Plaintiff Teresa August is expected to testify regarding her claims and damages

Size: px
Start display at page:

Download "Plaintiff Teresa August is expected to testify regarding her claims and damages"

Transcription

1 A. Will Be Called At Trial. 1. Officer Toby Dunn, #5041 Phoenix Police Department 2. Robert Griffin, #7161 Phoenix Police Department 3. Officer NicholasLynde, #7518 Phoenix Police Department 4. Officer Lyle Monson,#6972 Phoenix Police Department Witnesses 1 through 4 listed above were present at the home of Plaintiff Teresa August on June 10,2002, and they are expected to testify regarding their observations of what occurred and their involvement in tbe arrest of Teresa August. They will also testify regarding their background, training and experience. 5. Plaintiff Teresa August Plaintiff Teresa August is expected to testify regarding her claims and damages relating to the subject incident on June 10, Plaintiff is expected to testify consistent with her deposition testimony in this matter. Defendants intend to use Plaintiffs videotaped deposition during the trial. 6. Samuel (Sam) Hickey Sam Hickey is expected to testify regarding his knowledge and involvement in the incident that occurred with his grandmother Teresa August on June 10, 2002, which is the subject of this lawsuit. Mr. Hickey is expected to testify consistent with his recorded interview by Phoenix Police and his deposition testimony in this matter 7. Captain Cbarles (Chuck) Lee Phoenix Fire Department 8. Daniel Cheatum Phoenix Fire Department Witnesses 7 and 8 were employed with the Phoenix Fire Department at the time of the subject incident and responded to the call for medical assistance from Phoenix Police. The witnesses are expected to testify regarding their observations of the Plaintiff and the treatment Fire personnel provided her at the scene. Captain Lee and Daniel Case 2:03-cv ROS Document Filed 11/17/2006 Page 1 of 19

2 Cheatum will be called at trial. 9. Kathy Cramer Custodian of Records Phoenix Fire Department Kathy Cramer is expected to lay foundation and verify the Fire Department EMS Incident Report IAUGUST ] for treatment provided to Plaintiff on June 10, 2002, which is an exhibit listed by Defendants herein. Ms. Cramer may be called at trial for foundational purposes only. 10. Dan McNemee Phoenix Police Department c/o Jones, Skelton & Hochnli, P.L.C. 290 IN. Central Avenue. Suite 800 Phoenix, AZ Mr. McNemee is employed as Administrative Supervisor with the Phoenix Police Department Communications Bureau. It is anticipated that he will provide information about the Phoenix Police Department Status Codes and will lay foundation for the CAD printouts for the incident on June 10,2002. He will also address records and tape retention and recordings.. II. Chris Cullen (Whitted) Formerly with Phoenix Police Department c/o Jones, Skelton & Hochuli, P.L.C N. Central Avenue, Suite 800 Phoenix, AZ Ms. Cullen (Whitted) was employed as a call taker for the Phoenix Police Department Communications Bureau on 6/10/02, and she was the call taker (serial # A1494) who spoke to Plaintiff when she dialed Ms. Cullen is expected to lay foundation for the CAD printout, as well as the audio tape recording and the transcript of the Plaintiffs call [Bates AUGUSTOI j on the date of the subject incident. 12. Custodian of Records Cigo. Billing Dept. The Custodian of Records for Cigna Billing Department will lay foundation for the Equivalent Value Statement pertaining to Plaintiff that was received in response to subpoena Case 2:03-cv ROS Document Filed 11/17/2006 Page 2 of 19

3 13. Custodian of Records Phoenix Union High School District The Custodian of Records for Phoenix Union High School District is expected to testify regarding the employment records of Plaintiff received by Defendants in response to subpoena. 14. Other Custodian of Records as Needed 15. Officer Jerry Peterson, #5907 Pboenix Police Department Officer Peterson was the Student Resources Officer at Madison Meadows School in 2004, which is located in Phoenix near the residence of Plaintiff Teresa August Officer Peterson will testify that he has had several conversations with Teresa August about the subject matter of the current lawsuit, her complaints about the police, and has observed her act in a loud, aggressive manner. It is anticipated that Officer Peterson will testify consistent with the police report he prepared on May 4, 2004 regarding Teresa August's actions that day, as well as, prior conversations he has had with her at Madison Meadows School. B. MAYBE CALLED AT TRIAL 16. Gary SkIn! Phoenix Fire Department 17. Raphael King Phoenix Fire Department Witnesses 16 through 17 above were employed with the Phoenix Fire Department at the time of the subject incident and responded to the call for medical assistance from Phoenix Police. They are expected to testify regarding their observations of the Plaintiff and the treatment they provided her at the scene. 18. Officer Gregory Myracle, #6904 Phoenix Police Department Officer Myracle is expected to testify that he spoke to Teresa August on the telephone when she called in to complain about a parking problem in front of her residence. He will testify that, during the course of their conversation, Mrs. August used ,] Case 2:03-cv ROS Document Filed 11/17/2006 Page 3 of 19

4 profanity frequently and made some very derogatory comments about Phoenix Police Officer Jerry Peterson. Officer Myracle may be called at trial. 19. Diane Lynn c/o Madison Meadows Middle School 225 W. Ocotillo Road Phoenix, AZ (602) work Ms. Lynn is expected to testify that she is/was employed as a secretary at Madison Meadows Middle School and that she was present on May 26, 2004, when Plaintiff Teresa August came into the office and began yelling at her in a loud voice regarding a complaint that people were parking in front of her residence and that she also made derogatory remarks about Phoenix Police Officer Jerry Peterson. Ms. Lynn will testify that Plaintiff Teresa August would visit the offices of Madison Meadows Middle School approximately once a month for a number of years complaining loudly about parking problems in front of her home. Ms. Lynn may be called at trial as an impeachment witness only. 20. Suzanne Mahon c/o Madison Meadows Middle School 225 W. Ocotillo Road Phoenix, AZ (602) work Ms. Mahon is/was employed as principal at Madison Meadows Middle School and is expected to testify that she was present when Plaintiff Teresa August came into the school administrative offices on May 26, 2004, complaining loudly about persons parking in front of her residence. often while yelling at her and Officer Peterson. impeachment witness only. She will testify that Mrs. August was loud and used profanity 21. Kevin Sotomayor c/o Madison Meadows Middle School 225 W. Ocotillo Road Phoenix, AZ (602) work Ms. Mahon may be called at trial as an Mr. Sotomayor was/is the assistant principal of Madison Meadows Middle School and he is expected to testify that he was in his office when Plaintiff Teresa August came into the school administrative offices on May 26, 2004, complaining loudly about persons ] ] -24- Case 2:03-cv ROS Document Filed 11/17/2006 Page 4 of 19

5 parking in front of her residence. He will testify that Mrs. August was very loud and used profanity often while yelling at school personnel and that he could hear her in his office. Mr. Sotomayor may be called at trial as an impeachment C. BY DEPOSITION 22. Richard Sengson,M.D. Maricopa Medical Center 2601 E. Roosevelt Phoenix, AZ witness only. Dr. Seligson is a treating physician of the Plaintiff. Defendants' attorney took his deposition on September 9, Dr. Seligson will testify regarding his treatment of Teresa August at Arizona Heart Hospital on 6110/02. Dr. Seligson is expected to testify consistent with his deposition testimony in this matter. Defendants intend to use Dr. Seligson's deposition testimony in lieu of live testimony at trial as designated by page and line number in Section "R," supra. D. IMPEACHMENT 23. Daniel Treon 2700 North Central Avenue, Suite 1000 Phoenix, AZ Mr. Treon represents the Plaintiff in this matter and informed the City of Phoenix Police Department that Teresa August would not participate or cooperate in a Professional Standards Bureau investigation of this matter. It is anticipated that Mr. Treon will testify consistent with several taped conversations between Lieutenant Tornory and Mr. Treon, his deposition testimony, and correspondence to Lieutenant Tornory. Daniel Treon may be called as a witness in this trial. 24. Mark August Mark August is expected to testify regarding his knowledge of the facts and circumstances surrounding the incident on June 10, He is also expected to testify regarding his knowledge of the mental health and prior injuries of Teresa August. 25. Lt. Joe Tomory, #4883 Phoenix Police Department 1..1.Tomory was a sergeant with Phoenix Police on June 10,2002, and he is Case 2:03-cv ROS Document Filed 11/17/2006 Page 5 of 19

6 expected to testify that he was assigned by the Professional Standards Bureau (PSB) to investigate the arrest of Teresa August on Lt. Tomory is expected to testify regarding the reasonable attempts he made to conduct an investigation of this matter and that he was unable to complete his investigation due to Teresa August's and Dan Treon's failure to cooperate with the investigation. Lieutenant Tomory may be called at trial. L. EXPERTS PLAINTIFF'S EXPERT(S): Defendants reserve all objections to Plaintiffs provide copies of her to Defendants. because Plaintiff did not 1. Beth Purdy, M.D North 3rd Street Phoenix, AZ Dr. Purdy will testify regarding her the nature, severity and cause of Teresa August's dislocated elbow injury and Dr. Purdy's treatment thereof. She also will testify consistent with her rebuttal opinion regarding the cause of and severity of Teresa August's elbow dislocation. She also will opine that Defendants' expert biomechanical engineer, Michael Carhart, is simply wrong in his conclusions regarding the forces applied to Teresa August's elbow, particularly that she could Dot have caused her own elbow dislocation and that her interaction with Sam Hickey had nothing to do with the injury. Dr. Purdy will testify at trial. DEFENDANTS' EXPERTS: A. WILL BE CALLED AT TRIAL 1. Jeffery G. Hynes, Commander Phoenix Polite Department c/o Jones, Skelton & Hochuli Commander Hynes will testify that he has been employed with the Phoenix Police Department for 26 years. Commander Hynes is a recognized expert in relation to use of force. He has been a member on the Use of Force Board numerous times and has reviewed hundreds of reports involving use of force. Commander Hynes will testify that the ann-bar handcuffmg/restraining technique is a standard technique used by all officers Case 2:03-cv ROS Document Filed 11/17/2006 Page 6 of 19

