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Motion in Limine to Include Traffic Citation
DEFENDANT _______________ MOTION IN LIMINE RE: EVIDENCE OF TRAFFIC CITATION
Motion for Bifurcation RE: Negligent Entrustment Claim
MOTION FOR BIFURCATION RE: NEGLIGENT ENTRUSTMENT CLAIM AGAINST
Motion for Summary Judgment – Auto Injury
MOTION FOR for summary judgment as it relates to the family car doctrine
Motion for Discovery of Oral Statements
A motion attempting to secure the disclosure of certain oral statements made to investigators, allegedly, by both the defendant and the alleged victim. These statements would, if true, be exculpatory in nature.
Motion For Damages – Post Lawsuit
Motion for damages after winning the lawsuit
Defendant’s Motion for County to Pay for Statement of Facts
DEFENDANT’S MOTION FOR _______________ COUNTY TO PAY FOR STATEMENT OF FACTS
Motion for Suppression of Evidence – Immigration
Motion for Suppression of Evidence – Immigration
Brief in Support to Motion to Dismiss (Patent Law)
A 12B brief in support for a motion to dismiss for patent infringement
Motion for Extension of Time to File Answer or Other Respond to Complaint
A motion for extension of time to file and answer or respond to complaint in a civil action, with a proposed order
Motion to Return Property
Client was arrested and charged with illegal possession of a firearm and drug possession. Police also confiscated $4,000.00 in cash. We filed motion to return the cash as it is not relevant to the charges. further client needs money to help his defense.
Defendant’s Motion to Introduce Evidence (Sex Crimes)
A Motion to peirce/overcome the Colorado Rape Shield Motion. Sets forth specific facts that a defendant may seek to introduce at trial, but that pursuant to the Colorado Rape Shield Motion is otherwise excluded at trial. Motion must be submitted with the accompanying affidavit under seal at least 35 days prior to trial. – Pursuant to 18-3-407 CRS
Motion to Dismiss – Civil Litigation
Plaintiffs’ claims for fraudulent and negligent misrepresentation fail because the Defendants did not know of the allegedly misrepresented conditions. Furthermore, Plaintiffs were not justified in relying upon the representations made by the defendants. To the extent the purported defects existed at the time of contracting, they were open and obvious and could have been detected through reasonable diligence. Plaintiff’s breach of contract claim fails because there is no genuine dispute that the defendants did not have actual knowledge of the presence of bats under the roof tiles on the house. Accordingly, they did not breach a contractual duty owed to Plaintiffs as prescribed by the Seller’s Property Disclosure form. Plaintiffs’ claim for civil conspiracy likewise fails because the defendants have not committed an unlawful act.
Motion for Discovery & Inspection of Evidence
MOTION FOR DISCOVERY AND INSPECTION OF EVIDENCE