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Joint Case Conference Report (If Filed After January 1, 2005) Form. This is a Nevada form and can be use in Clark County.
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Tags: Joint Case Conference Report (If Filed After January 1, 2005), Nevada County, Clark
RPT
Attorney's Name
Attorney's Bar Number
Attorney's Firm Name
Attorney's Address
Attorney's Phone Number
Party Attorney Represents
DISTRICT COURT
CLARK COUNTY, NEVADA
Case No.: No. 12-3-456789-1
Plaintiff,
PLEADING TITLE
vs.
Defendant
CASE NO.
DEPT NO.
Plaintiff,
A
v.
Defendants.
JOINT CASE CONFERENCE REPORT
DISCOVERY PLANNING/DISPUTE
CONFERENCE REQUESTED:
YES______
NO______
I.
PROCEEDINGS PRIOR TO CASE CONFERENCE REPORT
A.
DATE OF FILING OF COMPLAINT:
B.
DATE OF FILING OF ANSWER BY EACH DEFENDANT:
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C.
DATE THAT EARLY CASE CONFERENCE WAS HELD AND WHO
ATTENDED:
II.
A BRIEF DESCRIPTION OF THE NATURE OF THE ACTION AND EACH
CLAIM FOR RELIEF OR DEFENSE:
[16.1(c)(1)]
A.
Description of the action:
B.
Claims for relief:
C.
Defenses:
III.
LIST
OF
ALL
DOCUMENTS,
DATA
COMPILATIONS
AND
TANGIBLE
THINGS IN THE POSSESSION, CUSTODY OR CONTROL OF EACH PARTY WHICH
WERE IDENTIFIED OR PROVIDED AT THE EARLY CASE CONFERENCE OR AS A
RESULT THEREOF:
[16.1(a)(1)(B) and 16.1(c)(4)]
A.
Plaintiff:
B.
Defendant:
IV.
LIST OF PERSONS IDENTIFIED BY EACH PARTY AS LIKELY TO HAVE
INFORMATION DISCOVERABLE UNDER RULE 26(b), INCLUDING IMPEACHMENT
OR REBUTTAL WITNESSES:
A.
Plaintiff:
B.
[16.1(a)(1)(A) and 16.1(c)(3)]
Defendant:
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V.
DISCOVERY PLAN
A.
[16.1(b)(2) and 16.1(c)(2)]
What changes, if any, should be made in the timing,
form or requirements for disclosures under 16.1(a):
1.
Plaintiff’s view:
2.
Defendant’s view:
When disclosures under 16.1(a)(1) were made or
will be made:
1.
___________________________
enter calendar date
2.
B.
Plaintiff’s disclosures:
Defendant’s disclosures:
___________________________
enter calendar date
Subjects on which discovery may be needed:
1.
2.
C.
Plaintiff’s view:
Defendant’s view:
Should discovery be conducted in phases or limited to
or focused upon particular issues?
1.
2.
D.
Plaintiff’s view:
Defendant’s view:
What changes, if any, should be made in limitations on
discovery imposed under these rules and what, if any, other
limitations should be imposed?
1.
Plaintiff’s view:
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2.
E.
Defendant’s view:
What, if any, other orders should be entered by court
under Rule 26(c) or Rule 16(b) and (c):
1.
2.
F.
Plaintiff’s view:
Defendant’s view:
Estimated time for trial:
1.
Plaintiff’s view:_______________.
(number of court days)
2.
Defendant’s view:_______________.
(number of court days)
VI.
DISCOVERY AND MOTION DATES
A.
[16.1(c)(5)-(8)]
Dates agreed by the parties:
1.
Close of discovery:
2.
Final date to file motions to amend pleadings or
_____________________________
enter calendar date
add parties (without a further court order):
_____________________________
enter calendar date
(Not later than 90 days
before close of discovery)
3.
Final dates for expert disclosures:
i.
initial disclosure:
____________________________
enter calendar date
(Not later than 90 days
before discovery cut-off date)
ii.
rebuttal disclosures:
___________________________
enter calendar date
(Not later than 30 days after
initial disclosure of experts)
4.
Final date to file dispositive motions:
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__________________
enter calendar date
(Not later than 30 days
after discovery cut-off date)
B.
In the event the parties do not agree on dates, the
following section must be completed:
1.
Plaintiff’s suggested close of discovery:
___________________________
enter calendar date
Defendant’s suggested close of discovery:
___________________________
enter calendar date
2.
Final date to file motions to amend pleadings or
add parties (without a further court order):
Plaintiff’s suggested:
____________________________
enter calendar date
(Not later than 90 days
before close of discovery)
Defendant’s suggested:
____________________________
enter calendar date
(Not later than 90 days
before close of discovery)
3.
Final dates for expert disclosures:
i.
Plaintiff’s suggested initial disclosure:
____________________________
enter calendar date
(Not later than 90 days before
discovery cut-off date)
Defendant’s suggested initial disclosure:
____________________________
enter calendar date
(Not later than 90 days before
discovery cut-off date)
ii.
Plaintiff’s suggested rebuttal disclosures:
___________________________
enter calendar date
(Not later than 30 days after
initial disclosure of experts)
Defendant’s suggested rebuttal disclosures:
5
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___________________________
enter calendar date
(Not later than 30 days after
initial disclosure of experts)
4.
Final date to file dispositive motions:
Plaintiff’s suggested:
__________________
enter calendar date
(Not later than 30 days
after discovery cut-off date)
Defendant’s suggested:
__________________
enter calendar date
(Not later than 30 days
after discovery cut-off date)
Failure to agree on the calendar dates in this subdivision
shall result in a discovery planning conference.
VII.
JURY DEMAND
[16.1(c)(10)]
A jury demand has been filed: _________________.
(Yes/No)
VIII.
INITIAL DISCLOSURES/OBJECTIONS
[16.1(a)(1)]
If a party objects during the Early Case Conference that
initial disclosures are not appropriate in the circumstances of
this case, those objections must be stated herein.
The Court
shall determine what disclosures, if any, are to be made and
shall set the time for such disclosure.
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This report is signed in accordance with rule 26(g)(1) of
the Nevada Rules of Civil Procedure.
a
certification
that
to
the
best
Each signature constitutes
of
the
signer’s
knowledge,
information and belief, formed after a reasonable inquiry, the
disclosures made by the signer are complete and correct as of
this time.
Dated:_____________________
Dated:______________________
By__________________________
Attorney's Name
Attorney's Bar Number
Attorney's Firm Name
Attorney's Address
Attorney's Phone Number
ATTORNEY FOR PLAINTIFF
By__________________________
Attorney’s Name
Attorney’s Bar Number
Attorney’s Firm Name
Attorney’s Address
Attorney’s Phone Number
ATTORNEY FOR DEFENDANT
7
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