In Angelica Feagle v. William S Wong DPM, P.A. and Hartford Underwriters Insurance Company the E/C raised a Daubert objection. The JCC overruled noting that standing Duabert objections are not permissible and such objections must be directed to specific opinions and with sufficient specificity to allow correction of perceived defects. Finding Claimant’s notice of conflict was supported by the medical evidence showing disagreement between the health care providers, the JCC APPOINTED and EMA. EMA appointed: TBD.