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DEFENDANT’S REPLY IN SUPPORT OF THIRD MOTION IN LIMINE REGARDING RIGHTS VERSUS DUTIES
Defendant’s reply in support of third motion regarding rights versus duties owed by defendant.Â
DEFENDANT’S REPLY IN SUPPORT OF SIXTH MOTION IN LIMINE REGARDING NAMES
Defendant’s reply in support of their sixth motion regarding the testimony of the expert. This motion asks the court to prevent plaintiffs from introducing evidence, testimony, or opinion from the Judge.
DEFENDANT’S REPLY IN SUPPORT OF FOURTH MOTION IN LIMINE REGARDING ATTORNEY’S NAME
Defendant’s reply in support motion regarding conduct, advice, actions or inaction of the attorney.Â
DEFENDANT’S PROPOSED JURY INSTRUCTIONS
DEFENDANT’S PROPOSED JURY INSTRUCTIONS
DEFENDANT’S MOTION FOR SUMMARY JUDGMENT
Defendant’s pursuant to C.R.C.P. 56, makes the following motion for summary judgement: pursuant to C.R.C.P 121, undersigned counsel certifies conferral with counsel for plaintiff who objects to the relief requested in this motion.Â
DEFENDANT’S MOTION FOR PARTIAL SUMMARY JUDGMENT AS TO THE CONDUCT OF NAME
Defendant’s motion for partial summary judgment, as to the conduct of plaintiff’s witness, follows the pursuant to C.R.C.P 121, counsel certifies conferral with counsel for plaintiff who objects to the relief requested in this motion. Â
DEFENDANT’S MOTION FOR CLARIFICATION REGARDING THE COURT’S ORDER ON ITS FIRST MOTION IN LIMINE REGARDING HYPOTHETICAL SETTLEMENT SCENARIOS
Defendant’s motion for clarification regarding the court’s order on defendant’s first motion in limine regarding the hypothetical settlement scenarios.Â
DEFENDANT’S FIRST MOTION IN LIMINE REGARDING HYPOTHETICAL SETTLEMENT SCENARIOS
Defendant’s first motion in limine regarding the hypothetical settlement scenarios that states the pursuant to CRCP 121, counsel certifies conferral with counsel for plaintiff who objects to the relief requested.Â
DEFENDANT’S EMERGENCY MOTION FOR TELEPHONIC HEARING
Defendant’s counsel certifies that he has attempted to contact plaintiff’s counsel several times and received no response prior to filing this motion. Defendant filed a motion in Limine regarding hypothetical settlement scenarios.Â
COMPLAINT AND JURY DEMAND
Plaintiff’s complaint against defendant and plaintiff’s jury demand.Â
MOTION TO SUPRESS AUTOPSY AS A SANCTION [14]
Defendant’s motion to suppress autopsy because the defense counsel was allowed to present during the autopsy in this matter, violating the order of the court, the Colorado Bar Association Ethics Opinion, and violating C.R.C.P. 16.Â
MOTION TO SUPPRESS EVIDENCE AND OBSERVATIONS OBTAINED AS A RESULT OF VIOLATIONS OF — RIGHT TO BE FREE FROM UNREASONABLE SEARCHES AND SEIZURES [DEF – 5]
MOTION TO SUPPRESS EVIDENCE AND OBSERVATIONS OBTAINED AS A RESULT OF VIOLATIONS OF — RIGHT TO BE FREE FROM UNREASONABLE SEARCHES AND SEIZURES [DEF – 5] |
MOTION TO CONTINUE TRIAL
District Attorney submits a motion to continue the jury trial.
MOTION FOR NOTICE OF 404(b) EVIDENCE [11]
Counsel moves for advance notice of any 404(b) evidence, and objects to the introduction of any such evidence at trial and requests a hearing