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  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • CLENDON RHEA  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
						
                                

Preview

CAUSE NO. DC-20-07324 CLENDON RHEA, IN THE DISTRICT COURT Plaintiff, v. 95TH JUDICIAL DISTRICT ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY, DALLAS COUNTY, TEXAS Defendant. ORDER ON PLAINTIFF'S MOTION IN LIMINE After considering Plaintiff, CLENDON RHEA’s Motion in Limine, the court orders ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY, Defendant's counsel, and all witnesses called on behalf of Defendant to refrain from any mention of interrogation, directly or indirectly, including offering documentary evidence, about any of the following matters without first requesting and obtaining a ruling from the court outside the presence and hearing of all prospective jurors and jurors ultimately selected in this case. Plaintiff asks the court to instruct Defendant and all counsel not to mention, referto, interrogate about, or attempt to convey to the jury in any manner, either directly or indirectly, any of these matters without first obtaining the court’s permission outside the presence and hearing of the jury, and to instruct Defendant and all counsel to warn and caution each of their witnesses to follow the same instructions. ORDER ON PLAINTIFF'S MOTION IN LIMINE Page 1 GRANTED MODIFIED DENIED GRANTED MODIFIED DENIED GRANTED MODIFIED DENIED 10. GRANTED MODIFIED DENIED 11. GRANTED MODIFIED DENIED 12. GRANTED MODIFIED DENIED 13. GRANTED MODIFIED DENIED 14. GRANTED MODIFIED DENIED 15. GRANTED MODIFIED DENIED 16. GRANTED MODIFIED DENIED 17. GRANTED MODIFIED DENIED 18. GRANTED MODIFIED DENIED 19. GRANTED MODIFIED DENIED 20. GRANTED MODIFIED DENIED 21. GRANTED MODIFIED DENIED 22. GRANTED MODIFIED DENIED 23. GRANTED MODIFIED DENIED 24. GRANTED MODIFIED DENIED ORDER ON PLAINTIFF'S MOTION IN LIMINE Page 2 25. GRANTED MODIFIED DENIED 26. GRANTED MODIFIED DENIED 27. GRANTED MODIFIED DENIED 28. GRANTED MODIFIED DENIED 29. GRANTED MODIFIED DENIED 30. GRANTED MODIFIED DENIED 31. GRANTED MODIFIED DENIED 32. GRANTED MODIFIED DENIED 33. GRANTED MODIFIED DENIED 34. GRANTED MODIFIED DENIED 35. GRANTED MODIFIED DENIED 36. GRANTED MODIFIED DENIED 37. GRANTED MODIFIED DENIED 38. GRANTED MODIFIED DENIED 39. GRANTED MODIFIED DENIED 40. GRANTED MODIFIED DENIED 41. GRANTED MODIFIED DENIED 42. GRANTED MODIFIED DENIED ORDER ON PLAINTIFF'S MOTION IN LIMINE Page 3 43. GRTED MIFIED DENIED 44. — — GRANTED MODIFIED DENIED 45. _ — GRANTED MODIFIED DENIED JUDGE PRESIDING ORDER ON PLAINTIFF'S MOTION IN LIMINE Page 4 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules. Donnabell Lathrom on behalf of Constance Mutong Bar No. 24104765 donnabel|.|athrom@benabbott.com Envelope ID: 59650632 Status as of 12/2/2021 4:05 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status CAMILO VALENCIA eService@benabbott.com 12/2/2021 2:55:15 PM SENT Young Jenkins dallaslegal@allstate.com 12/2/2021 2:55:15 PM SENT