How to Answer Interrogatories Checklist This is a checklist you might want to consider in providing answers to this discovery: Figure out how long you have to respond. Most states allow 30 days to respond twenty-five in federal court under Rule Get a copy to your clients quickly.
Zois, and Miller and Zois, LLC, requests that the Defendant, William Parcells, answer the following Interrogatories fully, under oath, and in accordance with the Maryland Rule of Civil Procedure, Rulesubject to the instructions set forth below: Instructions These Interrogatories are continuing in character so as to require you to file supplementary answers if you obtain further or different information before trial.
Unless otherwise stated, these Interrogatories refer to the time, place, and circumstances of the occurrence mentioned or complained of in the Complaint. Where name and identity of a person is required, please state full name, home address and also business address, if known.
When answer is made by corporate defendant, state the name, address and title of persons supplying the information and making the affidavit, and announce the source of his or her information.
The pronoun "you" refers to the party to whom the Interrogatories are addressed and the parties mentioned in clause d. INTERROGATORIES State your full name, current address, date of birth, social security number and work address or if you are the representative of a company answering these Interrogatories state your title, your affiliation with the Defendant, and the length of time you have been employed by the Defendant, and list all the positions you held in the past and your current position.
Identify any individual that you are aware that has personal knowledge of the facts and circumstances of this case, including eyewitnesses and any individuals who arrived on the scene within two hours after the occurrence. If anyone investigated this matter for you, including medical experts, private investigators or insurance adjusters and state their name s and address esand state whether such investigation was reduced to writing.
If said investigator obtained any signed statements or recorded statements, identify the person who gave the statement and attach to your Answers a copy of any said statement. Please state the relationship of the driver to the owner of the vehicle which was involved in the accident with the Plaintiff.
Please state where Defendant William Parcells was heading to and the time of the accident and where Defendant William Parcells was coming from and their expected time of arrival.
Please list all accidents involving Defendant William Parcells, within the past five 5 years. Please list all insurance agreements you have regarding the vehicle operated by Defendant William Parcells at the of the collision with the Plaintiff, including the name of the insurance company, the name of the policy owner, the policy number, the type of coverage, the amount of coverage specifying its upper and lower limits and the effective dates of said policy for the past five 5 years.
State whether Defendant William Parcells was acting as the agent, servant or employee of Defendant Baltimore Masonry at the time of the occurrence. If you are short on interrogatories or fear you might be, you can try this as a request for admission first.
Identify the property damage done to each vehicle as a result of the accident and which parts of those vehicles were damaged in the occurrence complained of, the name and address of the person or entity who repaired each vehicle, and the date and cost of repairs.
If the vehicles have not been repaired, state the present location of said vehicles, the days of the week, the time of day, and the places they may currently be seen and identify any photographs of the vehicles involved in the collision. Do you admit that you caused the accident and that the Plaintiff was injured in the collision?Defendant.)) PLAINTIFF’S FIRST SET OF INTERROGATORIES TO DEFENDANT Pursuant to Fed.
R. Civ. P.
33, Plaintiff hereby submits the following Interrogatories to Defendant. Plaintiff requests that Defendant serve its answers, in writing and under oath, to the undersigned counsel for Plaintiff at Seventh Street, N.W., Room , Washington, D.C.
1 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF NEW YORK [insert individual case information])) MDL NO. ))) PLAINTIFF’S FIRST SET OF INTERROGATORIES. In the sample above, the first set listed assumes that all 30 interrogatories are asked at one time.
The next three sample sets of are sent throughout the course of discovery. Defense counsel in a case recently refused to answer discovery because the defendant thought three sets of requests for admission and interrogatories were just too much.5/5.
PLAINTIFF =S FIRST SET OF INTERROGATORIES TO DEFENDANT Pursuant to Rule of the Tennessee Rules of Civil Procedure, the Plaintiff. DEFENDANT’S RESPONSES TO PLAINTIFF’S FIRST INTERROGATORIES AND.
REQUEST FOR PRODUCTION OF DOCUMENTS. COMES NOW, Defendant, by and through (his/her) attorney and Defendant objects to all Requests to the extent that they purport to impose upon.
R. Civ. P. 33, Plaintiff hereby submits the following Interrogatories to Defendant. Plaintiff requests that Defendant serve its answers, in writing and under oath, to the undersigned counsel for Plaintiff at Seventh Street, N.W., Room , Washington, D.C.
, within 30 days of service of these Interrogatories.