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  • BATES, RITA                              vs. CENTERPOINT ENERGY INC PERSONAL INJ (NON-AUTO) document preview
  • BATES, RITA                              vs. CENTERPOINT ENERGY INC PERSONAL INJ (NON-AUTO) document preview
  • BATES, RITA                              vs. CENTERPOINT ENERGY INC PERSONAL INJ (NON-AUTO) document preview
  • BATES, RITA                              vs. CENTERPOINT ENERGY INC PERSONAL INJ (NON-AUTO) document preview
						
                                

Preview

Cause No, 200713570 a TRPOX BATES, RITA IN THE DISTRICT COURT OF VS HARRIS COUNTY, TEXAS CENTERPOINT ENERGY INC 334TH JUDICIAL DISTRICT TRIAL PREPARATION ORDER O Pursuant to Rule 166 of the Texas Rule of Civil Procedure, before the Pretrial Conference scheduled for this case, the items that are checked below must be furnished to opposing counsel in advance with enough time to allow review for objections, and brought with you to the Pretrial Conference. Pursuant to Rule 166 of the Texas Rules of Civil Procedure, the items that are checked below must be FILED& EXCHANGED by 06/16/2008. Pursuant to Rule 166 of the Texas Rules of Civil Procedure, the items that are checked must be completed and ready for discussion with the court at the Pretrial Conference. ae wy Party/Attorney List. Names, addresses, and phone numbers of each pro se party and attorney. 5 Trial Witnesses List. The name, address and telephone number of any person expected to testify at trial, and a brief statement of each identified person's connection with the case. Draft Jury Charge (if a jury fee has been paid) or Findings of Fact and Conclusions of Law. Modifications may be submitted as the trial progresses. Exhibits. An exhibit list is required. All exhibits must be pre-marked with inadmissible matters redacted(e.g. insurance). Objections to authenticity must be made pursuant to Rule 193.7. Deposition Excerpts or Edited Videotapes. Designate page and line in sequence to be used at trial. Motions in Limine. Trial Scheduling. Estimated trial length, and potential attorney or witness conflicts or travel difficulties. Other. A BRIEF STATEMENT OUTLINING THE NATURE OF THE CASE, THE FACTS, LEGAL CONTENTIONS AND STATUS OF SETTLEMENT NEGOTIATIONS (LAST DEMAND, LAST OFFER). Signed SHARON MCCALLY JUDGE, 334TH DISTRICT COURT DATE GENERATED: 03/27/2008 NICHOLAS DANE LISTI JCVOOL 00794178 Rev.03282002 1001 W BAKER RD STE2 BAYTOWN TX 77521 927000064 Cause No, 200713570 TRPOX BATES, RITA IN THE DISTRICT COURT OF VS HARRIS COUNTY, TEXAS CENTERPOINT ENERGY INC 334TH JUDICIAL DISTRICT TRIAL PREPARATION ORDER O Pursuant to Rule 166 of the Texas Rule of Civil Procedure, before the Pretrial Conference scheduled for this case, the items that are checked below must be furnished to opposing counsel in advance with enough time to allow review for objections, and brought with you to the Pretrial Conference. Pursuant to Rule 166 of the Texas Rules of Civil Procedure, the items that are checked below must be FILED& EXCHANGED by 06/16/2008. Pursuant to Rule 166 of the Texas Rules of Civil Procedure, the items that are checked must be completed and ready for discussion with the court at the Pretrial Conference. eee a Party/Attorney List. Names, addresses, and phone numbers of each pro se party and attorney. 8 Trial Witnesses List. The name, address and telephone number of any person expected to testify at trial, and a brief statement of each identified person's connection with the case. Draft Jury Charge (ifa jury fee has been paid) or Findings of Fact and Conclusions of Law. Modifications may be submitted as the trial progresses. Exhibits. An exhibit list is required. All exhibits must be pre-marked with inadmissible matters redacted(e.g. insurance). Objections to authenticity must be made pursuant to Rule 193.7, Deposition Excerpts or Edited Videotapes. Designate page and line in sequence to be used at trial. Motions in Limine. Trial Scheduling. Estimated trial length, and potential attorney or witness conflicts or travel difficulties. Other. A BRIEF STATEMENT OUTLINING THE NATURE OF THE CASE, THE FACTS. LEGAL CONTENTIONS AND STATUS OF SETTLEMENT NEGOTIATIONS (LAST DEMAND, LAST OFFER). Signed SHARON MCCALLY JUDGE, 334TH DISTRICT COURT DATE GENERATED: 03/27/2008 JAMES DANIEL WOODALL. JCVoot 24008300 Rev,03282002 1400 WDLOCH FRST575 WOODLANDS TX 77380-0000 927000085