United States District Court, D. Nevada
January 9, 2017
JUAN SOLIS-DIAZ, Plaintiff,
LAS VEGAS METROPOLITAN POLICE DEPARTMENT; et al., Defendants.
T.KENNEDY, ESQ. Attorney for Plaintiff.
R. ANDERSON, ESQ. Attorney for Defendants.
STIPULATION REGARDING ADMISSION OF EVIDENCE
HEREBY STIPULATED AND AGREED by and between, the Plaintiff,
JUAN SOLIS-DIAZ, by and through his undersigned counsel, KIRK
T. KENNEDY, ESQ., and the Defendants, LAS VEGAS METROPOLITAN
POLICE DEPARTMENT AND OFFICER SCOTT TOMPKINS, by and through
their undersigned counsel, CRAIG R. ANDERSON, ESQ., that the
following stipulation will govern the admission of certain
evidence at trial:
records and billing incurred and related to the Sunrise
Hospital treatment for Plaintiff is admitted and may be used
by either party for any purpose, this includes the records
and billing from the following: Medic West Ambulance, Valley
Anes Cons Beckett, Lab Medicine Consultants, Sunrise Hospital
and Medical Center, Desert Surgical Associates, University
Medical Center, Anesthesiology Consultants, Inc., Nevada
Orthopedic & Spine Center, Dr Arthur Taylor, Radiology
Specialists, Ltd., David A. Silverberg, M.D., Redrock Medical
Center and Dr. Kim Kitae.
parties agree that the Plaintiffs medical treatment at
Sunrise Hospital was reasonable, necessary and appropriate.
parties agree to the admission of the records and billing
related to Plaintiffs right hand nerve treatment with Dr.
Maria Stella Gaerlan, and that her treatment was reasonable,
necessary and appropriate.
parties agree that the Plaintiff will make no damage claim
for the necessity of future medical treatment from his
injuries in this matter, however the Plaintiff may present
evidence that the did suffer related and ongoing pain and
suffering arising from the underlying injuries after his