
`10
`
`16
`
`17
`
`18
`
`19
`
`20
`
`21
`
`49
`
`Document
`
`Complaint
`Court Minutes
`Court Minutes
`Declaration of Plaintiff in Support of
`Default Judgment
`Defendants’ Answer to Plaintiff’s
`Complaint
`Defendants’ Designation of Expert
`Witnesses
`Defendant’s Motion in Limine #1 – to
`Limit Chiropractor Bahoora’s
`Opinions to his Chiropractic Expertise
`Defendant’s Motion in Limine #2 – to
`Exclude Evidence of the Traffic
`Officer’s Opinions of Causation and
`Fault from Officer Body Cam Footage
`Defendant’s Motion in Limine #3 – to
`Exclude Plaintiffs’ Expert Frank
`Perez, Ph.D pursuant to N.R.S. 50.275
`Defendant’s Motion in Limine #4 – to
`Preclude Referring to Jury as
`“Conscience of the Community” and
`to Ask Jury “To Send a Message to
`Defendant that their Conduct was
`Unreasonable”
`Defendant’s Motion in Limine #5 – to
`Prevent Plaintiff from Presenting
`Cumulative Testimony from Experts
`Dr. Perez, Dr. Terry and Chiropractor
`Bahoora and to Limit Chiropractor
`Bahoora to the Area of Chiropractic
`Care
`Defendant’s Motion in Limine #6 – to
`Exclude Plaintiffs’ Experts Richard
`Newman, MD and Scott Auerbach,
`PT, pursuant to N.R.S. 50.275
`Defendants’ Objection to Plaintiff’s
`Amended Pre-Trial Memorandum and
`Motion for Reimbursement of Expert
`Costs
`
`4889-8706-2323.1
`
`
`7
`
`Date
`3/29/2018
`9/28/2021
`2/16/2022
`11/20/2018
`
`Volume
`1
`13
`24
`1
`
`3/19/2019
`
`5/12/2020
`
`1
`
`3
`
`Pages
`1-9
`3094-3096
`5925-5926
`152-154
`
`155-159
`
`516-666
`
`8/27/2021
`
`6-7
`
`1262-1659
`
`8/27/2021
`
`7
`
`1660-1699
`
`8/27/2021
`
`7-8
`
`1700-1785
`
`8/27/2021
`
`8
`
`1786-1799
`
`8/27/2021
`
`8-9
`
`1800-2031
`
`8/27/2021
`
`9
`
`2032-2069
`
`10/11/2021
`
`13-14
`
`3245-3414
`
`

`

`Document
`Defendants’ Objection to Plaintiff’s
`Amended Pre-Trial Memorandum and
`Plaintiff’s Fifth and Sixth
`Supplements to Early Case
`Conference Disclosure of Witnesses
`and Documents
`Defendants’ Objection to Plaintiff’s
`Seventh Supplement to Early Case
`Conference List of Witnesses and
`Documents
`Defendants’ Opposition to Plaintiff’s
`Motion for Attorney Fees and Costs
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 1
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 7
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 10
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 11
`Defendants’ Opposition to Plaintiff’s
`Motion in Limine No. 12
`Defendants’ Pre-Trial Memorandum
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #1
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #2
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #3
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #4
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #5
`Defendants’ Reply to Plaintiffs’
`Opposition to Motion in Limine #6
`Defendants’ Trial Motion to Publish
`the Deposition Transcript of Officer
`Heaton and Proposed Page-Line
`Designations
`Defendants’ Trial Motion to
`Reconsider Exclusion of Plaintiff’s
`Claims for Neck and Back Injuries
`11/18/2020
`Deposition of Christopher Heaton
`Deposition of Genara Gregore Tongol 11/19/2019
`Deposition of Karl Atkinson
`11/19/2019
`
`1/5/2022
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/16/2021
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`10/19/2021
`
`10/12/2021
`
`Date
`10/11/2021
`
`10/12/2021
`
`Tab
`50
`
`51
`
`74
`
`27
`
`28
`
`83
`
`84
`
`85
`
`43
`37
`
`38
`
`39
`
`40
`
`41
`
`42
`
`63
`
`52
`
`13
`8
`9
`
`4889-8706-2323.1
`
`
`8
`
`Volume
`14-15
`
`Pages
`3415-3536
`
`15
`
`3537-3635
`
`23-24
`
`5569-5896
`
`10
`
`10
`
`25
`
`25
`
`25
`
`13
`11-13
`
`13
`
`13
`
`13
`
`13
`
`13
`
`20
`
`15
`
`4
`2
`2-3
`
`2252-2262
`
`2263-2337
`
`6051-6089
`
`6090-6119
`
`6120-6182
`
`3071-3077
`2728-3024
`
`3025-3031
`
`3032-3037
`
`3038-3046
`
`3047-3053
`
`3054-3063
`
`4981-4985
`
`3636-3644
`
`855-901
`390-440
`441-515
`
`