7 in the Phoenix Police Department. This technique is used to alleviate the likelihood of injury, however, the suspect's actions and resistance can determine if an injury may occur as in this subject case. 2. Michael Carhart, Ph.D. Exponent N. 19th Avenue Phoenix, AZ mechanics. Dr. Carhart is an expert in the area of biomechanical engineering and injury He will testify regarding how and when Mrs. August may have sustained injury to her right elbow during the incident on 6/1 0/02. C. MAYBE CALLED AT TRIAL 3. Stephen Brown, M.D E. Maryland Avenue Phoenix, AZ Dr. Brown is an orthopedic surgeon and has been certified with the American Board of Orthopedic Surgeons since September 9, Dr. Brown has reviewed the medical records of Teresa August as well as the Plaintiffs responses to discovery and the parties' disclosure statements. He will testify regarding Plaintiffs injury to her elbow and will state that she has had an excellent outcome and return of function. M. EXHIBITS PLAINTIFF: Defendants resenre all objections to Plaintiffs Dot provide copies of her to Defendants in preparation because Plaintiff did of this Order. 1. Teresa August's Arizona Heart Hospital Medical Records [ ] Defendants object to [000002] as lacking fonndation Teresa August's Maricopa Medical Center Medical Records [ J Teresa August's CIGNA Healthcare - Surgicenter Medical Records [ ] 16& Case 2:03-cv ROS Document Filed 11/17/2006 Page 7 of 19

8 Defendants object to [ ] as unrelated to Plaintiffs elbow injury, lacking foundation, as irrelevant and as Defendants further object to [000051] as hearsay. 4. Teresa August's Charles M. Creasman, M.D. Medical Records [ ] 5. Teresa August's Bcth A. Purdy, M.D. Medical Records [ ) 6. Teresa August's Canyon Surgery Center Medical Records [ J 7. Teresa August's David England, D.O. Medical Records [ ] 8. Teresa August's Desert Hand Therapy Medical Records [ ] 9. Urgent Carc Record (Cigna) [AUGUST 1263] Defendants object to Exhibit 9 as duplicative of Exhibit 3 and as unrelated to Plaintiffs elbow injury, lacking foundation, irrelevance and 10. Teresa August's Arizona Heart Hospital Billing Statement [000116] Defendants object to Exhibit 10 as lacking foundation and as 11. Teresa August's Maricopa Medical Center Billing Statement [ ] Defendants object to Exhibit 11 as lacking foundation and as 12. Teresa August's Med Pro-ER PhysicianslRadiology Billing Statement [ ] Defendants object to Exhibit 12 as lacking foundation and as Case 2:03-cv ROS Document Filed 11/17/2006 Page 8 of ]

9 13. Teresa August's Charles M. Creasman, M.D. Billing Statement [ ] Defendants object to Exhibit 13 as lacking foundation and as 14. Teresa August's Beth A. Purdy, M.D. Billing Statement [ ] Defendants object to Exhibit 14 as lacking foundation and as 15. Teresa August's Canyon Surgery Center Billing Statement ( ] Defendants object to Exhibit 15 as lacking foundation and as 16. Teresa August's David England, D.O. Billing Statement [000134] Defendants object to Exhibit 16 as lacking foundation and as 17. Teresa August's Healthsouth Billing Statements [ ] Defendants object to Exhibit 17 as lacking foundation and as 18. Teresa August's Pointe CIGNA Phannacy Billing Statement [ ] Defendants object to Exhibit 18 as lacking foundation, irrelevance and as 19. Teresa August's Desert Hand Therapy Billing Statement ( ] Defendants object to Exhibit 19 as lacking foundation and as 20. Teresa August's Valleywide Surgical Services Billing Statement [000149] Defendants object to Exhibit 20 as lacking foundation and as Case 2:03-cv ROS Document Filed 11/17/2006 Page 9 of

10 ] Teresa August's St. Lukes Medical Center Billing Statement [ ] Defendants object to Exhibit 21 as lacking foundation and as 22. Teresa August's Steven S. Crohn, M.D. Billing Statement [000155) Defendants object to Exhibit 22 as irrelevant and containing hearsay. 23. Teresa August's Target Receipt (000156] Defendants object to Exhibit 23 as lacking foundation and as 24. Teresa August's CIGNA Pharmacy Billing Statement [ ] Defendants object to Exhibit 24 as lacking foundation regarding Plaintiffs prescription for Zoloft. 25. Teresa August's CIGNA Medical Group Equivalent Value Statement (EVS) [ ] Defendants object to Exhibit 25 as lacking foundation, irrelevance and 26. Medical Bill Summary Defendants object to Exhibit 26 as not disclosed, lacking foundation and as 27. Teresa August 08/26/2004 Deposition Transcript and attached Defendants object to Exhibit 27 as Plaintiffs designation is overly 28. Mark August 08/19/2004 Deposition Transcript and attached Defendants object to Exhibit 28 as Plainti.frs designation is overly Case 2:03-cv ROS Document Filed 11/17/2006 Page 10 of 19

11 29. Dakota August 06/24/2004 Deposition Transcript and attached Defendants object to Exhibit 29 as Plaintiff's designation is overly 30. Pam Hickey 06/29/2004 Deposition Transcript and attached Defendants object to Exhibit 30 as Plaintiffs designation is overly 31. Beth Pnrdy, M.D. 02/10/2005 Deposition Transcript and attached Defendants object to Exhibit 31 as Plaintiff's designation is overly 32. Richard Seligson, M.D. 09/09/2004 Deposition Transcript and attached Defendants object to Exhibit 32 as Plaintiffs designation is overly 33. Joseph Tomary 01118/2005 Deposition Transcript and attached Defendants object to Exhibit 33 as Plaintiffs designation is overly 34. Toby Dunn 12/08/2004 Deposition Transcript and attached Defendants object to Exhibit 34 as Plaintiffs designation is overly Case 2:03-cv ROS Document Filed 11/17/2006 Page 11 of 19

12 35. R.W. Griffm 08/18/2004 Deposition Transcript and attached Defendants objed to Exhibit 35 as Plaintiffs designation is overly result, Defendants reserve the right to make objedions on the basis of 36. Sam Hickey 12/09/2004 Deposition Transcript and attached Defendants object to Exhibit 36 as Plaintiffs designation is overly 37. Jeffeory Hynes 02/11/2005 Deposition Transcript and attached Defendants object to Exhibit 37 as Plaintiffs designation is overly result, Defendants reserve the right to make objedions on the basis of 38. Jeffeory Hynes 02/28/2005 Deposition Transcript and attached Defendants object to Exhibit 38 as Plaintiffs designation is overly 39. Nicholas Lynde 08/18/2004 Deposition Transcript and attached Defendants object to Exhibit 39 as Plaintiffs designation is overly 40. Lyle Monson 01105/2005Deposition Transcript and attached Defendants objed to Exhibit 40 as Plaintiff's designation is overly ,] -32- Case 2:03-cv ROS Document Filed 11/17/2006 Page 12 of 19

13 41. June 2003 Preliminary Hearing Transcript and attached Defendants object to Exhibit 41 as Plaintiffs designation is overly result, Defendants reserve the right to make objections on tbe basis of 42. Transcript of tape recorded interview of Teresa August by Officer Lyle Monson [AUGUST ] Defendants object to Exhibit 42 as irrelevant. This transcript is not the revised version and is thus inaccurate. 43. Transcript of tape recorded interview of Sam Hickey [AUGUST ] 44. Transcript of tape recorded interview of Dakota August [AUGUST ] 45. PUHS Document, Outstanding Educator Award, 1984, signed by Bruce Babbin [AUGUST 0912] Defendants object to Exhibit 45 as irrelevant, lacking foundation, containing hearsay, as unrelated to Plaintiffs claims and remote as the document is 22 years old. 46. PUHS letter of care for Asian students [AUGUST 09156] Defendants object to Exhibit 46 as irrelevant, lacking foundation and containing hearsay, as unrelated to Plaintiffs claims and remote as the document is 21 years old. 47. PilllS performance review [AUGUST ] Defendants object to Exhibit 47 as irrelevant, lacking foundation and containing hearsay, as unrelated to Plaintiff's claims and remote as the document is 35 years old. 48. PUHS application for supervisory position [AUGUST ] Defendants object to Exhibit 48 as irrelevant, lacking foundation and containing hearsay, as unrelated to Plaintiffs claims and as remote. 49. Michael Black, Esq. records [August-Black ] Defendants object to Exhibit 49 as lacking foundation, as irrelevant, as containing hearsay and as prejudicial. ] Case 2:03-cv ROS Document Filed 11/17/2006 Page 13 of 19

