Cross-Complaint-Personal Injury, Property Damage, Wrongful Death
Cross-Complaint-Personal Injury, Property Damage, Wrongful Death
Dangerous Condition Public Property, Sample Special Ingterrogatories
Dangerous Condition Public Property, Sample Special Ingterrogatories
Declaration of Custodian of Records
For use for when authenticating business records or documents – such as local governments, vital records, medical, churches, business or organization archives etc.
Defendant Company Trial Brief Re: Negligent Entrustment Claim
DEFENDANT COMPANY TRIAL BRIEF RE: NEGLIGENT ENTRUSTMENT CLAIM in auto accident
Defendant Trial Brief Regarding Recoverable Damages
DEFENDANT TRIAL BRIEF REGARDING RECOVERABLE DAMAGES
Defendant’s Designation for Non Parties at Fault
DEFENDANT’S DESIGNATION OF NON-PARTIES AT FAULT
Defendant’s First Set of Discovery Requests – Personal Injury
DEFENDANT’S FIRST SET OF DISCOVERY REQUESTS TO PERSONAL INJURY CASE
Defendant’s Initial Rule 26 Disclosures – Personal Injury
A party must make its initial disclosures based on the information then reasonably available to it. In addition to the disclosures required by Rule 26(a)(1), a party must disclose to the other parties the identity of any witness it may use at trial to present evidence under Federal Rule of Evidence 702, 703, or 705. Appendix A to these disclosures identifies those individuals who may have discoverable information relevant to disputed facts alleged with particularity in the pleadings.
Defendant’s Motion for Summary Judgment Pursuant to C.R.C.P. Rule 56(b)
DEFENDANT’S MOTION FOR SUMMARY JUDGMENT PURSUANT TO C.R.C.P. RULE 56(b) Plaintiff has Suffered no Damages
Defendant’s Motion to Dismiss
Defendant’s motion to dismiss the Second Amended Complaint on the ground that it fails to state a claim upon which relief can be granted.Â
Defendant’s Offer of Settlement – Personal Injury
DEFENDANT’S OFFER OF SETTLEMENT PURSUANT TO §13-17-202, C.R.S.
Defendant’s Opposition to Plaintiff’s Motion in Limine Regarding Vehicle Photographs and Argument of Counsel
Defendant response in opposition of plaintiff’s motion in limine to not allow vehicle pictures.
Defendant’s Post-Trial Motion to Reduce Jury Verdict in Accordance with HCAA’S CAPS
DEFENDANT’S POST-TRIAL MOTION TO REDUCE THE JURY VERDICT IN ACCORDANCE WITH THE HCAA’S CAPS
Defendant’s Response to Plaintiff’s Motion on Admissibilty of Insurance for Purposes of Establishing Bias
DEFENDANT’S RESPONSE TO PLAINTIFF’S TRIAL BRIEF (MOTION IN LIMINE) ON ADMISSIBILITY OF INSURANCE FOR PURPOSES OF ESTABLISHING BIAS
Defendant’s Response to Plaintiff’s Motion to Exclude Standard of Care Opinions
DEFENDANT’S RESPONSE TO PLAINTIFF’S MOTION TO EXCLUDE STANDARD OF CARE OPINIONS BY —, PURSUANT TO C.R.E. 702