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Case Information

Filed 2023-08-30
Status ACTIVE - 8/30/2023
Type Product Liability
Docket 141 entries

Parties

Plaintiff Claude, Maria Milagro|Kovac, Judith Bray
Defendant Spineology Inc.|Cg Medical Llc|Giles, Colby|Gulf Coast Surgical Llc

Lawyers

Docket Entries

  1. CASE FILED 08/30/2023 CASE NUMBER 2023 CA 002626
  2. DEFENDANTS WITNESS DISCLOSURE
  3. PLAINTIFFS INITIAL FACT WITNESS DISCLOSURE
  4. NOTICE OF COUNSEL CONFERENCE REGARDING PLAINTIFF'S OUTSTANDING MOTIONS TO COMPEL AND REQUEST FOR DEFENDANT DESIGNATION OF CORPORATE REPRESENTATIVE 30 (B)(6) FOR DEPOSITIONS
  5. ORDER SETTING JURY TRIAL ABD PRETRIAL CONFERENCE
  6. ORDER GRANTING MOTION WITHDRAW
  7. DEFENDANT COLBY GILES' NOTICE OF SERVICE OF SUPPLEMENTAL RESPONSES TO PLAINTIFF MARIA CLAUDE'S THIRD REQUEST FOR PRODUCTION OF DOCUMENTS (NOS. 1-2)
  8. DEFENDANT COLBY GILES' NOTICE OF SERVICE OF SUPPLEMENTAL RESPONSES TO PLAINTIFF MARIA CLAUDE'S SECOND REQUEST FOR PRODUCTION (NOS. 1-21)
  9. DEFENDANT COLBY GILES' NOTICE OF SERVICE OF SUPPLEMENTAL RESPONSES TO PLAINTIFF'S FIRST REQUEST FOR PRODUCTION OF DOCUMENTS
  10. CROSS-NOTICE OF HEARING
  11. MOTION TO WITHDRAW
  12. ORDER GRANTING STIPULATED MOTION TO CONTINUE CASE MANAGEMENT CONFERENCE
  13. STIPULATED MOTION TO CONTINUE CASE MANAGEMENT CONFERENCE
  14. ORDER SETTING CASE MANAGEMENT CONFERENCE
  15. AMENDED PLAINTIFFS MOTIONS REGARDING DEFENDANTS MOTION FOR SUMMARY JUDGMENT INCLUDING MOTIONS REQUESTING ADDITIONAL TIME TO RESPOND AND COMPLETE DISCOVERY PURSUANT TO RULE 1.510 (D) AND RULE 1.090(B)(1) FLORIDA RULES OF CIVIL PROCEDURE IN THAT THE MOTION FOR SUMMARY JUDGMENT IS PREMATURE AS THE DEFENSE HAS FAILED TO PROVIDE DISCOVERY TO ALLOW PLAINTIFFS TO FAIRLY AND COMPLETELY PREPARE A RESPONSE PURSUANT TO RULES 1.510 (D) AND 1.090 (B)(1) FLORIDA RULES OF CIVIL PROCEDURE
  16. PLAINTIFFS MOTIONS REGARDING DEFENDANTS MOTION FOR SUMMARY JUDGMENT INCLUDING MOTIONS REQUESTING ADDITIONAL TIME TO RESPOND AND COMPLETE DISCOVERY PURSUANT TO RULE 1.510 (D) AND RULE 1.090(B)(1) FLORIDA RULES OF CIVIL PROCEDURE IN THAT THE MOTION FOR SUMMARY JUDGMENT IS PREMATURE AS THE DEFENSE HAS FAILED TO PROVIDE DISCOVERY TO ALLOW PLAINTIFFS TO FAIRLY AND COMPLETELY PREPARE A RESPONSE PURSUANT TO RULES 1.510 (D) AND 1.090 (B)(1) FLORIDA RULES OF CIVIL PROCEDURE
  17. PLAINTIFFS' MOTION TO COMPEL DEFENDANT GILES TO ANSWER REQUEST FOR PRODUCTION DATED JANUARY 15, 2024
  18. PLAINTIFFS' MOTION TO COMPEL DEFENDANT GILES TO ANSWER REQUEST FOR PRODUCTION DATED JANUARY 11, 2024
  19. PLAINTIFFS' MOTION TO COMPEL DEFENDANT COLBY GILES TO ANSWER REQUEST FOR PRODUCTION DATED JANUARY 3, 2024
