Through the course of this process, different motions and conferences have occured, including a Trial Management Conference this week.
Within the various documents that make up the Continuing Record, there have been exhibits included.
During the Trial Management Conference this week the judge requested an "Exhibit Book" be ready for the start of trial.
He said I should produce one for the court and file it, one for the Applicant and have one for my self.
Should I assume that I should include every document that I have included in my past submissions in this exhibit book, or just what I am planning to use at trial?
Do I also try to guess what exhibits I might need to respond to her information produced at trial?
I am very confused by this because the folks at the court office have always been very clear about not duplicating documents in the CR.
Anyone have any thoughts?
Within the various documents that make up the Continuing Record, there have been exhibits included.
During the Trial Management Conference this week the judge requested an "Exhibit Book" be ready for the start of trial.
He said I should produce one for the court and file it, one for the Applicant and have one for my self.
Should I assume that I should include every document that I have included in my past submissions in this exhibit book, or just what I am planning to use at trial?
Do I also try to guess what exhibits I might need to respond to her information produced at trial?
I am very confused by this because the folks at the court office have always been very clear about not duplicating documents in the CR.
Anyone have any thoughts?
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