`

`Tab
`11
`
`71
`69
`75
`79
`73
`78
`53
`57
`
`5
`
`14
`
`15
`
`48
`
`2
`
`72
`
`22
`
`23
`
`Document
`Deposition of Tataya Kreeshawn
`Jackson
`Judgment on Verdict
`Jury Instructions
`Notice of Appeal
`Notice of Appeal
`Notice of Entry of Judgment
`Notice of Entry of Order
`Order
`Plaintiff’s and Defendants’ Proposed
`Joint Jury Instructions
`Plaintiff Genara Gregore Tongol’s
`Early Case Conference List of
`Witnesses and Documents Pursuant to
`N.R.C.P. 16.1 and Initial Expert
`Disclosures
`Plaintiff Genara Gregore Tongol’s
`Third Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Plaintiff Genara Gregore Tongol’s
`Fourth Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Plaintiff Genara Gregore Tongol’s
`Seventh Supplement to Early Case
`Conference List of Witnesses and
`Documents Pursuant to N.R.C.P. 16.1
`and Initial Expert Disclosures
`Plaintiff’s Application for Default
`Judgment
`Plaintiff’s Motion for Attorney Fees
`and Costs
`Plaintiffs’ Motion in Limine No. 1: To
`Exclude References to Collateral
`Sources of Payment for Medical Bills
`and All Other Expenses, including
`Health Insurance, Liens, and/or
`Medicare
`Plaintiffs’ Motion in Limine No. 7:
`Regarding Alleged Medical Build-Up
`or Attorney Driven Care
`
`Date
`7/22/2020
`
`Volume
`3-4
`
`12/20/2021
`10/21/2021
`1/27/2022
`4/11/2022
`12/28/2021
`3/11/2022
`10/12/2021
`10/13/2021
`
`22-23
`22
`24
`24
`23
`24
`15
`16-17
`
`Pages
`667-851
`
`5497-5502
`5449-5494
`5897-5899
`5936-5938
`5560-5568
`5927-5935
`3645-3657
`3997-4030
`
`5/13/2019
`
`1-2
`
`160-364
`
`4/30/2021
`
`4-5
`
`902-1197
`
`6/30/2021
`
`5-6
`
`1198-1261
`
`10/11/2021
`
`13
`
`3151-3244
`
`11/20/2018
`
`12/27/2021
`
`8/27/2021
`
`1
`
`23
`
`9
`
`10-151
`
`5503-5559
`
`2070-2078
`
`8/27/2021
`
`9
`
`2079-2088
`
`4889-8706-2323.1
`
`
`9
`
`