  20. PLAINTIFFS' MOTION TO COMPEL DEFENDANT SPINEOLOGY, INC. TO DESIGNATE A CORPORATE REPRESENTATIVE UNDER 1.310(B)(6)
  21. PLAINTIFFS' MOTION TO COMPEL DEFENDANT SPINEOLOGY, INC. TO ANSWER REQUEST FOR PRODUCTION DATED APRIL 9, 2024
  22. PLAINTIFFS' MOTION TO COMPEL DEFENDANT SPINEOLOGY, INC. TO ANSWER REQUEST FOR PRODUCTION DATED JANUARY 15, 2024
  23. PLAINTIFFS' MOTION TO COMPEL DEFENDANT SPINEOLOGY, INC. TO ANSWER REQUEST FOR PRODUCTION (1.350(B) DATED JANUARY 3, 2024
  24. PLAINTIFFS' MOTION TO COMPEL DEFENDANT SPINEOLOGY, INC. TO ANSWER REQUEST FOR PRODUCTION DATED JANUARY 11, 2024
  25. NOTICE OF SERVICE OF PLAINTIFF MARIA CLAUDE'S ANSWERS AND OBJECTIONS TO DEFENDANT COLBY GILES' FIRST SET OF INTERROGATORIES
  26. PLAINTIFF'S REPLY TO DEFENDANT COLBY GILE'S FIRST REQUESTS FOR ADMISSIONS TO PLAINTIFF MARIA MILAGRO CLAUDE
  27. EXHIBITS TO DEFENDANTS' MOTION FOR SUMMARY JUDGMENT AND SUPPORTING MEMORANDUM OF LAW
  28. DEFENDANTS' MOTION FOR SUMMARY JUDGMENT AND SUPPORTING MEMORANDUM OF LAW
  29. RESPONSE TO DEFENDANT SPINEOLOGY INC'S THIRD REQUEST FOR PRODUCTION TO PLAINTIFF MARIA MILAGRO CLAUDE AND OBJECTIONS TO WHAT DEFENDANTS DEEMED AND DEFINED
  30. DEFENDANT COLBY GILES FIRST SET OF REQUESTS FOR ADMISSION TO PLAINTIFF MARIA MILARGO CLAUDE
  31. DEFENDANT, COLBY GILES NOTICE OF SERVICE OF INTERROGATORIES TO PLAINTIFF MARIA MILAGRO CLAUDE
  32. DEFENDANT SPINEOLOGY, INC'S THIRD REQUEST FOR PRODUCTION TO PLAINTIFF MARIA MILAGRO CLAUDE
  33. ORDER GRANTING STIPULATED MOTION TO EXTEND DISCOVERY AND MEDIATION DEADLINES
  34. ORDER ON UNOPPOSED MOTION FOR ADMISSION PRO HAC VICE
  35. ORDER ON UNOPPOSED MOTION FOR ADMISSION PRO HAC VICE
  36. PAYMENT $100.00 RECEIPT #2024092036
  37. PAYMENT $100.00 RECEIPT #2024092031
  38. PLAINTIFFS RESPONSE TO DEFENDANT'S EXPERT REQUEST FOR PRODUCTION
  39. NOTICE OF SERVICE OF PLAINTIFFS UNVERIFIED ANSWERS TO DEFENDANT'S EXPERT INTERROGATORIES
  40. VERIFIED MOTION FOR ADMISSION TO APPEAR PRO HAC VICE OF KIM M SCHMID PURSUANT TO FLORIDA RULE OF JUDICIAL ADMINISTRATION 2.510
  41. VERIFIED MOTION FOR ADMISSION TO APPEAR PRO HAC VICE OF MICHELLE A LESTER PURSUANT TO FLORIDA RULE OF JUDICIAL ADMINISTRATION 2.510
  42. STIPULATED MOTION TO EXTEND DISCOVERY AND MEDIATION DEADLINES
  43. NOTICE OF APPEARANCE AND DESIGNATION OF EMAIL ADDRESS
  44. DEFENDANTS' NOTICE OF SERVICE OF EXPERT REQUEST TO PRODUCE TO PLAINTIFFS
  45. DEFENDANTS' NOTICE OF SERVICE OF EXPERT INTERROGATORIES TO PLAINTIFFS
  46. PLAINTIFF'S RESPONSE TO DEFENDANT'S SPINEOLOGY INC'S SECODN REQUEST FOR PRODUCTION
  47. NOTICE OF SERVICE PLAINTIFF'S EXPERT INTERROGATORIES TO DEFENDANTS