14 50. Letter ITomPam Hickey [August-Black ] Defendants object to Exhibit 50 as irrelevant hearsay. and as containing 51. Letter dated August -' 2004 from Dan Treon to Sgt. Tomary [AUGUST 0258] Defendants object to Exhibit 51 as lacking foundation and as irrelevant. In addition, Defendants have filed a Motion in Limine regarding the PSB investigation. 52. Use of Force Policy [AUGUST ] 53. Wage Loss Documentation Defendants object to Exhibit 53 as the documentation was not produced. Accordingly, Defendants reserve the right to make further objections. 54. CAD Documents ITomCity of Phoenix (AUGUST ] Defendants object to Exhibit 54 as the Affidavit of the Custodian Records is missing. of 55. Sgt. Wycoffs report [AUGUST 0083] Defendants object to Exhibit 55 as the report is incomplete and missing page 2 [August 0084). Accordingly, Defendants object to the partial report as listed in Exhibit Phoenix Fire Department EMT Report [AUGUST 0114] 57. Mark August mobile phone records [AUGUST ] Defendants object to Exhibit 57 as lacking foundation, irrelevance and 58. PUHS Employment Records (AUGUST ] Defendants object to Exhibit 51 as lacking foundation, irrelevance, containing hearsay and as remote Drawing number 1 of August house [AUGUST 2031] Drawing number 2 of August house [AUGUST 2030] ! Case 2:03-cv ROS Document Filed 11/17/2006 Page 14 of 19

15 61. Photographs of interior of August house taken by police officers on June 10, 2002 [AUGUST ] 62. Photographs of Sam Hickey taken by Phoenix Police Officers on June 10, 2002 [AUGUST ] 63. Photographs taken of Dakota August by Phoenix Police Officers on June 10, 2002 [AUGUST ] 64. Photographs of Teresa August taken by Phoenix Police Officers on June 10, 2002 [AUGUST ] Defendants objeet to [August ] as eumulative and irrelevant. 65. Photographs taken of interior of August home by Defendants' Investigator [AUGUST ) 66. Stephen G. Brown, M.D. 's Expert Report dated July 28, 2004 (signed version - 4 pages) [AUGUST ] Defendants object to Exhibit 66 as 67. Stephen G. Brown, M.D. Expert Report dated July 28, 2004 (lu1signedversion - 5 pages) Defendants object to Exhibit 67 as 68. Stephen G. Brown, M.D. List of Depositions, Arb. Hearings & Trials (5 pages) [AUGUST ] Defendants object to Exhibit 68 as containing hearsay and irrelevant. 69. Stephen G. Brown, M.D. Fee Schedule (1 page) Defendants object to Exhibit 69 as containing hearsay and irrelevant Stephen G. Brown, M.D. Curriculum Vitae (3 pages) Jeffeory G. Hynes Expert Report dated July 29, 2004 (34 pages) Jeffeory G. Hynes Curriculum Vitae (13 pages) Michael Carhart, Ph.D. expert report dated August 2, 2004 (9 pages) [AUGUST ] Case 2:03-cv ROS Document Filed 11/17/2006 Page 15 of 19

16 74. Michael Carhart, Ph.D. Curriculum Vitae (3 pages) 75. Michael Carhart, Ph.D. List of Deposition, Arbitration, and Trial Testimony (2 pages) Defendants object to Exhibit 75 as containing hearsay and irrelevant. 76. Plaintiff's Second Supplement Disclosure Statement (Expert Witness Rebuttal) re: Beth A. Purdy, M.D. dated September 2, 2004 Defendants object to Exhibit 76 as containing hearsay, as irrelevant 77. Beth A. Purdy, M.D. Expert Opinion Report dated September 2, 2004 (I page) Defendants object to Exhibit 77 as containing hearsay, as irrelevant 78. Beth A. Purdy, M.D. Curriculum Vitae (3 pages) Defendants object to Exhibit 78 as 79. Beth A. Purdy, M.D. Special Report FeeslLegal Fees (1 page) Defendants object to Exhibit 68 as irrelevant Teresa August Income Tax Returns for years 2000, 2001, 2002, and 2003 received from the IRS [AUGUST2226, 2233, 2236, 2243, 2245,2252 (redacted), 2271, 2274] (excludes pension iueome) Status codes prepared by Dan McNamee of Phoenix Police Department Communications Bureau [AUGUST ] Demonstration of elongation and injury mechanism to the lateral collateral ligament complex [AUGUST 2499] Demonstration of mechanism of lateral epicondyle with demonstration of Plaintiff Teresa August bending and twisting in an effort to resist. [AUGUST25001 Demonstration of mechanism of lateral epicondyle with a demonstration of Plaintiff Teresa August bending over in an attempt to resist [AUGUST2501] ,] Case 2:03-cv ROS Document Filed 11/17/2006 Page 16 of 19

17 85. Anatomy of the lateral elbow (top diagram) and a lateral view of the elbow demonstrating avulsion of common extensor origin (lower diagram) [AUGUST 2502] 86. Diagram of the "Right Forearm: Anterior View" showing pronator and supinator muscle pathways [AUGUST 2503] 87. Diagram of the "Right Forearm: Posterior (Dorsal) Views" shov.ring anatomy of forearm and extensor muscle pathways [AUGUST2504] 88. Diagram of lateral view of elbow demonstrating bony avulsion of the lateral collateral ligament origin on the lateral epicondyle [AUGUST 2505] 89. List of Reference Materials reviewed and/or relied upon by Michael Carhart, Ph.D. [AUGUST2596] 90. Arizona P.O.S.T. Board Model Lesson Plan for "Control Techniques" [AUGUST ] 91. Arizona P.O.S.T. Board Model Lesson Plan for "HandcuffIng" [AUGUST ) 92. Defendants' Response to Plaintiffs First Request for Production of Documents Defendants object to Exhibit 92 as containing hearsay, as irrelevant and lacking foundation~ 93. Defendants' Response to Plaintiff s First Request for Admissions Defendants object to Exhibit 93 as containing hearsay, as irrelevant 94. Defendants' Response to Plaintiffs First Set of Non-Uniform Interrogatories and Second Request for Production Defendants object to Exhibit 94 as containing hearsay, as irrelevant 95. Defendants' First Supplemental Response to Plaintiffs First Request for Production Defendants object to Exhibit 95 as containiug hearsay, as irrelevant ] Case 2:03-cv ROS Document Filed 11/17/2006 Page 17 of 19

18 96. Defendants' Infonnal Supplemental Response to Plaintiff's First Request for Production No.3 Defendants object to Exhibit 96 as containing hearsay, as irrelevant 97. Defendants' Second Supplemental Response to Plaintiff's 1st Request for Production Defendants object to Exhibit 97 as containing hearsay, as irrelevant 98. Defendants' Third Supplemental Response to Plaintiff's First Request for Production Defendants object to Exhibit 98 as containing hearsay, as irrelevant 99. Defendants' Supplemental Response to Plaintiff's First Non- Unifonn Interrogatories and Second Request for Production Defendants object to Exhibit 99 as containing hearsay, as irrelevant 100. Defendants' Response to Plaintiff's Second Request for Admissions and Non-Uniform Interrogatories Defendants object to Exhibit 100 as containing hearsay, as irrelevant 101. Defendants' Response to Plaintiffs Second Request for Production Defendants object to Exhibit 101 as containing hearsay, as irrelevant 102. Defendants' Response to Plaintiff's Second Non-Unifonn Interrogatories Defendants object to Exhibit 102 as containing hearsay, as irrelevant 103. Defendants' Response to Plaintiffs Third Request for Admissions Defendants object to Exhibit 103 as containing hearsay, as irrelevant Case 2:03-cv ROS Document Filed 11/17/2006 Page 18 of 19

19 104. Defendants' Response to Plaintiff's Third Set of Non-Uniform Interrogatories Defendants object to Exhibit 104 as containing hearsay, as irrelevant 105. Dr. Brown's December 1, 2004 report (AUGUST ). Defendants object to Exhibit 105 as 106. Notice of Claim letter dated November 22, Defendants object to Exhibit 106 as containing hearsay, lackiug foundation, Rule 408, and irrelevance Letter from Daniel Treon to Phoenix Police Department dated September 12,2002 seeking copies of tapes made of radio broadcasts. Defendants object to Exhibit 107 as containing hearsay, lacking foundation and irrelevance Letter from Daniel Treon to Sgt. Tomory, October 14,2002. Defendants object to Exhibit 108 as lacking foundation and irrelevant. In addition, Defendants have filed a Motion in Limine regarding the PSB investigation Memo from Communications Bureau Commander Blake McClellan to Judie Welch of Records and Identification Bureau re unavailability of tape records due to destruction dated September 24, 2002 Defendants object to Exhibit 109 based on fouudation, irrelevance, hearsay, failure to disclose under Rule 26, and failure to produce in Response to Defendants' Request for Production of Documents Transcripts of surreptitious tape recordings made by Sgt. Tomory of telephone calls made with Teresa August on July 31, 2002 and with Dan Treon on October 17, 2002 [AUGUST ]. Defendants object to Exhibit 110 as lacking foundation and irrelevant. In addition, Defendants have filed a Motion in Limine regarding the PSB investigation Documents related to PSB investigation produced in Defendants' Supplemental Responses to Plaintiff's First Request for Production, #5 [AUGUST ]. Defendants object to Exhibit 111 as lacking foundation and irrelevant ,] Case 2:03-cv ROS Document Filed 11/17/2006 Page 19 of 19

UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Daniel B. Treon 0 Stephen E. Silverman 0 TREON & SHOOK, P.L.L.C. 00 North Central Avenue, Suite 000 Phoenix, Arizona 00 Telephone: (0-00 Facsimile: (0-00 Attorney for Plaintiffs UNITED STATES DISTRICT

