Legal Document Shop
Showing 3901–3915 of 5179 resultsSorted by popularity
Filter by: FEDERAL DISTRICT
Filter by Price
Filter by: FILE TYPE
Motion for Exoneration by Surety
MOTION FOR EXONERATION
COME NOW the Sureties, by and through their attorney, hereby
Move this honorable court to enter an order of exoneration herein, as grounds therefore, state as follows:
1. That the Defendant herein failed to appear on or about Marc _, 2016 on the bond Posted Feburary _, 2016 in the amount of $3,000.00; the statutory stay of execution expires July _ 2016.
2. That the Defendant is currently in custody in the Pueblo County Jail with various other warrant and bonds (attached as Exhibit A
3. That pursuant to C.R.C 16-4-114(5)(b)(V)(B) and (C) the Sureties are entitled to exoneration as they have shown that the Defendant is in custody in another jurisdiction within the state within 91 days after entry of judgment. WHEREFORE, the Sureties prays this Honorable court grant their Motion for Exoneration.
Motion in Limine to Exclude Damages Evidence from Trial
DEFENDANT’S MOTION IN LIMINE TO EXCLUDE DAMAGES EVIDENCE FROM TRIAL
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
Motion in Limine to Exclude Evidence
By failing to object to the timeline stated in the agreed to presumptive Case Management Order, Plaintiff is barred from introducing any evidence or calling any witnesses not disclosed prior to the October 19, 2008 discovery cut-off date
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
Plaintiff’s Response to Motion for New Trial – Medical Malpractice
PLAINTIFF’S RESPONSE TO DEFENDANT’S MOTION FOR NEW TRIAL
Plaintiff’s Notice of Errata Relative to her Election to Receive Immediate Payment
PLAINTIFF’S NOTICE OF ERRATA RELATIVE TO HER ELECTION TO RECEIVE IMMEDIATE PAYMENT OF THE PRESENT VALUE OF THE FUTURE DAMAGE AWARD IN A LUMP-SUM AMOUNT IN LIEU OF PERIODIC PAYMENTS
Defendant Trial Brief Regarding Recoverable Damages
DEFENDANT TRIAL BRIEF REGARDING RECOVERABLE DAMAGES
Plaintiff’s Memorandum of Law on Economic Damages
PLAINTIFF’S MEMORANDUM OF LAW ON ECONOMIC DAMAGES
Opposition to Plaintiff’s Motion to Strike Defendant’s Affirmative Defense
DEFENDANT SECOND SUPPLEMENT TO OPPOSITION TO PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S AFFIRMATIVE DEFENSE OF NONPARTY AT FAULT AND TO PRECLUDE INADMISSIBLE EVIDENCE CONCERNING ALLEGED NEGLIGENCE OR FAULT
Motion to Preclude Expert From Offering Testimony Outside the Scope of Previously Disclosed Opinions
PLAINTIFF’S SUPPLEMENT TO MOTION IN LIMINE TO PRECLUDE ANY EXPERT FROM OFFERING OPINIONS OR TESTIMONY OUTSIDE THE SCOPE OF THEIR PREVIOUSLY DISCLOSED OPINIONS
Response to Defendant’s Motion To Preclude Plaintiff From Asking Any Expert…
PLAINTIFF’S RESPONSE TO DEFENDANT’S MOTION IN LIMINE TO PRECLUDE PLAINTIFF FROM ASKING ANY EXPERT ON EITHER SIDE WHETHER WERE “NEGLIGENT”
Plaintiff’s Motion to Strike Certain Opinions of Defendant – Malpractice
PLAINTIFF’S MOTION TO STRIKE CERTAIN OPINIONS OF DEFENDANT,
AND NAME