  48. PLAINTIFF TO ALL DEFENDANT'S EXPERTS REQUEST FOR PRODUCTION
  49. DEFENDANTS' NOTICE OF CANCELLATION OF TAKING VIDEOTAPED DEPOSITION DUCES TECUM OF MATTHEW BENNET KERN
  50. AGREED ORDER GRANTING DEFENDANT GULF COAST SURGICAL LLC'S MOTION TO DISMISS COUNTS V VI VIII AND IX OF PLAINTIFFS' FIRST AMENDED COMPLAINT
  51. NOTICE OF CANCELLATION OF HEARING
  52. DEFENDANT SPINEOLOGY, INC.'S NOTICE OF SERVICE OF SECOND REQUEST FOR PRODUCTION TO PLAINTIFF MARIA MILAGRO CLAUDE
  53. DEFENDANTS' NOTICE OF TAKING VIDEOTAPED DEPOSITION DUCES TECUM OF MATTHEW BENNET KERN
  54. NOTICE OF ZOOM HEARING
  55. NOTICE OF CANCELLATION OF HEARING
  56. PLAINTIFFS' MEMORANDUM IN OPPOSITION TO MOTION TO DISMISS DEFENDANT GULF COAST SURGICAL, LLC
  57. PLAINTIFFS REQUEST FOR COPIES
  58. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF FIRST SUPPLEMENTAL RESPONSES TO PLAINTIFF, MARIA CLAUDE'S THIRD REQUEST TO PRODUCE
  59. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF FIRST SUPPLEMENTAL RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  60. DEFENDANT, SPINEOLOGY, INC.'S CERTIFICATE OF NON-OBJECTION AND COMPLIANCE WITH HIPAA
  61. NOTICE OF ZOOM HEARING
  62. DEFENDANT GULF COAST SURGICAL, LLC'S MOTION TO DISMISS COUNTS V, VI, VIII, AND IX OF PLAINTIFFS' FIRST AMENDED COMPLAINT AND SUPPORTING MEMORANDUM OF LAW
  63. PLAINTIFFS REPLY TO AFFIRMATIVE DEFENSESOF DEFENDANT SPINEOLOGY, INC. TO PLAINTIFF'S FIRST AMENDED COMPLAINT AND DEMAND FOR JURY TRIAL
  64. PLAINTIFFS REPLY TO AFFIRMATIVE DEFENSES OF DEFENDANT COLBY GILES' TO PLAINTIFF'S FIRST AMENDED COMPLAINT AND DEMAND FOR JURY TRIAL
  65. DEFENDANT SPINEOLOGY, INC.'S NOTICE OF TAKING VIDEOTAPED DEPOSITION DUCES TECUM OF JUDITH BRAY KOVAC
  66. DEFENDANT SPINEOLOGY, INC.'S NOTICE OF TAKING VIDEOTAPED DEPOSITION DUCES TECUM OF MARIA MILAGRO CLAUDE
  67. DEFENDANT COLBY GILES' ANSWER AND AFFIRMATIVE DEFENSES TO PLAINTIFFS' FIRST AMENDED COMPLAINT AND DEMAND FOR JURY TRIAL
  68. DEFENDANT SPINEOLOGY, INC.'S ANSWER AND AFFIRMATIVE DEFENSES TO PLAINTIFFS' FIRST AMENDED COMPLAINT AND DEMAND FOR JURY TRIAL
  69. PLAINTIFF'S NOTICE OF FINAL SERVICE, PURSUANT TO FIRST JUDICIAL CIRCUIT ADMINISTRATIVE ORDER NO. 2021-12 ( NOTICE )
  70. SUMMONS RETURNED SERVED
  71. PAYMENT $10.00 RECEIPT #2024044581
  72. SUMMONS ISSUED
  73. ORDER REGARDING REQUIRED REPORTING
  74. PROPOSED SUMMONS
  75. PLAINTIFFS' UNOPPOSED MOTION TO FILE FIRST AMENDED COMPLAINT
  76. ORDER GRANTING PLAINTIFFS UNOPPOSED MOTION TO FILE FIRST AMENDED COMPLAINT
  77. DEFENDANT. SPINEOLOGY, INC.'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S REQUEST FOR ENTRY UPON LAND AND INSPECTION OF MEDICAL TOOLS, DEVICES, AND TRAINING MATERIALS