More information

IN THE COURT OF COMMON PLEAS BELMONT COUNTY, OHIO. : Plaintiff : vs. : FINAL PRETRIAL ORDER : Case No. Defendant :

IN THE COURT OF COMMON PLEAS BELMONT COUNTY, OHIO. : Plaintiff : vs. : FINAL PRETRIAL ORDER : Case No. Defendant : IN THE COURT OF COMMON PLEAS BELMONT COUNTY, OHIO : Plaintiff : vs. : FINAL PRETRIAL ORDER : Case No. Defendant : This action came before the court at a final pretrial conference held on at a.m./p.m.,

More information

UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) 1 1 Daniel B. Treon 0 Kelly Jo - 0 TREON & SHOOK, P.L.L.C. 00 North Central Avenue, Suite 00 Phoenix, Arizona 00 Telephone: (0-0 Facsimile: (0-00 Attorney for Plaintiffs UNITED STATES DISTRICT COURT DISTRICT

More information

FRANK RIDEAU DOCKET NO. 623,918 SEC th JUDICIAL DISTRICT COURT JOINT PRETRIAL ORDER

FRANK RIDEAU DOCKET NO. 623,918 SEC th JUDICIAL DISTRICT COURT JOINT PRETRIAL ORDER FRANK RIDEAU DOCKET NO. 623,918 SEC. 23 VERSUS USAA CASUALTY INSURANCE COMPANY and FRANCIS GAUTHIER 19 th JUDICIAL DISTRICT COURT PARISH OF EAST BATON ROUGE STATE OF LOUISIANA JOINT PRETRIAL ORDER NOW

More information

UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE AND REQUIRING PRETRIAL MATTERS TO BE COMPLETED

UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE AND REQUIRING PRETRIAL MATTERS TO BE COMPLETED IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA CASE NO. CIVIL DIVISION 37 Plaintiff(s), vs. Defendant(s). / UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE

More information

NO. V. AT LAW NO. 1. Defendant(s). ELLIS COUNTY, TEXAS. FINAL PRETRIAL SUBMISSION (CPS Trial)

NO. V. AT LAW NO. 1. Defendant(s). ELLIS COUNTY, TEXAS. FINAL PRETRIAL SUBMISSION (CPS Trial) NO. IN THE COUNTY COURT Plaintiff(s), V. AT LAW NO. 1 Defendant(s). ELLIS COUNTY, TEXAS FINAL PRETRIAL SUBMISSION (CPS Trial) This Final Pretrial Submission must be filed no later than nine (9) days before

More information

CASE NUMBER: DIV 71. It appearing that this case is at issue and can be set for trial, it is ORDERED as follows:

CASE NUMBER: DIV 71. It appearing that this case is at issue and can be set for trial, it is ORDERED as follows: Plaintiff(s), vs. Defendant(s). / IN THE COUNTY COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA CASE NUMBER: DIV 71 UNIFORM ORDER REGARDING SETTING CASE FOR JURY TRIAL, PRE-TRIAL

More information

FILED: BRONX COUNTY CLERK 10/28/ :08 PM INDEX NO /2016E NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 10/28/2016

FILED: BRONX COUNTY CLERK 10/28/ :08 PM INDEX NO /2016E NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 10/28/2016 FILED: BRONX COUNTY CLERK 10/28/2016 03:08 PM INDEX NO. 25877/2016E NYSCEF DOC. NO. 12 RECEIVED NYSCEF: 10/28/2016 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX CARL BAILEY, Plaintiff, Index No.:

More information

NO. V. AT LAW NO. 1. Defendant(s). ELLIS COUNTY, TEXAS. FINAL PRETRIAL SUBMISSION [Required For Bench Trials over two (2) hours]

NO. V. AT LAW NO. 1. Defendant(s). ELLIS COUNTY, TEXAS. FINAL PRETRIAL SUBMISSION [Required For Bench Trials over two (2) hours] NO. IN THE COUNTY COURT Plaintiff(s), V. AT LAW NO. 1 Defendant(s). ELLIS COUNTY, TEXAS FINAL PRETRIAL SUBMISSION [Required For Bench Trials over two (2) hours] This Final Pretrial Submission must be filed

More information

IN THE COURT OF APPEALS OF OHIO SECOND APPELLATE DISTRICT MONTGOMERY COUNTY : : : : : : : : : :... O P I N I O N

IN THE COURT OF APPEALS OF OHIO SECOND APPELLATE DISTRICT MONTGOMERY COUNTY : : : : : : : : : :... O P I N I O N [Cite as Cranford v. Buehrer, 2015-Ohio-192.] IN THE COURT OF APPEALS OF OHIO SECOND APPELLATE DISTRICT MONTGOMERY COUNTY TONIA E. CRANFORD v. Plaintiff-Appellant STEPHEN BUEHRER, ADMINISTRATOR, OHIO BWC,

More information

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF PIERCE RONALD W. GIESEN, individually, No

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF PIERCE RONALD W. GIESEN, individually, No E-FILED IN COUNTY CLERK'S OFFICE PIERCE COUNTY, WASHINGTON March 0 0: AM KEVIN STOCK COUNTY CLERK NO: --0-0 0 The Honorable G. Helen Whitener IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR

More information

DISCOVERY- LOCAL RULES JUSTICE COURTS OF TARRANT COUNTY, TEXAS

DISCOVERY- LOCAL RULES JUSTICE COURTS OF TARRANT COUNTY, TEXAS DISCOVERY- LOCAL RULES JUSTICE COURTS OF TARRANT COUNTY, TEXAS EFFECTIVE: JULY 1, 2015 TARRANT COUNTY JUSTICE COURTS - LOCAL RULES FOR DISCOVERY OBJECTIVES In accordance with law, the Justice Courts conduct

More information

IN THE STATE COURT OF DEKALB COUNTY STATE OF GEORGIA

IN THE STATE COURT OF DEKALB COUNTY STATE OF GEORGIA IN THE STATE COURT OF DEKALB COUNTY STATE OF GEORGIA PATRICK C. DESMOND AND MARY C. DESMOND, INDIVIDUALLY, AND MARY C. DESMOND, AS ) Civil Action No. 10A28641-2 ADMINISTRATRIX OF THE ESTATE OF PATRICK

More information

Case 3:16-cv CRS-CHL Document 36 Filed 06/29/17 Page 1 of 5 PageID #: 423

Case 3:16-cv CRS-CHL Document 36 Filed 06/29/17 Page 1 of 5 PageID #: 423 Case 3:16-cv-00625-CRS-CHL Document 36 Filed 06/29/17 Page 1 of 5 PageID #: 423 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF KENTUCKY AT LOUISVILLE INSIGHT KENTUCKY PARTNERS II, L.P. vs. LOUISVILLE/JEFFERSON

More information

) ) ) ) ) ) ) ) ) ) )

) ) ) ) ) ) ) ) ) ) ) Case :-cv-00-spl Document Filed 0// Page of 0 0 Planned Parenthood Arizona, Inc., et al., vs. Mark Brnovich, et al., IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA Arizona Senate Bill

More information

UNIFORM ORDER SETTING CASE FOR JURY TRIAL AND PRE-TRIAL CONFERENCE AND REQUIRING PRE-TRIAL MATTERS TO BE COMPLETED

UNIFORM ORDER SETTING CASE FOR JURY TRIAL AND PRE-TRIAL CONFERENCE AND REQUIRING PRE-TRIAL MATTERS TO BE COMPLETED IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR OSCEOLA COUNTY, FLORIDA., CASE NO. -CA- CIVIL DIVISION 20 Plaintiff, vs., Defendant. / UNIFORM ORDER SETTING CASE FOR JURY TRIAL AND PRE-TRIAL

More information

FILED: QUEENS COUNTY CLERK 03/15/ :37 AM INDEX NO /2016 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 03/15/2017

FILED: QUEENS COUNTY CLERK 03/15/ :37 AM INDEX NO /2016 NYSCEF DOC. NO. 13 RECEIVED NYSCEF: 03/15/2017 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF QUEENS VERTULIE O. PIERRE-LOUIS, Plaintiff, Index No.: 710940/2016E -against- FLAMBOUYANT TRANSPORTATION INC., EUGENE C. HAMILTON, and ALYSSA LOUISE DEVOE,

More information

FILED: KINGS COUNTY CLERK 10/13/ :29 AM INDEX NO /2016 NYSCEF DOC. NO. 10 RECEIVED NYSCEF: 10/13/2016

FILED: KINGS COUNTY CLERK 10/13/ :29 AM INDEX NO /2016 NYSCEF DOC. NO. 10 RECEIVED NYSCEF: 10/13/2016 FILED: KINGS COUNTY CLERK 10/13/2016 10:29 AM INDEX NO. 513727/2016 NYSCEF DOC. NO. 10 RECEIVED NYSCEF: 10/13/2016 SUPREME COURT OF THE STATE OF NEW YORK JUDY E. HINDS, as Executor of the Estate of EARL

More information

IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT HILLSBOROUGH COUNTY, FLORIDA GENERAL CIVIL DIVISION

IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT HILLSBOROUGH COUNTY, FLORIDA GENERAL CIVIL DIVISION IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT HILLSBOROUGH COUNTY, FLORIDA GENERAL CIVIL DIVISION Plaintiff(s), CASE NO.: v. DIVISION:. Defendant(s). / UNIFORM ORDER SETTING CAUSE FOR TRIAL AND

