Defendant's motion for directed verdict under C.R.C.P 50.
Plaintiff's Motion for Leave to Amend Complaint & Add Punitive Damages
Plaintiff's motion that requests that the court enter an order permitting them to amend their complaint to include a prayer for exemplary damages.
DEFENDANT’S RESPONSE TO PLAINTIFFS’ MOTION IN LIMINE RE: DEFENDANT’S NAME INSURANCE EXCHANGE’S “OPPORTUNITY TO SETTLE”
Defendant's response and objections to plaintiff's motion regarding defendant's "opportunity to settle".
This is the certificate for an NY All-Purpose Notary Acknowledgement for any document to be attached OR you can type in the proper wording yourself into your document.
Little-known wrinkle in Federal Admiralty & Maritime Law allows potential defendant to limit his potential liability to the value of the subject vessel. **Extremely useful to insurance/subrogation lawyers.
A sample letter to send to life insurance company by a beneficiary of the life insurance policy. I recommend sending this out shortly after receiving the death certificate. Make sure to include the death certificate, as well.
Winning MSJ filed, argued, and granted in Middlesex Superior Court (MA 2017). Carriage of Goods – risk of loss and contractual liability to third party beneficiaries pursuant to international Bill
PLAINTIFF’S RESPONSE IN OPPOSITION TO DEFENDANT’S SECOND MOTION IN LIMINE REGARDING PEV AND RESERVE INFORMATION
PLAINTIFF'S RESPONSE IN OPPOSITION TO DEFENDANT'S SECOND MOTION IN LIMINE REGARDING PEV AND RESERVE INFORMATION.
DEFENDANT’S REPLY IN SUPPORT OF MOTION FOR CLARIFICATION OF ORDER ON FIRST MOTION IN LIMINE REGARDING HYPOTHETICAL SETTLEMENT SCENARIOS
Defendant submits a reply in support of its motion for clarification of the order on defendant's first motion regarding hypothetical settlement scenarios.