`

`Tab
`80
`
`81
`
`82
`
`12
`
`29
`
`30
`
`31
`
`32
`
`33
`
`34
`
`45
`89
`6
`
`7
`
`64
`
`76
`
`35
`
`36
`
`86
`
`Document
`Plaintiffs’ Motion in Limine No. 10:
`To Preclude Chiropractor Michael
`Millar’s Report, Opinions and
`Testimony
`Plaintiffs’ Motion in Limine No. 11:
`To Preclude Report, Opinions, and
`Testimony of Hugh L. Bassewitz,
`M.D.
`Plaintiffs’ Motion in Limine No. 12:
`To Preclude Reports, Opinions, and
`Testimony of Keith Stolworthy,
`Ph.D., P.E.
`Plaintiff’s Offer of Judgement to
`Defendants
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #1
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #2
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #3
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #4
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #5
`Plaintiff’s Opposition to Defendants’
`Motion in Limine #6
`Plaintiff’s Pre-Trial Disclosure
`Plaintiff’s Pre-Trial Memorandum
`Plaintiffs’ Responses to Defendants’
`First Set of Interrogatories to Plaintiff
`Plaintiffs’ Responses to Defendants’
`First Set of Requests for Production
`Plaintiff’s Trial Motion to Preclude
`Publishing of Deposition Statements
`of Officer Heaton and Officer
`Atkinson
`Reply in Support of Plaintiff’s Motion
`for Attorney Fees and Costs
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 1
`Reply in Support of Plaintiff’s Motion
`in Limine No. 7
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 10
`
`Date
`8/27/2021
`
`Volume
`24
`
`Pages
`5939-5981
`
`8/27/2021
`
`24-25
`
`5982-6020
`
`8/27/2021
`
`25
`
`6021-6050
`
`7/23/2020
`
`9/9/2021
`
`9/9/2021
`
`4
`
`10
`
`10
`
`852-854
`
`2338-2482
`
`2483-2499
`
`9/9/2021
`
`10-11
`
`2500-2593
`
`9/9/2021
`
`9/9/2021
`
`9/9/2021
`
`9/21/2021
`9/21/2021
`07/03/2019
`
`07/03/2019
`
`11
`
`11
`
`11
`
`13
`25
`2
`
`2
`
`2594-2601
`
`2602-2681
`
`2682-2716
`
`3078-3093
`6202-6220
`365-376
`
`377-389
`
`10/19/2021
`
`20-21
`
`4986-5110
`
`2/11/2022
`
`9/15/2021
`
`9/15/2021
`
`9/15/2021
`
`24
`
`11
`
`11
`
`25
`
`5900-5924
`
`2717-2721
`
`2722-2727
`
`6183-6188
`
`4889-8706-2323.1
`
`
`10
`
`

`

`Tab
`87
`
`88
`
`55
`
`24
`
`25
`
`26
`
`47
`
`54
`
`56
`
`58
`
`60
`
`59
`
`61
`
`62
`
`66
`
`65
`
`68
`
`67
`
`70
`
`Document
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 11
`Reply in Support of Plaintiffs’ Motion
`in Limine No. 12
`Reply to Defendants’ Objection to
`Plaintiff’s Amended Pre-Trial
`Memorandum and Plaintiff’s Fifth
`and Sixth Supplements to Early Case
`Conference Disclosure of Witnesses
`and Documents and Plaintiff’s
`Opposition to Defendants’ Motion for
`Reimbursement of Expert Cost
`Stipulation and Order Regarding
`Motions in Limine
`Stipulation and Order Regarding
`Motions in Limine
`Supplement to Defendant’s Motion in
`Limine #6 – to Exclude Plaintiffs’
`Experts Richard Newman, MD and
`Scott Auerbach, PT
`Transcript of Proceedings Re: All
`Pending Motions
`Transcript of Proceedings Re: All
`Pending Motions
`Transcript of Proceedings: Jury Trial
`– Day 1
`Transcript of Proceedings: Jury Trial
`– Day 2
`Transcript of Proceedings: Jury Trial
`– Day 3
`Transcript of Hearing Re: Jury Trial –
`Day 3 (Partial)
`Transcript of Proceedings: Jury Trial
`– Day 4
`Transcript of Proceedings: Jury Trial
`– Day 5
`Transcript of Proceedings: Jury Trial
`– Day 6
`Transcript of Hearing Re: Jury Trial –
`Day 6 (Partial)
`Transcript of Proceedings: Jury Trial
`– Day 7
`Transcript of Hearing Re: Jury Trial –
`Day 7 (Partial)
`Verdict Form
`
`4889-8706-2323.1
`
`
`11
`
`Date
`9/15/2021
`
`Volume
`25
`
`9/15/2021
`
`10/12/2021
`
`25
`
`15
`
`Pages
`6189-6194
`
`6195-6201
`
`3712-3719
`
`8/30/2021
`
`9/6/2021
`
`9
`
`9
`
`2089-2095
`
`2096-2102
`
`9/7/2021
`
`9-10
`
`2103-2251
`
`9/28/2021
`
`9/28/2021
`
`13
`
`15
`
`3097-3150
`
`3658-3711
`
`10/13/2021
`
`15-16
`
`3720-3996
`
`10/14/2021
`
`17-18
`
`4031-4252
`
`10/15/2021
`
`18-19
`
`4256-4549
`
`10/15/2021
`
`18
`
`4253-4255
`
`10/18/2021
`
`19-20
`
`4550-4806
`
`10/19/2021
`
`20
`
`4807-4980
`
`10/20/2021
`
`21-22
`
`5114-5356
`
`10/20/2021
`
`10/21/2021
`
`10/21/2021
`
`10/21/2021
`
`21
`
`22
`
`22
`
`22
`
`5111-5113
`
`5362-5448
`
`5357-5361
`
`5495-5496
`
`

