Preliminary Conference Stipulation-Order (Contested Matrimonial) Form. This is a New York form and can be use in Bronx Local County.
Tags: Preliminary Conference Stipulation-Order (Contested Matrimonial), New York Local County, Bronx
- SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF BRONX X PC Stip/Order --- Page 1 of 4 Plaintiff -against - Index No.: Part No.: Defendant X PRELIMINARY CONFERENCE STIPULATION/ORDER CONTESTED MATRIMONIAL PRESIDING: Justice of the Supreme Court The parties and counsel have appeared before this Court on at a preliminary conference on this matter held pursuant to 22 NYCRR 202.16. The court has received a copy of- ,20 Date Filed or To Be Filed Plaintiff (1) A signed copy of each party's attorney retainer agreement; and (3) Defendant A sworn Net Worth Statement of each party; and (2) A. 9 Counsel for both parties have certified that they have no knowledge that the substance of the statements or allegations of fact (including the Net Worth Statements) submitted by their respective clients is false. Required Information (1) Attorney for Defendant Attorney for Plaintiff Phone: Phone: (2) Summons: (3) Notice of No Necessity Filed: (4) Date of Marriage: (5) Name(s) and Age(s) of Child(ren): Date Filed Date Served Yes No Rev. 5/04 American LegalNet, Inc. www.FormsWorkflow.com B. - PC Stip/Order --- Page 2 of 4 Stipulation The parties hereby stipulate, for purposes of trial, that the following issues between them are: RESOLVED (1) Fault (2) Custody (3) (4) Visitation (5) Maintenance (6) (7) UNRESOLVED Equitable Distribution Child Support Other ANY ISSUES WITH RESPECT TO FAULT, CUSTODY AND, FINANCE THAT ARE NOT SPECIFICALLY DESCRIBED ABOVE AS UNRESOLVED MAY NOT BE RAISED IN THE ACTION UNLESS GOOD CAUSE IS SHOWN. THE ABOVE IS HEREBY STIPULATED TO BY THE PARTIES. PLAINTIFF PLAINTIFF'S ATTORNEY C. DEFENDANT DEFENDANT'S ATTORNEY Pendente Lite Relief With respect to the pendente lite applications, the court hereby directs or the parties stipulate that: PLAINTIFF PLAINTIFF'S ATTORNEY DEFENDANT DEFENDANT'S ATTORNEY American LegalNet, Inc. www.FormsWorkflow.com Rev. 5/04 D. PC Stip/Order --- Page 3 of 4 Law Guardians/Experts (1) Law Guardian/Guardian Ad Litem (Check One) a. b. (2) The Court hereby appoints as law guardian/guardian ad litem for the infant child(ren). days from the date The parties shall submit to the Clerk of this Part, within hereof, a list of persons deemed suitable to serve as law guardian/guardian ad litem, together with a stamped, self-addressed envelope. Neutral Expert (Check One) a. b. E. The Court hereby appoints, on consent of the parties, the following as neutral expert to . assist the Court: The parties shall submit to the Clerk of this Part, within days from the date hereof, a list of experts deemed suitable for appointment as neutral expert, together with a stamped, self-addressed envelope. Case Scheduling (1) In addition, the Court orders the following discovery deadlines. (Fill in specific dates for the below to be served or conducted.) Plaintiff (1) (2) Depositions (4) (5) (2) Notice for Discovery and Inspection Interrogatories (3) Defendant Exchange of Expert Reports Other I Discovery Problems The parties shall contact the court immediately if it appears that there are any problems with the above schedule. If the Court is not contacted, discovery may be deemed completed as of the above dates or sanctions may be imposed. (3) Expert Witnesses At least sixty (60) days prior to the trial date set forth below, each party shall serve and file with the court a written report of each expert witness whom the party expects to call at trial and, at least thirty (30) days prior to the trial date set forth below, each party shall serve and file with the court any reply report. If a party intends that a written report shall substitute at trial for direct testimony, that American LegalNet, Inc. party shall so advise the other party and the court at least ten (10) days prior to trial. www.FormsWorkflow.com Rev. 5/04 PC Stip/Order --- Page 4 of 4 (4) Witnesses (Other Than Expert) At least ten (10) days prior to trial, each side shall submit, to the court and the other side, a list of all other witnesses (excepting impeachment or rebuttal witnesses) whom that side intends to call at trial, specifying, where applicable, those whose depositions will be used. (5) Exhibits The parties shall consult and work out a stipulation governing the authenticity and admissibility of all trial exhibits concerning which the parties can agree, which exhibits shall be pre-marked before the case is called for trial. Ten (10) days prior to trial, the parties shall submit to the Part a list of lists of- (1) all exhibits stipulated to be admissible, (ii) plaintiffs proposed additional exhibits, and (iii) defendant's proposed additional exhibits. (6) The court orders the parties and their attorneys to appear at a compliance conference to be held on at The parties shall bring to the compliance conference a preliminary copy of their Proposed Statement of Disposition pursuant to 22 NYCRR 202.16(h). (7) The court orders a Note of Issue to be filed on or before (8) THE COURT ORDERS THAT THE TRIAL IN THIS MATTER WILL BE HELD ON: at a.m./p.m. SO ORDERED: Dated: Bronx, New York ,20 J.S.C. Rev. 5/04 American LegalNet, Inc. www.FormsWorkflow.com