Discovery And Scheduling Worksheet Form. This is a Texas form and can be use in Collin Local County.
Tags: Discovery And Scheduling Worksheet, Texas Local County, Collin
CIVIL DOCKET NO. IN THE COUNTY COURT AT LAW NO. VS. 2 OF COLLIN COUNTY, TEXAS DISCOVERY AND SCHEDULING WORKSHEET Per court order, the undersigned submits the following requested deadlines made necessary by the filing of the above-captioned action. It is understood by court order that this form will be used by the judge to create an order for an efficient and speedy disposition of the action, that the filing of this form shall not constitute a response to, or a supplementation of, discovery, and that it shall not be admissible at trial for or against any party. ADR. This case needs to be ordered to mediation TRIAL: immediately probably never maybe after discovery. A trial date is not necessary at this time. Discovery will be at the point that the parties can discuss that issue with the court, as well as all other aspects of the case, at a status conference in about months. q This case needs a trial date set in or after . A trial before the judge alone is requested. A jury is necessary, and the fee has been paid by the Plaintiff DISCOVERY LEVEL: 1 2 Defendant 3rd-Party-Plaintiff. 3 Modifications to the standard Level 2 rules need to be ordered, as shown on the back of this page. A Level 3 order should be entered per the recommendations shown on the back of this page. PARTY supplying information- Plaintiff Defendant 3rd-Party-Plaintiff: Printed Name of Attorney Supplying Information Date Signed Signature Firm name Bar card number Mailing address Telephone City, state, zip Email address If submitted as agreed, joining attorney may use this sheet by providing information and signature below: AGREEING ATTORNEY representing Printed Name of Attorney Supplying Information : Date Signed Signature Firm name Bar card number Mailing address Telephone City, state, zip Email address DISCOVERY AND SCHEDULING WORKSHEET-Page 1 5/4/99 2001 © American Legalnet, Inc This page need not be used unless necessary. (fill in only if needed) REQUESTED MODIFIED DISCOVERY LIMITS: Total time to take depositions per side Number of interrogatories Number of requests for production Number of requests for admission (fill in only if needed) REQUESTED MODIFIED DEADLINES: PLAINTIFF DEFENDANT ALL PARTIES A. Adding other parties B. Filing counter-claims C. Designation of experts under Rule 194.2 (f) D. Making experts available for deposition E. Deadline for service of discovery requests F. Completion of discovery G. Court hearing on challenges to experts H. Court hearing on motions for summary judgment I. Court hearing on special exceptions to pleadings J. Amending/supplementing pleadings K. Court hearing on motions to strike affidavits L. Court hearing on evidentiary motions in limine M. Exchanging trial exhibits N. Exchanging/filing trial fact witness’ lists O. Filing stipulations of fact or of expected testimony P. Filing deposition excerpts Q. Filing trial summary & briefs on contested issues R. Filing (jury) questions & instructions or (non-jury) expected findings of fact & conclusions of law DISCOVERY AND SCHEDULING WORKSHEET-Page 2 (4/30/99) 2001 © American Legalnet, Inc