`

`CERTIFICATE OF SERVICE
`Pursuant to NRCP 5(b), I certify that I am an employee of Lewis Brisbois
`
`Bisgaard & Smith LLP, and that on this 15th day of September, 2022, I did cause a
`true copy of the foregoing JOINT APPENDIX VOLUME 15 of 25 (APPX3501-
`3750) to be served via the Court’s electronic filing and service system (“E-Flex”)
`to all parties on the current service list:
`
`
`
`
`
`
`
`By /s/ Susan Awe
`
`An Employee of Lewis Brisbois Bisgaard
`& Smith LLP
`
`4889-8706-2323.1
`
`
`12
`
`

`

`
`
`Plaintiff reserves the right to revise this computation of damages as Plaintiff continues to treat
`
`for her injuries sustained as a result of the subject incident and the amount of their damages will depend
`
`upon her progression under said treatment.
`
`Plaintiff reserves all rights to seek other damages including, but not limited to, general and
`
`exemplary damages, in an amount to be proved at trial.
`
`Plaintiff reserves the right to supplement this Computation of Damages with any and all other
`
`relevant documents and records, which come into her possession during discovery.
`
`VI. DEMONSTRATIVE EXHIBITS
`
`
`
`Plaintiff may offer at trial, certain exhibits for demonstrative purposes including, but not limited
`
`to, the following:
`
`a. Actual surgical hardware, plates, screws, surgical tools, and surgical
`
`equipment as used in Plaintiff’s medical treatment and anticipated to be used
`
`in future treatment,
`
`b. Demonstrative and actual photographs and videos of surgical procedures and
`
`other diagnostic tests Plaintiff has undergone and will undergo in the future,
`
`c. Actual diagnostic studies and computer digitized diagnostic studies,
`
`d. Samples of tools used in surgical procedures,
`
`e. Diagrams, drawings, pictures, photos, film, video, DVD and CD-ROM of
`
`various parts of the human body, diagnostic tests and surgical procedures,
`
`f. Computer simulation, finite element analysis and similar forms of computer
`
`visualization,
`
`g. Power point images/drawings/diagrams/animations/story boards depicting the
`
`facts and circumstances of the subject incident, the parties involved, the
`
`location of the subject incident and what occurred in the subject incident.
`
`Page 36 of 39
`
`1
`2
`3
`4
`5
`6
`7
`8
`9
`10
`11
`12
`13
`14
`15
`16
`17
`18
`19
`20
`21
`22
`23
`24
`25
`26
`27
`28
`
`
`APPX003501
`
`