More information

v. GUADALUPE COUNTY, TEXAS

v. GUADALUPE COUNTY, TEXAS CAUSE NO. 15-2442-CV RONALD F. A VERY, IN THE DISTRICT COURT OF Plaintiff, v. GUADALUPE COUNTY, TEXAS GUADALUPE COUNTY APPRAISAL DISTRICT, Defendant. 25 JUDICIAL DISTRICT DEFENDANT'S RESPONSES TO PLAINTIFF'S

More information

Case 2:05-cv TJW Document 211 Filed 12/21/2005 Page 1 of 11

Case 2:05-cv TJW Document 211 Filed 12/21/2005 Page 1 of 11 Case 2:05-cv-00195-TJW Document 211 Filed 12/21/2005 Page 1 of 11 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION DIGITAL CHOICE OF TEXAS, LLC V. CIVIL NO. 2:05-CV-195(TJW)

More information

CASE NUMBER: UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE AND REQUIRING PRETRIAL MATTERS TO BE COMPLETED

CASE NUMBER: UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE AND REQUIRING PRETRIAL MATTERS TO BE COMPLETED IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR ORANGE COUNTY, FLORIDA CASE NUMBER: UNIFORM ORDER SETTING CASE FOR JURY TRIAL; PRE-TRIAL CONFERENCE AND REQUIRING PRETRIAL MATTERS TO BE COMPLETED

More information

TEXAS DISCOVERY. Brock C. Akers CHAPTER 1 LAW REVISIONS TO TEXAS RULES OF CIVIL PROCEDURE GOVERNING DISCOVERY

TEXAS DISCOVERY. Brock C. Akers CHAPTER 1 LAW REVISIONS TO TEXAS RULES OF CIVIL PROCEDURE GOVERNING DISCOVERY TEXAS DISCOVERY Brock C. Akers CHAPTER 1 LAW 2. 1999 REVISIONS TO TEXAS RULES OF CIVIL PROCEDURE GOVERNING DISCOVERY 3. DISCOVERY CONTROL PLANS 4. FORMS OF DISCOVERY A. Discovery Provided for by the Texas

More information

PLAINTIFF S MOTIONS IN LIMINE

PLAINTIFF S MOTIONS IN LIMINE MCDONALD V. STERN 15CVP-0021 PLAINTIFF S MOTIONS IN LIMINE NO. DESCRIPTION RULING 1 FOR AN ORDER EXCLUDING EVIDENCE THAT CONTRADICTS DEFENDANTS' ADMISSIONS MADE IN RESPONSES TO PLAINTIFF'S REQUESTS FOR

More information

FILED: NEW YORK COUNTY CLERK 08/15/ :18 PM INDEX NO /2017 NYSCEF DOC. NO. 43 RECEIVED NYSCEF: 08/15/2017

FILED: NEW YORK COUNTY CLERK 08/15/ :18 PM INDEX NO /2017 NYSCEF DOC. NO. 43 RECEIVED NYSCEF: 08/15/2017 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ----------------------------------------------------------------------X Index No.: 152438/2017 JANE DOE #3, JANE DOE #4, JANE DOE #5, and JANE

More information

IN THE COURT OF COMMON PLEAS OF LUZERNE COUNTY

IN THE COURT OF COMMON PLEAS OF LUZERNE COUNTY IN THE COURT OF COMMON PLEAS OF LUZERNE COUNTY Plaintiff CIVIL ACTION LAW vs. NO. of Defendant * EACH CASE WILL HAVE ITS OWN UNIQUE TRIAL MANAGEMENT ORDER. SUCH ORDERS WILL TYPICALLY BE IN THIS FORM. TRIAL

More information

STATE OF OHIO ) IN THE COURT OF APPEALS NINTH JUDICIAL DISTRICT COUNTY OF SUMMIT ) DECISION AND JOURNAL ENTRY

STATE OF OHIO ) IN THE COURT OF APPEALS NINTH JUDICIAL DISTRICT COUNTY OF SUMMIT ) DECISION AND JOURNAL ENTRY [Cite as Abels v. Ruf, 2009-Ohio-3003.] STATE OF OHIO ) IN THE COURT OF APPEALS )ss: NINTH JUDICIAL DISTRICT COUNTY OF SUMMIT ) CHERYL ABELS, et al. C.A. No. 24359 Appellants v. WALTER RUF, M.D., et al.

More information

FILED: KINGS COUNTY CLERK 06/08/ :39 PM INDEX NO /2017 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 06/08/2017

FILED: KINGS COUNTY CLERK 06/08/ :39 PM INDEX NO /2017 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 06/08/2017 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS ELIMIR PILAZA, Plaintiff, Index No. 506405/2017 -against- FRESENIUS MEDICAL CARE HOLDINGS, INC., FRESENIUS NATIONAL MEDICAL CARE HOLDINGS, INC., SHIEL

More information

Washington Association of Sheriffs and Police Chiefs MODEL POLICY OFFICER-INVOLVED DOMESTIC VIOLENCE

Washington Association of Sheriffs and Police Chiefs MODEL POLICY OFFICER-INVOLVED DOMESTIC VIOLENCE Washington Association of Sheriffs and Police Chiefs PURPOSE The purpose of this policy is to establish clear procedures, protocols and actions for investigating, reporting and responding to domestic violence

More information

BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION SIXTH AMENDED WITNESS AND EXHIBIT LIST WITNESS LIST. 1. Honorable Charles W.

BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION SIXTH AMENDED WITNESS AND EXHIBIT LIST WITNESS LIST. 1. Honorable Charles W. BEFORE THE FLORIDA JUDICIAL QUALIFICATIONS COMMISSION INQUIRY CONCERNING A JUDGE, NO. 01-244 / CASE NO.: SC01-2670 SIXTH AMENDED WITNESS AND EXHIBIT LIST COMES NOW, the Respondent, the Honorable Charles

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA IN RE: KATRINA CANAL BREACHES CONSOLIDATED LITIGATION NO.

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA IN RE: KATRINA CANAL BREACHES CONSOLIDATED LITIGATION NO. UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA IN RE: KATRINA CANAL BREACHES CONSOLIDATED LITIGATION CIVIL ACTION NO. 05-4182 "K" (2) PERTAINS TO: BARGE Mumford v. Ingram C.A. No. 05-5724 Boutte

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA ) ) ) ) ) ) ) ) ) )

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA ) ) ) ) ) ) ) ) ) ) UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 0 JESSE WASHINGTON, Plaintiff, v. R. SAMUELS, Defendant. Case No.: :-cv-00-sab (PC ORDER REGARDING PARTIES MOTIONS IN LIMINE [ECF Nos. 0 & 0]

More information

FILED: NEW YORK COUNTY CLERK 05/20/ :40 AM INDEX NO /2016 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 05/20/2016

FILED: NEW YORK COUNTY CLERK 05/20/ :40 AM INDEX NO /2016 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 05/20/2016 FILED NEW YORK COUNTY CLERK 05/20/2016 1040 AM INDEX NO. 152848/2016 NYSCEF DOC. NO. 6 RECEIVED NYSCEF 05/20/2016 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ZOE DENISON, Plaintiff, INDEX

More information

IN THE CIRCUIT COURT OF COUNTY, ARKANSAS DIVISION PLAINTIFF DEFENDANT S FIRST INTERROGATORIES TO PLAINTIFF

IN THE CIRCUIT COURT OF COUNTY, ARKANSAS DIVISION PLAINTIFF DEFENDANT S FIRST INTERROGATORIES TO PLAINTIFF IN THE CIRCUIT COURT OF COUNTY, ARKANSAS DIVISION PLAINTIFF vs. CASE NO. CV DEFENDANT DEFENDANT S FIRST INTERROGATORIES TO PLAINTIFF Pursuant to Arkansas Rules of Civil Procedure, you are hereby served

More information

15 16 Plaintiff Terrence Bressi ("Bressi"), by and through his attorney, submits Plaintiff's

15 16 Plaintiff Terrence Bressi (Bressi), by and through his attorney, submits Plaintiff's 1 David J. Euchner 7465 East Broadway, Suite 201 2 Tucson, AZ 85710 3 TEL FAX (520) {520) 326-3550 326-0419.::., David J. Euchner, SBN #021768 4 Attorney for Plaintiff 5 6 IN THE UNITED STATES DISTRICT

More information

IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT OF THE STATE OF FLORIDA IN AND FOR PASCO COUNTY CIVIL DIVISION. Case No. 51-

IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT OF THE STATE OF FLORIDA IN AND FOR PASCO COUNTY CIVIL DIVISION. Case No. 51- IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT OF THE STATE OF FLORIDA IN AND FOR PASCO COUNTY CIVIL DIVISION Case No. 51-, vs. Plaintiff, Defendants. ORDER SETTING JURY TRIAL AND PRE-TRIAL CONFERENCE

More information

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN. Plaintiffs, v. Case No. 11-CV-236

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN. Plaintiffs, v. Case No. 11-CV-236 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WISCONSIN UNITED STATES OF AMERICA, and THE STATE OF WISCONSIN, ex rel. DR. TOBY TYLER WATSON, Plaintiffs, v. Case No. 11-CV-236 JENNIFER KING VASSEL, Defendant.

