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CAUSE NO. DC- 1 2-09442
`
`F
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`RUKIA S. HASSAN,
`Plaintiff,
`
`V,
`
`EUSTORGIA SANDOVAL POMPA,
`Defendant.
`






`134th JUDICIAL DIST

`PLAINTIFF’S DESIGNATION OF EXPERTS
`
`IN THE DISTRICT C0U§£Ifl
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`OF DALLAS COUNTY
`
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`V
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`Comes now, Rukia S. Hassan, Plaintiff herein, and files this her Designation of Experts.
`
`Respectfully submitted,
`
`LAW OFFIC OF JAY J. MURRAY, P.C.
`
`
`
` \;
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`JAY OS H MURRAY
`
`
`
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`No. 00792985
`State
`2512 State'EStreet
`
`Dallas, Texas 75201
`Phone 214-855-1420
`
`Fax
`
`214-953-0006
`
`ATTORNEYS FOR PLAINTIFF
`
`CERTIFICATE OF SERVICE
`
`I hereby certify that a true and correct copy of the foregoing instrument has this date been
`sent to all attorneys of record in the above-styled and numbered matter, said service being
`effected in the following manner:
`
`Certified Mail/Return Receipt Requested
`Hand Delivery
`Facsimile
`
`Regular Mail
`
`DATED: S {(0 [(3
`
`JAY
`
`Y
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`00-12—09442
`DESIGXPRT
`DESIGNATION 0F EXPERT WITNESS(ES)
`76778
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`1
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`Comes now, Rukia S. Hassan, hereinafter referred to as Plaintiff, and files this her
`Designation of Expert Witnesses pursuant to Rules 194.2(f) and 195 of the Texas Rules of Civil
`Procedure and discloses the following retained expert witnesses for trial:
`
`Non-Retained Ex erts:
`
`City of Dallas, including its agents, employees, staff physicians and records and billing
`custodians
`
`PO. Box 843835
`
`Dallas, Texas 75207
`888-801-8466
`
`Doctors Hospital-White Rock Lake
`Robert K. Moore, M.D., including its agents, employees, staff physicians and records and
`billing custodians
`9440 Poppy Drive
`Dallas, Texas 75218
`214-324-6122
`
`EMCARE-DTX Emergency Physicians, including its agents, employees, staff physicians
`and records and billing custodians
`PO. Box 41797
`
`Philadelphia, PA 19101
`800-355-3470
`
`White Rock Radiology
`James A. Summa, M.D., including its agents, employees, staff physicians and records
`and billing custodians
`PO. Box 1907
`
`Greenville, Texas 75403
`855-820-5223
`
`Cano Health & Rehab PA
`.
`Dr. Fernando Cano, D.C., including its agents, employees, staff physicians and records
`and billing custodians
`3987 N. Beltline Road
`
`Irving, Texas 75038
`214-441—1717
`
`Foundation Physicians Group
`David Schmidt, D.C., RN, MSN, FNP, NP-C, including its agents, employees, staff
`physicians and records and billing custodians
`PO. Box 821537
`
`Dallas, Texas 75238
`214-341-8770
`
`Injury Treatment Centers of Texas
`R. Siroosian, B.S., D.C., including its agents, employees, staff physicians and records and
`billing custodians
`
`N
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`age
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`4808 S. Buckner Blvd.
`
`Dallas, Texas 75227
`214—388-4808
`
`DFW MRI, including its agents, employees, staff physicians and records and billing
`custodians
`
`3740 W. Northwest Highway #400
`Dallas, Texas 75220
`214-320-1402
`
`Bruce Cheatham, M.D., including its agents, employees, staff physicians and records and
`billing custodians
`309 N. Galloway Avenue #107
`Mesquite, Texas 75149
`972-682-0601
`
`Key Health Medical Solutions, Inc., including its agents, employees, staff physicians and
`records and billing custodians
`30699 Russell Ranch Road, Suite 175
`
`Westlake Village, CA 91362
`888-579-5946
`
`Walmart Pharmacy, including its agents, employees, staff physicians and records and
`billing custodians
`2275 Gus Thomasson Road
`
`Dallas, Texas 75228
`214-660-9729
`
`Radiologist, including its agents, employees, staff physicians and records and billing
`custodians
`