`

`
`
`h. Pictures of Plaintiff prior and subsequent to the subject incident,
`
`i. Surgical Timeline,
`
`j. Medical treatment timeline,
`
`k. Future Medical Timeline,
`
`l. Charts depicting Plaintiff’s Life Care Plans,
`
`m. Charts depicting Plaintiff’s Loss of Hedonic Damages,
`
`n. Charts depicting Plaintiff’s Loss of Household Services,
`
`o. Photographs of Plaintiff’s Witnesses,
`
`p. Charts depicting Plaintiff’s Life Expectancy,
`
`q. Story boards and computer digitized power point images,
`
`r. Blow-ups/transparencies/digitized images of medical records, medical bills,
`
`photographs and other exhibits,
`
`s. Diagrams/story board/computer re-enactment of the subject incident,
`
`t. Diagrams of various parts of the human body related to Plaintiff’s injuries,
`
`u. Photographs of various parts of the human body related to Plaintiff’s injuries,
`
`v. Models of the human body related to Plaintiff’s injuries,
`
`w. Sample of an intrathecal drug delivery system and leads,
`
`x. Samples of the needles and surgical tools used in Plaintiff’s various diagnostic
`
`and therapeutic pain management procedures.
`
`Plaintiff reserves the right to supplement these disclosures with any and all other relevant
`
`information and documents and records that come into their possession during discovery.
`
`Plaintiff further reserves the right to use any and all of any other parties’ exhibits at the time of
`
`trial of this matter.
`
`/ / /
`
`Page 37 of 39
`
`1
`2
`3
`4
`5
`6
`7
`8
`9
`10
`11
`12
`13
`14
`15
`16
`17
`18
`19
`20
`21
`22
`23
`24
`25
`26
`27
`28
`
`
`APPX003502
`
`

`

`
`
`
`
`OBJECTIONS TO THE AUTHENTICITY OF DOCUMENTS PRODUCED
`
`Pursuant to N.R.C.P. 16.1(c)(3) Plaintiff may object to the authenticity of any documents
`
`produced by the parties without proper authentication from the custodian of records or the opportunity
`
`to inspect the originals from which they were produced.
`
`Plaintiff reserves the right to utilize any and all responses to Interrogatories, Requests for
`
`Production and Requests for Admissions from Defendants.
`
`
`
`Plaintiff reserves the right to supplement this list of documents as information becomes available.
`
`Plaintiff further reserves the right to utilize any documents produced by Defendants and to introduce
`
`any document(s) for purposes of rebuttal and impeachment.
`
`
`
`
`
`
`
`
`
`
`DATED this 9th day of October, 2021.
`
`
`
`BIGHORN LAW
`
`
`
`/s/ Kimball Jones
`By:
`KIMBALL JONES, ESQ.
`Nevada Bar No.: 12982
`2225 E. Flamingo Rd, Bldg. 2, Suite 300
`Las Vegas, Nevada 89119
`Attorneys for Plaintiff
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`1
`2
`3
`4
`5
`6
`7
`8
`9
`10
`11
`12
`13
`14
`15
`16
`17
`18
`19
`20
`21
`22
`23
`24
`25
`26
`27
`28
`
`
`Page 38 of 39
`
`APPX003503
`
`

`

`
`
`
`
`CERTIFICATE OF SERVICE
`
`Pursuant to NRCP 5, NEFCR 9 and EDCR 8.05, I hereby certify that I am an employee of
`
`BIGHORN LAW, and on 9th day of October, 2021, I served the foregoing PLAINTIFF GENARA
`
`GREGORE TONGOL’S SIXTH SUPPLEMENT EARLY CASE CONFERENCE LIST OF
`
`WITNESSES AND DOCUMENTS PURSUANT TO N.R.C.P. 16.1 AND INITIAL EXPERT
`
`DISCLOSURES as follows:
`
`x Electronic Service – By serving a copy thereof through the Court’s electronic
`service system, and/or
`
` ¨
`
` U.S. Mail—By depositing a true copy thereof in the U.S. mail, first class postage
`prepaid and addressed as listed below, and/or
`
` ¨
`
` Facsimile—By facsimile transmission pursuant to EDCR 7.26 to the facsimile
`number(s) shown below and in the confirmation sheet filed herewith. Consent to
`service under NRCP 5(b)(2)(D) shall be assumed unless an objection to service by
`facsimile transmission is made in writing and sent to the sender via facsimile within
`24 hours of receipt of this Certificate of Service.
`
`
`Justin Zarcone, Esq.
`WINNER BOOZE & ZARCONE
`1117 South Rancho Drive
`Las Vegas, Nevada 89102
`Attorneys for Defendants
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`By:
`
`
`/s/ Dianne Jaimes
`An employee/agent of BIGHORN LAW
`
`Page 39 of 39
`
`1
`2
`3
`4
`5
`6
`7
`8
`9
`10
`11
`12
`13
`14
`15
`16
`17
`18
`19
`20
`21
`22
`23
`24
`25
`26
`27
`28
`
`
`APPX003504
`
`