More information

FILED: NEW YORK COUNTY CLERK 04/20/ :18 PM INDEX NO /2015 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 04/20/2016

FILED: NEW YORK COUNTY CLERK 04/20/ :18 PM INDEX NO /2015 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 04/20/2016 FILED: NEW YORK COUNTY CLERK 04/20/2016 08:18 PM INDEX NO. 151068/2015 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 04/20/2016 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK --------------------------------------------------------------------X,

More information

PLAINTIFF RESPONSE TO DEFENDANT LINDA LAJOIE FIRST REQUEST FOR PRODUCTION

PLAINTIFF RESPONSE TO DEFENDANT LINDA LAJOIE FIRST REQUEST FOR PRODUCTION IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR OSCEOLA COUNTY, FLORIDA CASE NUMBER: 2014 CA 2505 ON JOSE GILBERTO SERRANO, Plaintiff, vs. PUNITIVE DAMAGES PERSONAL INJURY HERITAGE PARTNERS

More information

You've Been Subpoenaed: What to Expect

You've Been Subpoenaed: What to Expect Session Code: TU09 Date: Tuesday, October 24 Time: 11:30 a.m. - 1:00 p.m. Total CE Credits: 1.5 Presenter(s): Kathleen Matzka, CPMSM, CPCS You ve Been Subpoenaed: What to Expect Kathy Matzka, CPMSM, CPCS,

More information

BEFORE THE ARKANSAS WORKERS' COMPENSATION COMMISSION WCC NO. F CHARLES CLARK, Employee. SPRINGDALE POLICE DEPARTMENT, Employer

BEFORE THE ARKANSAS WORKERS' COMPENSATION COMMISSION WCC NO. F CHARLES CLARK, Employee. SPRINGDALE POLICE DEPARTMENT, Employer BEFORE THE ARKANSAS WORKERS' COMPENSATION COMMISSION WCC NO. F400676 CHARLES CLARK, Employee SPRINGDALE POLICE DEPARTMENT, Employer MUNICIPAL LEAGUE WCT, Carrier CLAIMANT RESPONDENT RESPONDENT OPINION

More information

SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF ORANGE HARBOR JUSTICE CENTER ) ) ) ) ) ) ) ) ) ) )

SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF ORANGE HARBOR JUSTICE CENTER ) ) ) ) ) ) ) ) ) ) ) ATTORNEY(Bar No. 102135 LAW OFFICES OF ATTORNEY 123 Main St City, California 12345 Telephone: Facsimile: Attorney for Defendant DDD, SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE COUNTY OF ORANGE

More information

Page 1. TSG Reporting - Worldwide (877)

Page 1. TSG Reporting - Worldwide (877) Page 1 1 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK 3 FIVE BOROUGH BICYCLE CLUB, ) 4 SHARON BLYTHE, JOSH GOSCIAK, ) KENNETH T. JACKSON, MADELINE ) 5 NELSON, ELIZABETH SHURA and ) LUKE

More information

GENERAL ORDER FOR LUCAS COUNTY ASBESTOS LITIGATION. damages for alleged exposure to asbestos or asbestos-containing products; that many of the

GENERAL ORDER FOR LUCAS COUNTY ASBESTOS LITIGATION. damages for alleged exposure to asbestos or asbestos-containing products; that many of the GENERAL ORDER FOR LUCAS COUNTY ASBESTOS LITIGATION It appearing that there are certain actions pending in this Court in which plaintiffs claim damages for alleged exposure to asbestos or asbestos-containing

More information

FILED: NEW YORK COUNTY CLERK 02/09/ :18 PM INDEX NO /2014 NYSCEF DOC. NO. 25 RECEIVED NYSCEF: 02/09/2015

FILED: NEW YORK COUNTY CLERK 02/09/ :18 PM INDEX NO /2014 NYSCEF DOC. NO. 25 RECEIVED NYSCEF: 02/09/2015 FILED: NEW YORK COUNTY CLERK 02/09/2015 04:18 PM INDEX NO. 154070/2014 NYSCEF DOC. NO. 25 RECEIVED NYSCEF: 02/09/2015 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK -------------------------------------x

More information

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) )

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA ) ) ) ) ) ) ) ) ) ) ) PO Box 0 Phoenix, AZ 0 0--0 brianw@operation-nation.com In Propria Persona Plaintiff IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA 1 1 1, Plaintiff, vs. Maricopa County; Joseph M. Arpaio,

More information

Supreme Court of the State of New York County of Nassau IAS Trial Part 22 Part Rules Updated: January 25, 2018

Supreme Court of the State of New York County of Nassau IAS Trial Part 22 Part Rules Updated: January 25, 2018 Supreme Court of the State of New York County of Nassau IAS Trial Part 22 Part Rules Updated: January 25, 2018 Justice: Law Secretary: Secretary: Part Clerk: Hon. Sharon M.J. Gianelli, J.S.C. Karen L.

More information

FILED: NEW YORK COUNTY CLERK 11/13/ :32 PM INDEX NO /2017 NYSCEF DOC. NO. 52 RECEIVED NYSCEF: 11/13/2017

FILED: NEW YORK COUNTY CLERK 11/13/ :32 PM INDEX NO /2017 NYSCEF DOC. NO. 52 RECEIVED NYSCEF: 11/13/2017 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ELBA ALICIA MONTERO, -against- Plaintiff, HOLLAND HOTEL HOUSING DEVELOPMENT FUND CORPORATION. MRG PARTNERS, L.P., PROJECT RENEWAL, INC., PROJECT

More information

FILED: NEW YORK COUNTY CLERK 08/31/ :51 PM INDEX NO /2015 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 08/31/2016 EXHIBIT I

FILED: NEW YORK COUNTY CLERK 08/31/ :51 PM INDEX NO /2015 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 08/31/2016 EXHIBIT I FILED: NEW YORK COUNTY CLERK 08/31/2016 08:51 PM INDEX NO. 156005/2015 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 08/31/2016 EXHIBIT I By E-Mail and First Class Mail Jackson Lewis P.C. 58 South Service Road,

More information

Sri McCam ri Q. August 16, 2017 VIA ELECTRONIC FILING AND OVERNIGHT DELIVERY

Sri McCam ri Q. August 16, 2017 VIA ELECTRONIC FILING AND OVERNIGHT DELIVERY Sri McCam ri Q ae ga I Se 9 al McCambrid J e Sin g er &Mahone Y V Illinois I Michigan I Missouri I New Jersey I New York I Pennsylvania I 'Texas www.smsm.com Jennifer L. Budner Direct (212) 651.7415 jbudnernsmsm.com

More information

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF NEW YORK UNIFORM PRETRIAL SCHEDULING ORDER. Civil No. 1:13-CV-1211 vs. GLS/TWD Andrew Cuomo, et al.

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF NEW YORK UNIFORM PRETRIAL SCHEDULING ORDER. Civil No. 1:13-CV-1211 vs. GLS/TWD Andrew Cuomo, et al. UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF NEW YORK UNIFORM PRETRIAL SCHEDULING ORDER Matthew Caron, et al. Civil No. 1:13-CV-1211 vs. GLS/TWD Andrew Cuomo, et al. Counsel for all parties having

More information

RULE CHANGE 2018(06) COLORADO RULES OF CIVIL PROCEDURE

RULE CHANGE 2018(06) COLORADO RULES OF CIVIL PROCEDURE RULE CHANGE 2018(06) COLORADO RULES OF CIVIL PROCEDURE Rule 16.1. Simplified Procedure for Civil Actions (a) Purpose and Summary of Simplified Procedure. (1) Purpose of Simplified Procedure. The purpose

More information

Investigations and Enforcement

Investigations and Enforcement Investigations and Enforcement Los Angeles Administrative Code Section 24.1.2 Last Revised January 26, 2007 Prepared by City Ethics Commission CEC Los Angeles 200 North Spring Street, 24 th Floor Los Angeles,

More information

Keith Berkshire Berkshire Law Office, PLLC

Keith Berkshire Berkshire Law Office, PLLC Keith Berkshire Berkshire Law Office, PLLC (a) Preserving a Claim of Error. A party may claim error in a ruling to admit or exclude evidence only if the error affects a substantial right of the party and:

More information

STATE OF ARIZONA MARICOPA COUNTY SUPERIOR COURT. Plaintiff, Defendants.

STATE OF ARIZONA MARICOPA COUNTY SUPERIOR COURT. Plaintiff, Defendants. [YOUR NAME] [YOUR ADDRESS] Telephone: [YOUR PHONE NUMBER] [YOUR E-MAIL ADDRESS] Fax: [YOUR FAX NUMBER] STATE OF ARIZONA MARICOPA COUNTY SUPERIOR COURT 1 1 1 1 1, a [single/married man/woman], v. Plaintiff,

More information

Plaintiff, v. No. D-202-CV FINDINGS OF FACT AND CONCLUSIONS OF LAW

Plaintiff, v. No. D-202-CV FINDINGS OF FACT AND CONCLUSIONS OF LAW STATE OF NEW MEXICO COUNTY OF BERNALILLO SECOND JUDICIAL DISTRICT FILED IN MY OFFICE DISTRICT COURT CLERK 12/10/2015 4:31:25 PM James A. Noel Janet Ashley MUNAH GREEN Plaintiff, v. No. D-202-CV-2015-05680

More information

PART III Discovery CHAPTER 8. Overview of the Discovery Process KEY POINTS THE NATURE OF DISCOVERY THE EXTENT OF ALLOWABLE DISCOVERY

PART III Discovery CHAPTER 8. Overview of the Discovery Process KEY POINTS THE NATURE OF DISCOVERY THE EXTENT OF ALLOWABLE DISCOVERY PART III Discovery CHAPTER 8 Overview of the Discovery Process The Florida Rules of Civil Procedure regulate civil discovery procedures in the state. Florida does not require supplementary responses to

More information

FILED: NEW YORK COUNTY CLERK 05/10/2014 INDEX NO /2013 NYSCEF DOC. NO. 16 RECEIVED NYSCEF: 05/10/2014

FILED: NEW YORK COUNTY CLERK 05/10/2014 INDEX NO /2013 NYSCEF DOC. NO. 16 RECEIVED NYSCEF: 05/10/2014 FILED: NEW YORK COUNTY CLERK 05/10/2014 INDEX NO. 160641/2013 NYSCEF DOC. NO. 16 RECEIVED NYSCEF: 05/10/2014 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK --------------------------------------------------------------------------X

More information

F 3.201(2)(A) IN THE DISTRICT COURT OF SHAWNEE COUNTY, KANSAS ) JOHN D. DOE, ) ) Case No. Plaintiff, ) ) vs. ) ) THOMAS M. SMITH, ) ) Defendant.

