PLAINTIFF’S UNOPPOSED MOTION TO ALLOW CERTAIN ABSENTEE TESTIMONY
UNOPPOSED MOTION IN LIMINE TO PRECLUDE PLAINTIFFS’ TESTIMONY REGARDING INSURANCE COVERAGE
MOTION FOR DISCOVERY OF CORROBORATIVE EVIDENCE TO ACCOMPLICE TESTIMONY
MOTION TO EXCLUDE TESTIMONY OF DEFENDANT’S ALLEGED GANG AFFILIATIONS
MOTION TO REQUIRE THE STATE TO REVEAL ANY AGREEMENT ENTERED INTO BETWEEN THE STATE AND ANY PROSECUTION WITNESS THAT COULD CONCEIVABLY INFLUENCE THEIR TESTIMONY
DEFENDANT'S MOTION TO REQUIRE THE PROSECUTION TO REVEAL ANY AGREEMENT WITH A WITNESS THAT COULD INFLUENCE HIS TESTIMONY
MOTION TO PROHIBIT POLICE OFFICER OPINION TESTIMONY ON RELIABILITY, ACCURACY AND RESULTS OF STANDARDIZED FIELD SOBRIETY TESTS UNDER R. 702, TEX.R.EVID.
A Motion under CRCP 15 for a deposition of an invaluable witness to preserve testimony. As can be seen, the alibi witness was elderly and in very poor health, so we needed to preserve her testimony. Did not actually get to that point as the DA made a very favorable offer, which was accepted, after…
Motion seeking to allow testimony via telephone for out of state witnesses/litigants.
I. Plaintiffs should be precluded from eliciting opinion testimony from Defendant’s employee, NAME, CNA. II. Plaintiff should be precluded from referring to “never events.” III. Plaintiffs should be precluded from making “negligence in the air” arguments.
Form UCCJEA-7 (Electronic Testimony Application and Waiver of Physical Presence– UCCJEA
ELECTRONIC TESTIMONY APPLICATION AND WAIVER OF PERSONAL APPEARANCE