`

`Exhibit “110”
`
`PPX003505
`
`APPX003505
`
`

`

`
`
`
`DR. MIHIR PATEL, MD
`PATEL PSYCHIATRY LLC, Tax ID #862944699
`Phone (725) 231-0180 | Fax (725) 231-0181
`Email | LIEN@DRMPATEL.COM
`
`TO
`BigHorn Law
`
`
`INVOICE
`
`INVOICE # 003
` DATE Oct 5, 2021
`
`FOR Genara Tongol
`
`Description
`PSYCHIATRIC EVALUATION (90 mins evaluation & 90 mins report writing included)
`May 18, 2021
`Additional 30 minutes of Interview time (patient has history of TBI)
`May 18, 2021
`PSYCHIATRIC CONSULTATION (60-minute encounter)
`May 25, 2021
`Additional 30 minutes of Interview time and 30 minutes of charting
`May 25, 2021
`PSYCHIATRIC CONSULTATION (60-minute encounter)
`July 9, 2021
`PSYCHIATRIC CONSULTATION (30-minute MedTrak review, 30 minute
`charting/summary of MedTrak )
`July 9, 2021
`Total
`
`Amount
`$2500
`
`$750
`
`$1500
`
`
`
`$1500
`
`$1500
`
`$1500
`
`
`$9,250
`
`
`Make all checks payable to Patel Psychiatry LLC. Mail all checks to: MIHIR PATEL, 3722 Las Vegas Blvd
`S, #2801, Las Vegas, NV, 89158
`
`If you have any questions concerning this invoice, contact DR. MIHIR PATEL | PHONE # 9192440134 |
`LIEN@DRMPATEL.COM
`
`
`
`
`
`APPX003506
`
`

`

`
`
`PSYCHIATRIC EVALUATION
`
`
`Patient: Genara Tongol
`DOI: 4/8/2017
`DOB: 10/13/1955
`Attorney: Bighorn Law
`Appointment time: 6:30 PM APPT May 18, 2021, 120 -minute diagnostic evaluation conducted
`via Telemedicine duration and additional 90 minutes spent on clinical documentation.
`
`Chief Complaint: “depressed”
`
`History of Present Illness:
`Mrs. Genara Tongol is a 65 years old married, employed, Asian, woman with remote history of
`anxiety who arrives today for a psychiatric evaluation. She complains of enduring emotional
`distress complicated by cognitive and functional impairment since being in a motor vehicle
`accident on 4/8/2017.
`
`On April 8, 2017, patient reports being in a motor vehicle collision after a sedan struck her
`minivan in Las Vegas which resulted in head trauma and multiple orthopedic injuries. She
`recalls, “I had cuts on my hands, and I hit my head…there was blood…luckily the police were
`nearby.” She reports since her car accident, “I forget a lot of things and it’s really hard.” She
`reports “I got so depressed that I didn’t go back to work for almost 7 months.” Since her car
`accident, patient reports ongoing struggle with depressive symptoms with marked anhedonia and
`apathy. She adds, “I felt like I wanted to do nothing…it’s like nothing is enjoyable”. She reports
`“since the accident happened, everything has changed… It’s hard to explain.”
`
`She reports her having such significant anxiety surrounding driving due to the fear of getting into
`another accident that she relied exclusively on her husband and children to drive her for more
`than a year after her accident. She reports it took he almost two years to eventually start driving
`again to her work. Even after 4 years, patient reports she continues to experience considerable
`anxiety when on the road. “I drive now because I need to work, and my son can’t drive me to
`work anymore.” Since her car accident, she reports experiencing anxiety when driving or riding
`as a passenger in a vehicle. She reports her fears surrounding driving and experience another car
`accident have adversely impacted her social life and home life. She reports she prefers to avoid
`the topic of the accident as discussing the topic causes her anxiety to worsen.
`She reports “I get stressed when I start thinking about what happened.”
`
`Today, she reports having “depressed” mood and states, “I try to distract myself by cooking and I
`don’t want to think about it.” She endorses poor appetite and low energy level. She reports
`feelings of worthless at times, “I tell myself come on Gina what’s wrong with you.” She reports
`difficulty concentrating since her motor vehicle collision. She reports her forgetfulness and
`cognitive difficulties are particularly distressing and cause impairment in home and work life.
`She reports ongoing difficulty falling asleep since her car accident. Over the last week, she
`reports at least 3 nights during which she had poor sleep. She denies any current nightmares.
`
`APPX003507
`
`

