Interrogatories to defendant

Describe in detail and quantify your company's costs or expenses attributable to each dealer to whom you sell prefabricated artificial teeth, separately for each year, and separately for each such dealer, including but not limited to administrative, transactional or other costs or expenses relating to tooth returns or exchanges, drop-shipments, inventory management including computer hardware or software provided to dealers by Dentsplytraining, sales support, marketing, or advertising.

Pursuant to Fed. Give the names and addresses of all witnesses to the collision known to you. If not, please "identify" the owner. Separately for and each subsequent year, describe in detail and quantify all fees and other income Dentsply collected from third parties relating to training or educating dealers' personnel', dental laboratories' personnel, and dentists, and to the extent possible, allocate the fees and other income between dealers, dental laboratories, and dentists.

If a party denies a request for admission that goes to a critical component of Plaintiff's personal injury case, an alternative interrogatory asks the defendant to set forth all facts and evidence upon which the defendant intends to rely upon at trial to support the defense lawyer's denial.

flsa interrogatories to defendant

For any record or document responsive or relating to these interrogatories which is known to have been destroyed or lost, or is otherwise unavailable, identify each such document by author, addressee, date, number of pages, and subject matter; and explain in detail the events leading to the destruction or loss, or the reason for the unavailability of such document.

InMaryland Rule was amended to allow a party to serve more than a single set of interrogatories. Unless you go over every answer - and even interrogate them just a little bit - there is a chance you are going to get it wrong.

The next three sample sets are sent throughout the course of discovery.

Sample special interrogatories california personal injury

Send the client a draft of the answers. Please identify all persons to whom you have given signed statements regarding the auto accident, the date thereof, and the name of the person in whose custody each is at this time. Please identify all persons who have given you signed statements regarding the auto accident or the personal injuries suffered by the Plaintiff in the accident. If you contend that the personal injuries of Plaintiff was not caused by the collision with your vehicle, state with particularity the facts upon which you base your contention. If you object to any interrogatory, state the reasons for objection and answer to the extent the interrogatory is not objectionable. Please state whether you were under the care of a physician at the time of the auto accident. The singular form of a noun or pronoun shall be considered to include within its meaning the plural form of the noun or pronoun, and vice versa; and the past tense shall include the present tense where the clear meaning is not distorted. Tips for How to Answer Interrogatories From Defendants This is a checklist you might want to consider in providing answers to this discovery: Figure out how long you have to respond. Unless otherwise specified, the information called for by these interrogatories is limited in scope to information relating to supplying, manufacturing, distributing, selling, or advertising or promoting products in the United States. If you were the owner of the motor vehicle that was operated at the time of the collision described in plaintiff's Complaint, answer the following: Was the motor vehicle you were operating covered by liability insurance? We get so much advice as to what we should do. Accordingly, we suggest serving more than one set. The term "document" includes all drafts of a document and all copies that differ in any respect from the original, including any notation, underlining, marking, or information not on the original. To whom was the statement made and on what date?

Serve a copy of the response to each party in the litigation. To whom was the statement made and on what date? Please list all violations of the motor vehicle laws of the State of Maryland or any other jurisdiction with which you have been charged since you obtained your driver's license.

Defamation interrogatories to defendant

Write in plain English and keep in mind that these responses can be read to a jury. For the purpose of these Interrogatories only, Plaintiff has used the definitions set forth below. Give the names and addresses of all persons to whom the Defendant or any witness has provided a statement regarding the collision described in the Plaintiff's Complaint or any injuries or property damages arising out of this collision. Make sure you are not objecting to form interrogatories approved by the court. Give the names and addresses of all witnesses to the collision known to you. Pursuant to Fed. Please state whether you had any other insurance policies in effect at the time of the auto accident covering bodily injuries caused to other person. Tips for How to Answer Interrogatories From Defendants This is a checklist you might want to consider in providing answers to this discovery: Figure out how long you have to respond.

Please give a concise statement of facts as to how you contend the car accident took place.

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Sample Interrogatories