`including its agents, employees, staff physicians and
`
`PO. Box 177128
`
`Irving, Texas 75017
`972-790-9236
`
`Robert J. Longenecker, D.C.,
`records and billing custodians
`1405 Esters Road #114
`
`Irving, Texas 75061
`
`Live Well MD, P.A.
`Henry Horrilleno, MD.
`4808 S. Buckner Blvd.
`
`Dallas, Texas 75227
`214-388-4808
`
`I
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`age
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`Each and every person or entity listed is above is a medical care provider who may
`testify as to the reasonable cost and necessity of medical expenses and as to the reasonableness
`and necessity of medical treatment in the past and future for Rukia S. Hassan. All medical care
`providers may testify as to injury, causation of injury, reasonable and necessary medical
`treatment in the past and future, physical pain and suffering in the past and future, and mental
`anguish in the past and future.
`
`The mental impressions and opinions held by each expert are contained in the medical
`records, which have been provided to all opposing counsel and/or are being requested from each
`medical expert and are incorporated by reference as if fully set forth herein, and are available for
`inspection and/or copying at a mutually agreeable time.
`
`It is anticipated that each may testify that the incident in question was a proximate cause
`of the Plaintiff Rukia S. Hassan’s injuries, including, but not limited to, past physical pain and
`suffering and past mental anguish. It is also anticipated that each may testify that the care and
`treatment was of reasonable cost and was necessary as a result of the incident in question.
`
`The facts known to these experts are derived from their examination, treatment, testing,
`diagnostic studies, and the medical records of the Plaintiff.
`
`With the exception of the records and billing custodians listed, the experts listed above
`are licensed medical providers who have attended professional school for medical training and
`participate in the care and treatment of patients with conditions the same or similar to that of the
`Plaintiff.
`
`Agents and employees of the Waco Police Department, including officer
`John M. Mullinax
`
`Dallas Police Department
`1400 South Lamar Street
`
`Dallas, Texas 75215
`214-671-3001
`
`Investigating officer.
`
`Officer Mullinax is a Dallas Police Officer who has completed the education, licensing
`and training required in his field of expertise. Officer Brooks has been trained in investigating
`accidents and determining the cause of those accidents while attending the police academy and
`during his career as a police officer.
`
`the Plaintififs hereby cross-designates anyone
`In addition to the above-listed persons,
`designated by the Defendant as either a person with knowledge of relevant facts, an expert
`and/or a possible trial witness. Plaintiffs further reserve the right to call and/0r cross-examine
`any person identified as a witness or expert by the Defendant.
`
`I
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`age
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`
`
`LAW .FFICE OF JAY J. MURI.Y, RC.
`
`2512 State Street
`
`Dallas, Texas 75201
`
`PHONE 214-855-1420
`
`FACSIMILE 2 1 4-953'0054
`
`g i l E: D
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`May 16,2013
`
`Dallas County District Clerk
`600 Commerce Street
`
`Dallas, Texas 75201
`
`Re:
`
`Cause No.: DC-12-09442; Rukia S. Hassan v. Eustorgia Sandoval Pompa
`
`Dear Clerk:
`
`Enclosed please find an original and one copy of the following:
`
`1.
`
`Plaintiff’s Designation of Experts.
`
`Please filemark and return one copy of same to this office in the self addressed, stamped
`envelope provided. Thank you for your usual courtesy and cooperation in this matter. If you have
`any questions, please feel free to contact me.
`
`Sincerely yours,
`
`0W Haze»
`
`Christy L. Hester, R.P. *, TBLS2
`* Board Certified Paralegal
`- Personal Injury Trial Law & Civil Trial Law-
`Texas Board ofLegal Specialization
`
`CLH/tm
`
`cc:
`
`Paul Gomez
`
`

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