`

`However, she recalls having nightmares with themes of being in a car accident for first 2 years.
`accidents but denies current nightmares.
`
`Patient reports psychiatric symptoms concerning for development of PTSD since her motor
`vehicle collision. She endorses avoidance of reminder, physical reaction/emotionally upset when
`reminded of trauma, feelings of numbness, hypervigilance, loss of interest in activities she once
`enjoyed…etc. She denies any pre-existing history of PTSD or depressive disorder prior to her
`motor vehicle collision. She reports poor sleep which she attributes to intrusive memories of the
`car accidents.
`
`She reports having depressed mood most days since her car accident. However, she admits to
`making a concerted effort to conceal this fact. She clarifies, “I always smile but I just pretend
`that I’m okay.” She reports anhedonia. She denies any SI/HI plans, means or intent. She denies
`any current AH/VH/paranoia. ROS is negative for any symptoms of mania or psychosis. She
`reports marked impairment in her work and home life as result of her aforementioned psychiatric
`symptoms
`
`
`Allergy: No known drug allergy
`
`Psychiatric Family History: She denies any FH of psychiatric illness or suicide attempt.
`
`Medical History: Hypert

This document is available on Docket Alarm but you must sign up to view it.


Or .

Accessing this document will incur an additional charge of $.

After purchase, you can access this document again without charge.

Accept $ Charge
throbber

Still Working On It

This document is taking longer than usual to download. This can happen if we need to contact the court directly to obtain the document and their servers are running slowly.

Give it another minute or two to complete, and then try the refresh button.

throbber

A few More Minutes ... Still Working

It can take up to 5 minutes for us to download a document if the court servers are running slowly.

Thank you for your continued patience.

This document could not be displayed.

We could not find this document within its docket. Please go back to the docket page and check the link. If that does not work, go back to the docket and refresh it to pull the newest information.

Your account does not support viewing this document.

You need a Paid Account to view this document. Click here to change your account type.

Your account does not support viewing this document.

Set your membership status to view this document.

With a Docket Alarm membership, you'll get a whole lot more, including:

  • Up-to-date information for this case.
  • Email alerts whenever there is an update.
  • Full text search for other cases.
  • Get email alerts whenever a new case matches your search.

Become a Member

One Moment Please

The filing “” is large (MB) and is being downloaded.

Please refresh this page in a few minutes to see if the filing has been downloaded. The filing will also be emailed to you when the download completes.

Your document is on its way!

If you do not receive the document in five minutes, contact support at support@docketalarm.com.

Sealed Document

We are unable to display this document, it may be under a court ordered seal.

If you have proper credentials to access the file, you may proceed directly to the court's system using your government issued username and password.


Access Government Site

We are redirecting you
to a mobile optimized page.





Document Unreadable or Corrupt

Refresh this Document
Go to the Docket

We are unable to display this document.

Refresh this Document
Go to the Docket