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First Supplamental Response to Plaintiff’s Motion to Strike Defendant’s Affirmative Defense
DEFENDANT’S FIRST SUPPLEMENTAL RESPONSE TO PLAINTIFF’S SUPPLEMENT TO MOTION TO STRIKE DEFENDANT’S AFFIRMATIVE DEFENSE OF NONPARTY AT FAULT AND TO PRECLUDE INADMISSIBLE EVIDENCE CONCERNING ALLEGED NEGLIGENCE OR FAULT
Defendant’s Memorandum in Opposition to State’s Motion in Limine for a Preliminary Ruling on the Use of Prior Testimony
Defendant’s Memorandum in Opposition to State’s Motion in Limine for a Preliminary Ruling on the Use of Prior Testimony
Defendant’s Response to Plaintiff’s Post-Trial Motion to Exceed the $1,000,000.00 Cap
DEFENDANT’S RESPONSE TO PLAINTIFF’S POST-TRIAL MOTION TO EXCEED THE $1,000,000.00 CAP CONTAINED IN C.R.S. § 13-64-302(1)(b)
Plaintiff’s Post-Trial Motion to Exceed the $1,000,000.00 Cap
PLAINTIFF’S POST-TRIAL MOTION TO EXCEED THE $1,000,000.00 CAP CONTAINED IN C.R.S. § 13-64-302(1)(b)
Motion to Withdraw Guilty Plea Pursuant to Sec. 971.08(2), Stats
Motion to Withdraw Guilty Plea Pursuant to Sec. 971.08(2), Stats
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
Plaintiff’s Response to Defendant’s C.R.M. 7 Petition for Review of Magistrate’s Order
PLAINTIFF’S RESPONSE TO DEFENDANT C.R.M. 7 PETITION FOR REVIEW OF MAGISTRATE’S ORDER RE: (1) PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S FOURTH SUPPLEMENTAL C.R.C.P. 26(a)(2) EXPERT DISCLOSURE OF —; AND (2) PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S EIGHTH SUPPLEMENTAL DISCLOSURE AND PRECLUDE OPINIONS OF
Defendant’s Postconviction Motion to Modify Sentence filed under Sec. 809.30
Defendant’s Postconviction Motion to Modify Sentence filed under Sec. 809.30 Stats
Defendant C.R.M. 7 Petition for Review of Magistrate’s Orders
DEFENDANT C.R.M. 7 PETITION FOR REVIEW OF MAGISTRATE’S ORDERS RE: (1) PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S FOURTH SUPPLEMENTAL C.R.C.P. 26(a)(2) EXPERT DISCLOSURE OF ROGER NICHOLS, M.D; AND (2) PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S EIGHTH SUPPLEMENTAL DISCLOSURE AND PRECLUDE OPINIONS OF —.
Motion to Declare Sec. 948.02(1), Stats Unconstitutional as Applied to Defendant
Motion to Declare Sec. 948.02(1), Stats Unconstitutional as Applied to DEFENDANT
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
Motion to Terminate Extended Supervision
Motion to Terminate Extended Supervision
Plaintiff’s Motion to Strike Defendant’s Expert Disclosures of M.D.
PLAINTIFF’S MOTION TO STRIKE DEFENDANT’S FOURTH SUPPLEMENTAL C.R.C.P. 26(a)(2) EXPERT DISCLOSURES OF , M.D.
Joint Brief on Pre-Trial Motions Wisconsin
Joint Brief on PT Motions Wisconsin