BRUCE WAYNE
Plaintiff
vs.
JACK CARD
Defendant
* * * * * * *
PLAINTIFF BRUCE WAYNE’S NOTICE OF INTENTION TO INTRODUCE MEDICALRECORDS AND WRITINGS WITHOUT THE TESTIMONY OF AN EXPERT
COMES NOW the Plaintiff, Bruce Wayne, by and through his counsel, John J. Cord and Posner & Cord, LLC, and hereby notifies the Defendant, Jack Card of his intention to introduce the records, bills and writings of St. Agnes Hospital, Caton Emergency Physicians and Multi-Specialty HealthCare without the testimony of said providers. Notice is hereby given pursuant to Maryland Code Annotated, Courts and Judicial Proceedings Art. §10-104. The writings, reports and bills to be introduced are hereto attached.
Respectfully submitted,
POSNER & CORD, LLC
_______________
John J. Cord
Counsel for Plaintiff
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BRUCE WAYNE’S MEDICAL RECORDS AND WRITINGS TO BE ADMITTED WITHOUT EXPERT TESTIMONY
Date of Collision: April 4, 2011
TOTAL MEDICAL SPECIALS: $3,046.96