  78. DEFENDANT, SPINEOLOGY INC.'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FOURTH REQUEST TO PRODUCE DATED APRIL 9, 2024 - "OPTIMESH"
  79. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF ANSWERS TO PLAINTIFF, MARIA CLAUDE'S SECOND SET OF INTERROGATORIES
  80. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FOURTH REQUEST TO PRODUCE DATED APRIL 9, 2024
  81. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF ANSWERS TO PLAINTIFF, MARIA CLAUDE'S SECOND SET OF INTERROGATORIES DATED APRIL 9, 2024
  82. STIPULATED PROTECTIVE ORDER OF CONFIDENTIALITY
  83. JOINT MOTION FOR ENTRY OF STIPULATED PROTECTIVE ORDER OF CONFIDENTIALITY
  84. NOTICE OF PRODUCTION BY NON-PARTIES
  85. PLAINTIFFS' REQUEST FOR ENTRY UPON LAND AND INSPECTION OF MEDICAL TOOLS, DEVICES, AND TRAINING MATERIALS TO DEFENDANT SPINEOLOGY INC.
  86. PLAINTIFFS' FOURTH REQUEST FOR PRODUCTION TO DEFENDANT SPINEOLOGY, INC. DATED APRIL 9, 2024 - OPTIMESH
  87. PLAINTIFFS' FOURTH REQUEST FOR PRODUCTION TO DEFENDANT CG MEDICAL LLC DATED APRIL 9, 2024
  88. NOTICE OF SERVICE OF PLAINTIFFS' SECOND INTERROGATORIES TO DEFENDANT COLBY GILES DATED APRIL 9, 2024
  89. NOTICE OF SERVICE OF PLAINTIFFS' SECOND INTERROGATORIES TO DEFENDANT CG MEDICAL LLC DATED APRIL 9, 2024
  90. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF SUPPLEMENTAL RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  91. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF SUPPLEMENTAL RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  92. NOTICE OF TAKING VIDEO DEPOSITION OF COLBY GILES DEUCES TECUM VIA ZOOM
  93. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S THIRD REQUEST TO PRODUCE
  94. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S SECOND REQUEST TO PRODUCE
  95. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  96. DEFENDANT, COLBY GILES' NOTICE OF SERVICE OF ANSWERS TO PLAINTIFF, MARIA CLAUDE'S FIRST SET OF INTERROGATORIES 1-17
  97. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S THIRD REQUEST TO PRODUCE
  98. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S SECOND REQUEST TO PRODUCE
  99. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  100. DEFENDANT, CG MEDICAL LLC'S NOTICE OF SERVICE OF ANSWERS TO PLAINTIFF, MARIA CLAUDE'S FIRST SET OF INTERROGATORIES 1-17
  101. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S THIRD REQUEST TO PRODUCE
  102. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S SECOND REQUEST TO PRODUCE
  103. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF RESPONSES TO PLAINTIFF, MARIA CLAUDE'S FIRST REQUEST TO PRODUCE
