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Pretrial Order Form. This is a Mississippi form and can be use in 15th District Local County.
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Tags: Pretrial Order, Mississippi Local County, 15th District
IN THE CHANCERY COURT OF _______________________ COUNTY, MISSISSIPPI
JOHN DOE,
PLAINTIFF
VS.
CAUSE NO. ________________
JANE DOE,
DEFENDANT
PRETRIAL ORDER
I.
COUNSEL FOR ALL PARTIES:
PLAINTIFF'S COUNSEL
DEFENDANT'S COUNSEL
_____________________________
_____________________________
NAME
BAR NO.
NAME
_____________________________
_____________________________
ADDRESS
ADDRESS
_____________________________
_____________________________
PHONE NO.
_____________________________
_____________________________
FAX NO.
II.
BAR NO.
PHONE NO.
FAX NO.
PROCESS: For each defendant, specify how and when the defendant was
served with process, and the rule under which defendant was served.
Defendant
Served By
Date Completed
Rule
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III.
NATURE OF CASE
A.
Plaintiff:
B. Defendant:
IV.
CLAIMS AND DEFENSES
The following claims (including claims stated in the
complaint), defenses, counter-claims, third party claims,
cross-claims, etc., have been filed:
A.
B.
V.
Plaintiff
Defendant
THE FOLLOWING FACTS ARE ESTABLISHED BY THE PLEADINGS OR BY
STIPULATION OR ADMISSION.
A.
Plaintiff
B.
Defendant
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VI.
SUMMARY OF OTHER PERTINENT FACTS NOT DISPUTED.
VII.
The following facts are in dispute:
A.
B.
VIII.
Plaintiff
Defendant
ISSUES TO BE SUBMITTED
(Each party should state precisely the issues they contend are to be decided upon a trial of
this case, including any disputed issues of law. By way of example,"What is the value of
stock owned in closely held corporation?" "Was stock in closely held corporation a gift
and not subject to equitable distribution?" "Was husband's conduct habitual cruel and
inhuman treatment?" "Is fence the boundary line?"
A.
Plaintiff
1.
2.
3.
B. Defendant
1.
2.
3.
IX.
The following is a list of witnesses whom Plaintiff
anticipates calling at the trial (excluding witnesses to be used solely for rebuttal or
impeachment.) All listed witnesses must be present to testify when called by a
party unless specific arrangements are made with the trial judge prior to
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commencement of trial. The listing of a WILL CALL witness herein constitutes a
representation, upon which opposing counsel may rely,
that the witness will be present at trial in the absence of reasonable written notice
to opposing counsel to the contrary. The listing of a MAY CALL witness
constitutes a representation that counsel reasonably expects to call the witness at
trial, but is not bound to do so.
INDICATE
WILL/MAY
CALL
NAME
X.
BUSINESS
ADDRESS
& TELEPHONE
RESIDENCE
INDICATE
ADDRESS
FACT/
LIABILITY/
& TELEPHONE
EXPERT
DAMAGE
EXHIBITS
The following is a list and brief description of all exhibits (except exhibits to be
used for impeachment only) to be offered in evidence by the respective parties.
Each exhibit has been marked for identification and examined by all counsel.
A.
TO BE OFFERED BY THE PLAINTIFF
B.
TO BE OFFERED BY THE DEFENDANT
The authenticity and admissibility in evidence of these
exhibits has been stipulated. If the authenticity and/or
admissibility of any exhibit is objected to, the exhibit must be identified in the
following space, together with a
statement of the specific ground or grounds for the objection.
EXHIBIT OBJECTIONS:
XI.
PENDING MOTIONS AND OTHER MATTERS TO BE RESOLVED
(Arrangements should be made with the court by phone or
otherwise to have these issues resolved at least 48 hours
prior to trial.)
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XII.
Counsel estimate the length of the trial will be:
PLAINTIFF:
DEFENDANT:
XIII.
Please list any other matters or things that need to be brought to the attention of
the court.
PLAINTIFF:
____________________________________________________________
____________________________________________________________
DEFENDANT:
____________________________________________________________
____________________________________________________________
XIV.
Each attorney has contemporaneously with this order submitted copies of all cases to be
relied upon to the Court.
ENTERED THIS THE _______ DAY OF _____________________________, 200___.
__________________________________________
CHANCELLOR
________________________________
ATTORNEY FOR PLAINTIFF
________________________________
ATTORNEY FOR DEFENDANT
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