With no explanation, chose the best option from "A", "B", "C" or "D". Paulekas, 633 So.2d at 1113. The coverage determination was not binding on the injured claimants who were not parties in the earlier suit. Id. Unlike Bethel, Conde, and Paule-kas, Alexandra’s absence from Citizens’ suit for declaratory relief does not subject Citizens to the threat of future litigation by a potential claimant. Alexandra assigned to Haim any and all rights to benefits under the policy, and she is not and cannot be a potential claimant under the policy. In short, while Alexandra may remain obligated to perform the post-loss duties imposed by the language of the policy, she need not be a party to any coverage decision. See Conde, 595 So.2d at 1008 n. 6; cf. Reinstein v. Pediatric Gastroenterology, Hepatology & Nutrition of Fla., P.A., 25 So.3d 54, 58-59 (Fla. 2d DCA 2009) (<HOLDING>); Hanover Ins. Co. v. Publix Mkt, Inc., 198

A: holding that a corporation exists as an entity apart from its shareholders even where the corporation has but one shareholder the general proposition of corporate identity apart from its shareholders leads us to conclude in accordance with decisions from other jurisdictions that the attorneys client is the corporation and not the shareholders
B: holding that after the sale of stock former shareholders have no standing to file a claim against the corporation
C: holding that doctorshareholder was improperly dismissed from action by corporation seeking to enforce noncompete agreements against former shareholder where underlying agreements allowed for nonexclusive enforcement by corporation or doctorshareholder and both corporation and doetorshareholder therefore must be joined in action to ensure both of former shareholders potential adversaries are bound by judgment
D: holding that resident shareholder of s corporation is eligible for tax credit for taxes paid by corporation in another state and noting that this conclusion is consistent with the internal revenue code which provides that shareholders of an s corporation are entitled to a foreign tax credit for their share of foreign income tax paid by an s corporation
C.