Hello All
Time fly and I have to attend Trial Management Conference in two weeks. And as before I am still kind of confused how to approach that section para [5]
Does anyone has some sort of helping info? May be some examples? Other party brief was all about how horrible person I was... What I can disprove from my ex's own email but I can not clearly decide for myself should I really have to go that road?
I would really appreciated some directional thoughts from somebody who being there ...
Thank you
Time fly and I have to attend Trial Management Conference in two weeks. And as before I am still kind of confused how to approach that section para [5]
5. Attach an outline of your opening statement for the trial, including:
(a) what you consider to be the undisputed facts;
(b) the theory of your case on the disputed issues;
(c) a brief summary of the evidence you plan to present at trial; and
(d) the orders you are asking the trial judge to make.
(a) what you consider to be the undisputed facts;
(b) the theory of your case on the disputed issues;
(c) a brief summary of the evidence you plan to present at trial; and
(d) the orders you are asking the trial judge to make.
I would really appreciated some directional thoughts from somebody who being there ...
Thank you
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