F 3.201(2)(A) IN THE DISTRICT COURT OF SHAWNEE COUNTY, KANSAS ) JOHN D. DOE, ) ) Case No. Plaintiff, ) ) vs. ) ) THOMAS M. SMITH, ) ) Defendant. F 3.201(2)(A) IN THE DISTRICT COURT OF SHAWNEE COUNTY, KANSAS ) JOHN D. DOE, ) ) Case No. Plaintiff, ) ) vs. ) ) THOMAS M. SMITH, ) ) Defendant. ) ) Interrogatories from Plaintiff to Defendant 1. Please

More information

Meredith, Graeff, Arthur,

Meredith, Graeff, Arthur, Circuit Court for Montgomery County Civil No.: 413502 UNREPORTED IN THE COURT OF SPECIAL APPEALS OF MARYLAND No. 1818 September Term, 2016 TRACY BROWN-RUBY v. MONTGOMERY COUNTY, MARYLAND Meredith, Graeff,

More information

1. Intent. 2. Definitions. OCERS Board Policy Administrative Hearing Procedures

1. Intent. 2. Definitions. OCERS Board Policy Administrative Hearing Procedures 1. Intent OCERS Board Policy The Board of Retirement of the Orange County Employees Retirement System ( OCERS ) specifically intends that this policy shall apply to and shall govern in each administrative

More information

Matthew J. Focht, Senior Counsel, Joseph Greenwald & Laake, Greenbelt, Md.

Matthew J. Focht, Senior Counsel, Joseph Greenwald & Laake, Greenbelt, Md. Presenting a live 90-minute webinar with interactive Q&A Expert Witness Discovery in Personal Injury Litigation: Establishing or Challenging Admissibility of Expert Evidence Tactics for Expert Designation,

More information

R in a Nutshell by Mark Meltzer and John W. Rogers

R in a Nutshell by Mark Meltzer and John W. Rogers R-17-0010 in a Nutshell by Mark Meltzer and John W. Rogers R-17-0010 was a rule petition filed by the Supreme Court s Committee on Civil Justice Reform in January 2017. The Supreme Court s Order in R-17-0010,

More information

IN THE SUPERIOR COURT OF THE STATE OF DELAWARE IN AND FOR NEW CASTLE COUNTY

IN THE SUPERIOR COURT OF THE STATE OF DELAWARE IN AND FOR NEW CASTLE COUNTY IN THE SUPERIOR COURT OF THE STATE OF DELAWARE IN AND FOR NEW CASTLE COUNTY MARIA RIZZI, ) ) Plaintiff, ) ) v. ) ) JUDITH MASON, ) ) Defendant. ) Date Submitted: April 2, 2002 Date Decided: May 22, 2002

More information

Standard Interrogatories. Under Supreme Court Rule 213(j)

Standard Interrogatories. Under Supreme Court Rule 213(j) Standard Interrogatories Under Supreme Court Rule 213(j) Under Supreme Court Rule 213(j), "[t]he Supreme Court, by administrative order, may approve standard forms of interrogatories for different classes

More information

Miller, Christopher v. TRW Automotive U.S., LLC

Miller, Christopher v. TRW Automotive U.S., LLC University of Tennessee, Knoxville Trace: Tennessee Research and Creative Exchange Tennessee Court of Workers' Compensation Claims and Workers' Compensation Appeals Board Law 10-25-2016 Miller, Christopher

More information

Case 3:02-cv AWT Document 39 Filed 01/08/2007 Page 1 of 9 UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT

Case 3:02-cv AWT Document 39 Filed 01/08/2007 Page 1 of 9 UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT Case 3:02-cv-01619-AWT Document 39 Filed 01/08/2007 Page 1 of 9 UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT PHILIP ZOPPI, : NO. 3:02CV-1619 (AWT) Plaintiff, : V. : CONNECTICUT STATE POLICE : TROOPER

More information

CAUSE NO. THE STATE OF TEXAS IN THE DISTRICT COURT OF [INSERT PROPERTY] JUDICIAL DISTRICT

CAUSE NO. THE STATE OF TEXAS IN THE DISTRICT COURT OF [INSERT PROPERTY] JUDICIAL DISTRICT CAUSE NO. THE STATE OF TEXAS IN THE DISTRICT COURT OF V. COUNTY, TEXAS [INSERT PROPERTY] JUDICIAL DISTRICT DEFENDANT S REQUESTS FOR ADMISSIONS, INTERROGATORIES, AND PRODUCTION OF DOCUMENTS Pursuant to

More information

) Cause No. 1:14-cv-937-WTL-DML. motions are fully briefed and the Court, being duly advised, resolves them as set forth below.

) Cause No. 1:14-cv-937-WTL-DML. motions are fully briefed and the Court, being duly advised, resolves them as set forth below. SCHEIDLER v. STATE OF INDIANA Doc. 88 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION BRENDA LEAR SCHEIDLER, Plaintiff, vs. STATE OF INDIANA, Defendant. Cause No. 1:14-cv-937-WTL-DML

More information

ADVANCED DISCOVERY TECHNIQUES

ADVANCED DISCOVERY TECHNIQUES III. ADVANCED DISCOVERY TECHNIQUES DEPOSITION STRATEGIES A. START EARLY The most important aspect of a successful trial lawyer s practice is thorough preparation. Even the most eloquent and ingenious lawyers

More information

ONONDAGA COUNTY JUSTICES AND LOCAL RULES

ONONDAGA COUNTY JUSTICES AND LOCAL RULES ONONDAGA COUNTY JUSTICES AND LOCAL RULES 473 474 Commercial Division NY Supreme Court Onondaga County Chambers and Part Information Justice Karalunas Court Part Supreme Court of the State of New York Onondaga

More information

STATE OF MICHIGAN COURT OF APPEALS

STATE OF MICHIGAN COURT OF APPEALS STATE OF MICHIGAN COURT OF APPEALS DEBRA PERRY, as Next Friend of POURCHIA STALLWORTH, UNPUBLISHED December 22, 2009 Plaintiff-Appellee, v No. 287813 Wayne Circuit Court BON SECOURS COTTAGE HEALTH LC No.

More information

Amy Lynn Pludwin, an attorney duly admitted to practice law. before the Courts of New York State, hereby affirms under the

Amy Lynn Pludwin, an attorney duly admitted to practice law. before the Courts of New York State, hereby affirms under the FILED: NEW YORK COUNTY CLERK 02/03/2016 02:06 PM INDEX NO. 152201/2014 NYSCEF DOC. NO. 49 RECEIVED NYSCEF: 02/03/2016 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK -------------------------------------x

More information

Federal Rules of Civil Procedure

Federal Rules of Civil Procedure 1 of 7 10/10/2005 11:14 AM Federal Rules of Civil Procedure collection home tell me more donate search V. DEPOSITIONS AND DISCOVERY > Rule 26. Prev Next Notes Rule 26. General Provisions Governing Discovery;

More information

IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session

IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session TISH WALKER, INDIVIDUALLY AND AS ADMINISTRATOR OF THE ESTATE OF LISA JO ABBOTT v. DR. SHANT GARABEDIAN Appeal from the Circuit Court

More information

CHANDLER POLICE DEPARTMENT GENERAL ORDERS Serving with Courage, Pride, and Dedication

CHANDLER POLICE DEPARTMENT GENERAL ORDERS Serving with Courage, Pride, and Dedication CHANDLER POLICE DEPARTMENT GENERAL ORDERS Serving with Courage, Pride, and Dedication Order Subject D-41 ASSET FORFEITURE 200 Procedures Effective 01/08/10 A. SEIZURE OF VEHICLES 1. VEHICLES WHICH HAVE

More information

Snell & Wilmer. John S. Delikanakis, Esq. Nevada Bar No Attorneys for Defendants, Donald Roger Glenn and Edwards Angell Palmer and Dodge LLP

Snell & Wilmer. John S. Delikanakis, Esq. Nevada Bar No Attorneys for Defendants, Donald Roger Glenn and Edwards Angell Palmer and Dodge LLP Phoenix, Arizona 00- (0) -000 1 James R. Condo, Arizona Bar 00 (Pro Hac Vice) Patricia Lee Refo, Arizona Bar 00 (Pro Hac Vice) SNELL & WILMER 00 E. Van Buren Phoenix, AZ 00- Telephone (0) -000 Facsimile:

More information

UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION. versus Civil Action 4:17 cv 02946

UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION. versus Civil Action 4:17 cv 02946 Case 4:17-cv-02946 Document 3 Filed in TXSD on 10/03/17 Page 1 of 10 UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION United States District Court Southern District of Texas

More information

UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA PATENT CASE SCHEDULE. Answer or Other Response to Complaint 5 weeks

UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA PATENT CASE SCHEDULE. Answer or Other Response to Complaint 5 weeks UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA PATENT CASE SCHEDULE Event Service of Complaint Scheduled Time Total Time After Complaint Answer or Other Response to Complaint 5 weeks Initial

More information

Utah Court Rules on Exhibits Francis J. Carney

Utah Court Rules on Exhibits Francis J. Carney Utah Court Rules on Exhibits Francis J. Carney 1. Foundations Utah Evidence Rule 104(a) makes clear that foundational matters are not subject to the rules of evidence, such as hearsay, leading, etc. Rule

More information

Case 1:07-cv WDM-MJW Document 237 Filed 02/26/2010 USDC Colorado Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

Case 1:07-cv WDM-MJW Document 237 Filed 02/26/2010 USDC Colorado Page 1 of 14 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Case 1:07-cv-01814-WDM-MJW Document 237 Filed 02/26/2010 USDC Colorado Page 1 of 14 Civil Action No. 07-cv-01814-WDM-MJW DEBBIE ULIBARRI, et al., v. Plaintiffs, CITY & COUNTY OF DENVER, et al., Defendants.