  104. DEFENDANT, SPINEOLOGY, INC,'S NOTICE OF SERVICE OF ANSWERS TO PLAINTIFF, MARIA CLAUDE'S FIRST SET OF INTERROGATORIES 1-17
  105. CASE MANAGEMENT ORDER- GENERAL
  106. PLAINTIFF MARIA CLAUDE'S THIRD REQUEST FOR PRODUCTION TO DEFENDANT COLBY GILES DATED JANUARY 15, 2024
  107. PLAINTIFF MARIA CLAUDE'S THIRD REQUEST FOR PRODUCTION TO DEFENDANT C.G. MEDICAL, LLC DATED JANUARY 15, 2024
  108. PLAINTIFF MARIA CLAUDE'S THIRD REQUEST FOR PRODUCTION TO DEFENDANT SPINEOLOGY, INC. DATED JANUARY 15, 2024
  109. PLAINTIFF MARIA CLAUDE'S SECOND REQUEST FOR PRODUCTION TO DEFENDANT COLBY GILES DATED JANUARY 11, 2024
  110. PLAINTIFF MARIA CLAUDE'S SECOND REQUEST FOR PRODUCTION TO DEFENDANT CG MEDICAL, LLC., DATED JANUARY 11, 2024
  111. PLAINTIFF MARIA CLAUDE'S SECOND REQUEST FOR PRODUCTION TO DEFENDANT SPINEOLOGY, INC. DATED JANUARY 11, 2024
  112. NOTICE OF SERVICE OF PLAINTIFFS INTERROGATORIES 1-17 TO DEFENDANTS DATED JANUARY 3, 2024
  113. PLAINTIFFS REPLY TO AFFIRMATIVE DEFENSES OF DEFENDANT CG MEDICAL LLC
  114. PLAINTIFFS REPLY TO AFFIRMATIVE DEFENSES OF DEFENDANT COLBY GILES
  115. DEFENDANT COLBY GILES' ANSWER AND AFFIRMATIVE DEFENSES TO PLAINTIFFS' COMPLAINT AND DEMAND FOR JURY TRIAL
  116. EFENDANT CG MEDICAL LLC'S ANSWER AND AFFIRMATIVE DEFENSES TO PLAINTIFFS' COMPLAINT AND DEMAND FOR JURY TRIAL
  117. DEFENDANT, COLBY GILES INC,'S NOTICE OF APPEARANCE
  118. DEFENDANT, CG MEDICAL LLC'S NOTICE OF APPEARANCE
  119. NOTICE OF SERVICE OF PLAINTIFFS ANSWERS TO FIRST SET OF INTERROGATORIES
  120. PLAINTIFFS RESPONSES AND OBJECTIONS TO FIRST REQUEST FOR PRODUCTION
  121. PLAINTIFFS REPLY TO AFFIRMATIVE DEFENSES OF DEFENDANT SPINEOLOGY
  122. DEFENDANT SPINEOLOGY, INC.'S NOTICE OF SERVICE OF FIRST REQUEST FOR PRODUCTION TO PLAINTIFF MARIA MILAGRO CLAUDE
  123. DEFENDANT SPINEOLOGY, INC.'S NOTICE OF SERVICE OF FIRST INTERROGATORIES TO PLAINTIFF MARIA MILAGRO CLAUDE
  124. DEFENDANT, SPINEOLOGY, INC.'S ANSWER AND AFFIRMATIVE DEFENSES TO PLAINTIFFS' COMPLAINT AND DEMAND FOR JURY TRIAL
  125. NOTICE OF FINAL SERVICE
  126. SUMMONS RETURNED SERVED (CG MEDICAL LLC)
  127. SUMMONS RETURNED SERVED (COLBY GILES)
  128. DEFENDANT SPINEOLOGY INC NOTICE OF APPEARANCE
  129. SUMMONS RETURNED SERVED
  130. ORDER REGARDING REQUIRED REPORTING
  131. SUMMONS ISSUED
  132. SUMMONS ISSUED
  133. SUMMONS ISSUED
  134. PAYMENT $430.00 RECEIPT #2023066268
  135. PLAINTIFF'S ATTORNEY: STEWART, GEORGE DANIEL ASSIGNED
  136. FRYDRYCHOWICZ, JENNIFER J: ASSIGNED
  137. PROPOSED SUMMONS
  138. PROPOSED SUMMONS
  139. PROPOSED SUMMONS
  140. PLAINTIFFS COMPLAINT
  141. CIVIL COVER SHEET

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