Hello Patrick,
Further to our discussion earlier today, we would request the
IMEs be conducted on the following conditions, to be agreed upon
by Stipulated Order:
1. Plaintiffs be provided with a current copy of Dr. Ager's
curriculum vitae no less than 10 days prior to the first
scheduled appointment.
2. The examination be limited to Plaintiffs' conditions
which are in controversy in this action.
3. Any person assisting Dr. Ager must be fully identified by
full name and title to Plaintiff and in any written report.
4. No diagnostic test or procedure that is invasive will be
allowed.
5. Plaintiffs will not sign any paperwork or fill out any
paperwork at Dr. Ager's office, including "patient information
forms" or "consent forms", since Plaintiffs are not a patient at
Dr. Ager's office and are consenting to this examination only
pursuant to the requirements of the Federal Rules of Civil
Procedure.
6. Dr. Ager must be provided with a copy of the Order prior
to the examination.
7. The total time for each examination and testing, will not
exceed three hours. If any period of time exceeding forty-five
minutes goes by when Plaintiffs are not being examined, either
by the doctor or his staff, then Plaintiffs will be free to
leave.
8. Plaintiffs shall receive a copy of all reports and
writings generated by the doctor in this matter under Fed. R.
Civ. P. 35, including a copy of a detailed report with results
of all tests made, diagnoses, prognosis and conclusions of the
examiner, all record review reports, billings, notes, within 30
days following the examination.
9. Plaintiffs are not required to bring any records or
x-rays or other testing with them.
10. Defendants stipulate to a deposition of Dr. Ager after
Plaintiffs are provided with the items under paragraph 8 above
(as it will probably occur after the discovery deadline).
We will not insist on the presence of a third party regarding
Joseph's IME. However, after speaking with both Zihra and her
children (Joseph included) this evening, we have many concerns
regarding conducting her IME without someone she is comfortable
with being present. As you may know, Zihra is an elderly woman
in already frail condition. Because of this, we believe it
would be in her best interest (namely to secure her emotional
well-being) if her female attendant nurse/physician was present
during the IME. This should not interfere with Dr. Ager's IME.
Please let me know if these conditions are agreeable and I
will prepare a Stipulated Order.
Cordially,
Nick
--
____________________________________
HADOUSCO. |PLLC
Offices in Dearborn, MI and
Scottsdale, AZ
Nick N. Hadous
Admitted:
-
State Bar of Arizona
-
State Bar of California
-
United States District Court,
District
of Arizona
Eastern
District of Michigan
____________________________________
Direct: 313.415.5559
Office: 313.450.4670
Fax: 313.846.6358
Email: nhadous@hadousco.com
www.hadousco.com
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