More information

Case: 2:15-cv MHW-NMK Doc #: 20 Filed: 07/01/15 Page: 1 of 10 PAGEID #: 143

Case: 2:15-cv MHW-NMK Doc #: 20 Filed: 07/01/15 Page: 1 of 10 PAGEID #: 143 Case: 2:15-cv-01802-MHW-NMK Doc #: 20 Filed: 07/01/15 Page: 1 of 10 PAGEID #: 143 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF OHIO EASTERN DIVISION THE OHIO ORGANIZING : COLLABORATIVE,

More information

Book containing this chapter and any forms referenced herein is available for purchase at or by calling

Book containing this chapter and any forms referenced herein is available for purchase at   or by calling The chapter from which this excerpt was taken was first published by IICLE in the 2018 edition of Medical Malpractice and is posted or reprinted with permission. Book containing this chapter and any forms

More information

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA CASE 0:09-cv-01116-DWF-LIB Document 244 Filed 01/20/12 Page 1 of 5 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA Owner-Operator Independent Drivers Association, Inc., a Missouri non-profit entity,

More information

Streamlined Arbitration Rules and Procedures

Streamlined Arbitration Rules and Procedures RESOLUTIONS, LLC s GUIDE TO DISPUTE RESOLUTION Streamlined Arbitration Rules and Procedures 1. Scope of Rules The RESOLUTIONS, LLC Streamlined Arbitration Rules and Procedures ("Rules") govern binding

More information

Rodgers, Katherine v. NHC Healthcare

Rodgers, Katherine v. NHC Healthcare University of Tennessee, Knoxville Trace: Tennessee Research and Creative Exchange Tennessee Court of Workers' Compensation Claims and Workers' Compensation Appeals Board Law 10-3-2016 Rodgers, Katherine

More information

FREEDOM OF INFORMATION ACT

FREEDOM OF INFORMATION ACT FREEDOM OF INFORMATION ACT Written Directive 6.3.1 FOIA KALAMAZOO COUNTY SHERIFF S OFFICE 1500 LAMONT KALAMAZOO, MICHIGAN 49048 I. PURPOSE To establish consistent and uniform procedures for disseminating

More information

PEACE OFFICER PRIVILEGES IN CIVIL LITIGATION: An Introduction to the Pitchess Procedure

PEACE OFFICER PRIVILEGES IN CIVIL LITIGATION: An Introduction to the Pitchess Procedure PEACE OFFICER PRIVILEGES IN CIVIL LITIGATION: An Introduction to the Pitchess Procedure Presented by Tony M. Sain, Esq. tms@manningllp.com MANNING & KASS, ELLROD, RAMIREZ, TRESTER LLP Five Questions Five

More information

COMMERCIAL DIVISION PRELIMINARY CONFERENCE ORDER PURSUANT TO PART 202 OF THE UNIFORM CIVIL RULES FOR THE SUPREME COURT KINGS COUNTY

COMMERCIAL DIVISION PRELIMINARY CONFERENCE ORDER PURSUANT TO PART 202 OF THE UNIFORM CIVIL RULES FOR THE SUPREME COURT KINGS COUNTY COMMERCIAL DIVISION PRELIMINARY CONFERENCE ORDER PURSUANT TO PART 202 OF THE UNIFORM CIVIL RULES FOR THE SUPREME COURT KINGS COUNTY DATE 200 Plaintiff(s) -against- Index # Defendant(s) Plaintiff is represented

More information

FILED: BRONX COUNTY CLERK 08/23/ :54 PM

FILED: BRONX COUNTY CLERK 08/23/ :54 PM EXHIBIT ''C'' SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX ------c----c--------------x Z.G., an infant, by his Mother and Natural Guardian, SHARMANE HAIRSTON, - against - Plaintiff] s ), THE

More information

FILED: NEW YORK COUNTY CLERK 03/29/ :53 AM INDEX NO /2017

FILED: NEW YORK COUNTY CLERK 03/29/ :53 AM INDEX NO /2017 INDEX NO. 805075/2017 FILED : NEW YORK COUNTY CLERK 02:38 PM SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ----------------------------------------------------------------------------X X MARIA

More information

Medical Record Discovery Issues in the Motor Vehicle Case

Medical Record Discovery Issues in the Motor Vehicle Case Medical Record Discovery Issues in the Motor Vehicle Case Angela Lucero Kranovich & Lucero Jason Posner Posner Law Firm Judge Youlee Yim You Multnomah County Circuit Court Multnomah Bar Association Continuing

More information

Knowledge Objectives (2 of 2) Skills Objectives. Introduction. Legal Considerations During Investigation 12/20/2013. Legal Considerations

Knowledge Objectives (2 of 2) Skills Objectives. Introduction. Legal Considerations During Investigation 12/20/2013. Legal Considerations Legal Considerations Knowledge Objectives (1 of 2) Recognize and list the major legal issues and considerations that may arise in a fire or explosion investigation. Describe the legal authority for both

More information

SUPERIOR COURT OF WASHINGTON FOR KING COUNTY., Counsel of Record. The following interrogatories are pattern interrogatories, which the undersigned

SUPERIOR COURT OF WASHINGTON FOR KING COUNTY., Counsel of Record. The following interrogatories are pattern interrogatories, which the undersigned , SUPERIOR COURT OF WASHINGTON FOR KING COUNTY Plaintiff, Case No. 1 v., Defendant. DEFENDANT TO PLAINTIFF TO: AND TO:, Plaintiff;, Counsel of Record. The following interrogatories are pattern interrogatories,

More information

IN THE COURT OF COMMON PLEAS OF LYCOMING COUNTY, PA

IN THE COURT OF COMMON PLEAS OF LYCOMING COUNTY, PA IN THE COURT OF COMMON PLEAS OF LYCOMING COUNTY, PA MEGGAN SKRUTSKY, Plaintiff NO 08-02599 vs. CHARLES F. ULMER, JR., CIVIL ACTION Defendant vs. MATTHEW D. AIKEY, Additional Defendant MATTHEW D. AIKEY,

More information

In The Court of Appeals Seventh District of Texas at Amarillo

In The Court of Appeals Seventh District of Texas at Amarillo In The Court of Appeals Seventh District of Texas at Amarillo No. 07-13-00364-CV DAVIE C. WESTMORELAND D/B/A ALLEGHENY CASUALTY CO. BAIL BONDS, APPELLANT V. RICK STARNES D/B/A STARNES & ASSOCIATES AND

More information

IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session

IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session IN THE COURT OF APPEALS OF TENNESSEE AT JACKSON August 24, 2011 Session TISH WALKER, INDIVIDUALLY AND AS ADMINISTRATOR OF THE ESTATE OF LISA JO ABBOTT v. DR. SHANT GARABEDIAN Appeal from the Circuit Court

More information

Amended Order of Dismissal for Continued Violation of Discovery Obligations

Amended Order of Dismissal for Continued Violation of Discovery Obligations District Court, Adams County, State of Colorado 1100 Judicial Center Drive, Brighton, CO 80601 303-659-1161 Plaintiff: Defendant: Robert Stephenson Lindsay Heaston DATE FILED: August 8, 2017 12:52 PM CASE

More information

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA STANDING ORDER FOR CIVIL JURY TRIALS BEFORE DISTRICT JUDGE JON S.

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA STANDING ORDER FOR CIVIL JURY TRIALS BEFORE DISTRICT JUDGE JON S. UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA STANDING ORDER FOR CIVIL JURY TRIALS BEFORE DISTRICT JUDGE JON S. TIGAR A. Meeting and Disclosure Prior to Pretrial Conference At least

More information

ARIAS U.S. RULES FOR THE RESOLUTION OF U.S. INSURANCE AND REINSURANCE DISPUTES

ARIAS U.S. RULES FOR THE RESOLUTION OF U.S. INSURANCE AND REINSURANCE DISPUTES 1. INTRODUCTION ARIAS U.S. RULES FOR THE RESOLUTION OF U.S. INSURANCE AND REINSURANCE DISPUTES 1.1 These procedures shall be known as the ARIAS U.S. Rules for the Resolution of U.S. Insurance and Reinsurance

More information