によって Phillip Powell 1か月前.
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Home Screen Guide Notes.
KIRSTY HATCH PLANING.
TASKS, LINKS AND GUIDE NOTES.
SUSAN ASSIST;
I couldn't be with Kiah due to respiratory safety.
Susan arranged to call Patino reception to find out when we could attend one of Patino's offices to meet Kirsty Hatch, witness stat dec and request advice.
COLIN PATINOS REPY TO SUSAN CALL.
From: Kiah Gordon-Powell <admin@philpowells.com>
Date: Wed, Oct 2, 2024 at 6:10 PM
Subject: Phillip Powell - CP/JF/HS/22-0004.
To: Colin Patino <info@patinos.com.au>
Dear Mr Colin,
Thank you for the September 27 email.
I just cleared Phillip's mail this afternoon. He understands that the stat declaration is urgent. Phillip's knee injury will be okay and should be fully weight-bearing by Tuesday. The new treatment's side effects are being overcome and settling well.
Phillip plans to visit one of your offices and meet Ms Hatch with the stat declaration.
I will contact your reception to verify an appointment time next Monday.
Thank you for your time.
Regards, Kiah Gordon-Powell
KGP > 02/10/2024
KIAH REPLY TO
From: Kiah Gordon-Powell <admin@philpowells.com>
Date: Wed, Oct 2, 2024 at 6:10 PM
Subject: Phillip Powell - CP/JF/HS/22-0004.
To: Colin Patino <info@patinos.com.au>
Dear Mr Colin,
Thank you for the September 27 email.
I just cleared Phillip's mail this afternoon. He understands that the stat declaration is urgent. Phillip's knee injury will be okay and should be fully weight-bearing by Tuesday. The new treatment's side effects are being overcome and settling well.
Phillip plans to visit one of your offices and meet Ms Hatch with the stat declaration.
I will contact your reception to verify an appointment time next Monday.
Thank you for your time.
Regards
Kiah Gordon-Powell
KGP > 09/10/2024
KAIH REQUEST INFO ON MS HATCH'S RETURN.
KH RETURN BOOKING NOTES.
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APRIL EARLY START WITH LEGAL.
Pinto's and Sinnoman's lawyers have not demonstrated a genuine concern for the complexity of my recovery. As a result, I have been unable to communicate the danger of accidental overdosing or the high level of exposure to suicide.
The evidence of gross negligence against the claimant was irrefutable. Therefore, Jena and Josh took my claim, believing that winning compensation would be easy and fast. But they overlooked the complexity of my medical history, age, and recovery challenge.
Jena and Josh could predict the impact of the COVID-19 pandemic, but they do not appreciate how it has disrupted all the medical providers I depend on for each of my recovery requirements.
Recovery plans require multiple types of costly medical services. However, to this date, I have not seen any indication that either advocate has factored in the economic effect on the pace of the recovery plan or the strain the claimant's health has.
Draft a to-date summary that aims to synchronize the three key recovery providers' agreement on safely transferring from recovery needs and future support needs.
A secondary goal of the summary is to assist the claimant in communicating legal instructions about past, current, and future recovery plans.
Key Summary Points
Confirm respondent's insurer is financially fluid.
APRIL EARLY START WITH LEGAL.
Pinto's lawyers and Sinnoman's lawyers have not demonstrated a real concern for the complexity of my recovery. I have not been able to communicate the danger of accidental overdosing or the high level of exposure to suicide.
Evidence of gross negligence against the claimant was irrefutable. Therefore, Jena and Josh took my claim with the belief winning compensation would be easy and fast. But, they overlook the complexity of my medical history, age and the challenge of my recovery.
Jena and Josh could predict the impact of the Covid 19 pandemic, and they do not appreciate how covid 19 has disrupted all medical providers who I depend on for each of my recovery requirements.
Recovery plans need multiple types of costly medical services. At this date, I have not seen any indication that either advocate has factored in the financial effect on the pace of the recovery plan or what strain the claimant's health has been threatened.
Draft a to-date summary that aims to synchronize the three key recovery providers' agreement on the need to safely complete transferring from recovery needs and future support needs.
A secondary goal of the summary is to assist the claimant's need to clearly communicate legal instructions about past, current and future recovery plans.
Key Summary Points
MAIN DBX. Schedule completion of key recovery points for Medical and Legal parties
Add the name of the website and the URL