HomeMy WebLinkAbout2020CV30363 - Stuward Cross And Katrina Richman V. City Of Fort Collins - 053 - Df's Resp Mil Re Workers CompensationDISTRICT COURT, LARIMER COUNTY, COLORADO
Larimer County Justice Center
201 Laporte Avenue, Suite 100
Fort Collins, CO 80521-2761
(970) 498-6100
Plaintiffs: STUWARD CROSS AND KATRINA RICHMAN
v.
Defendant: THE CITY OF FORT COLLINS, State of
Colorado
COURT USE ONLY
Andrew W. Callahan, #52421 – acallahan@wicklaw.com
Julie M. Yates, #36393 – jyates@wicklaw.com
WICK & TRAUTWEIN, LLC
323 South College Avenue, Suite 3
Fort Collins, CO 80522
Phone & Fax Number: (970) 482-4011
John R. Duval, #10185 – jduval@fcgov.com
Adam Stephens, #55637 – adstephens@fcgov.com
Fort Collins City Attorney’s Office
P.O. Box 580
Fort Collins, CO 80524
(970) 221-6520
Case No.: 2020 CV 30363
Division: 3C
DEFENDANT’S RESPONSE TO MOTION IN LIMINE
TO PRECLUDE EVIDENCE OF WORKERS COMPENSATION AND OTHER
COLLATERAL SOURCES
COMES NOW Defendant the City of Fort Collins, by and through counsel, and files its
response to the Motion in Limine to Preclude Evidence of Workers Compensation and Other
Collateral Sources as follows:
In their motion, Plaintiffs seek to prohibit Defendant from submitting evidence regarding
payments made by workers compensation and/or health insurance on behalf of Plaintiffs.
Defendant agrees that these payments are within the contract exception to the collateral source
rule under C.R.S. §13-21-111.6. Accordingly, to the extent that Plaintiffs’ motion merely seeks
2
to prohibit reference to sums paid by workers compensation, Medicaid or private insurance,
Defendant does not oppose this request.
However, Defendant does object to the extent that this motion seeks to preclude Defendant
from introducing evidence of the existence of Mr. Cross’ workers compensation claim. Plaintiff
Cross has made a lost wages claim for $54,705.15 (See Itemization of Damages in Joint Trial
Management Order, p. 4.) In his deposition, Mr. Cross testified that he continued driving as a
taxicab driver for over a year after the collision while his workers compensation claim was
pending. (See Deposition of Stuward Cross, Exhibit 1, p. 22, ln. 9-12). Mr. Cross resigned as a
cab driver as part of the settlement of his workers compensation claim in August 2018. (Ex. 1 , p.
22, ln. 13 – p. 23, ln. 11.) Mr. Cross also acknowledged that even before the incident, he was
behind on his costs ledger to his employer but believes that he became further behind as a result
of this accident. Exhibit 1, p. 23, ln 6-16.
Plaintiffs disclosed a heavily redacted version of the workers compensation claim
settlement agreement which Mr. Cross signed. (See Exhibit 2). This document shows that Mr.
Cross voluntarily resigned as a driver for Yellow Cab in exchange for Yellow Cab waiving
amounts owed by Mr. Cross to Yellow Cab. (Ex. 2, p.7, paragraphs 1, 2 and3).
Defendant believes that Mr. Cross’ lost wages are entirely due to his voluntary resignation
pursuant to the worker’s compensation settlement and unrelated to any injuries he allegedly
sustained in the incident. Plaintiffs’ motion in limine does not address this issue directly, however,
Plaintiffs’ requested relief would necessarily preclude Defendant from raising the issue of the
workers compensation settlement agreement. Defendant believes this is relevant and admissible
3
evidence showing why Mr. Cross’ claimed lost wages are not caused by the accident at issue in
this case.
WHEREFORE, Defendant respectfully requests that this Court deny Plaintiffs’ motion in
limine to the extent that it purports to prohibit Defendant from introducing evidence regarding the
workers compensation settlement.
Respectfully submitted this 25th day of October, 2021.
WICK & TRAUTWEIN, LLC
By: s/ Andrew W. Callahan
Andrew W. Callahan, #52421
Julie M. Yates, ##36393
Attorneys for Defendants
And
John R. Duval, #10185
Adam Stephens, #55637
Fort Collins City Attorney’s Office
4
CERTIFICATE OF ELECTRONIC FILING
The undersigned hereby certifies that a true and correct copy of the foregoing
DEFENDANT’S RESPONSE TO MOTION IN LIMINE TO PRECLUDE EVIDENCE OF
WORKERS COMPENSATION AND OTHER COLLATERAL SOURCES was served via the
Colorado Courts E-Filing System this 25th day of October, 2021, on the following:
Laura Michelle Browne
Ashley Fridovich
Wilhite, Rose, McClure & Sawaya, P.C.
1600 N. Ogden Street
Denver, CO 80218
Adam Stephens
John Duval
FORT COLLINS CITY ATTORNEY’S OFFICE
P.O. Box 580
Fort Collins, CO 80522
s/Jody L. Minch