Trial Management Conference Report Form. This is a California form and can be use in Solano Local County.
Tags: Trial Management Conference Report, 940, California Local County, Solano
Attorney or Party Without Attorney (Name, Address, Telephone, Fax, State Bar No.) Attorney for: Designate party and name SUPERIOR COURT OF CALIFORNIA, COUNTY OF SOLANO 600 Union Avenue / P.O. Caller 5000 Fairfield, CA 94533-5000 TRIAL MANAGEMENT CONFERENCE REPORT 321 Tuolumne Street Vallejo, CA 94590 PLAINTIFF(S): Case Number: Court Date: DEFENDANT(S): Time: This case assigned for all purposes to: Judge: Dept: th Complete, file, and serve on all parties a copy of this report by the 7 calendar day before the date set for Trial Management Conference. (Attach additional pages as needed. Use the number of the question as the exhibit number, with page numbers added, e.g., Question 8 would be Exhibit 8, page 1 would be 8-1, page 2 would be 8-2, etc.) 1) Provide a statement of the nature of the case, with a summary of each party’s allegations and supporting facts; 2) List the names of any non-expert witnesses who may be called at trial, except for impeachment or rebuttal. Only those witnesses listed will be permitted to testify at trial, unless good cause is presented to the trial court; 3) List the names and expertise of any expert witnesses who may be called at trial, except for impeachment or rebuttal. Only those witnesses listed will be permitted to testify at trial, unless good cause is presented to the trial court; 4) List all witnesses who are unavailable and whose testimony will be presented by deposition, along with the facts supporting that unavailability; 5) Specifically list in column form all documents or other exhibits that the party expects to offer at trial, except for impeachment or rebuttal. Only those exhibits listed will be permitted to be offered at trial, unless good cause is presented to the court; 6) Specifically list in column form all portions of depositions, answers to interrogatories and responses to request for admissions that the party expects to offer at trial, except for impeachment or rebuttal; 7) Specifically list all anticipated evidentiary disputes with citation to authority; 8) Specifically list all anticipated non-evidentiary disputes with citation to authority; 9) Provide all requested jury instructions and verdict forms, with each instruction typed in full, numbered consecutively, and all blanks filled in, including a decision as to all alternatives in the printed instructions; 10) Provide all in limine motions, separately stated; 11) State all stipulations requested or proposed at trial. Date: Attorney name (print) Form #940 Rev. 12/00 Signature of Attorney TRIAL MANAGEMENT CONFERENCE REPORT SL-940 2001 © American LegalNet, Inc.