SUPERIOR COURT OF CALIFORNIA COUNTY OF ______________ ) NO. ______________ _______________, ) Plaintiff, ) vs. ) PLAINTIFF’S ) REQUEST FOR _______________ ) ADMISSIONS Defendant. ) ) ___________________________________ ) Plaintiff, _______________, through his undersigned attorney, sues Defendant, _______________, a Florida corporation, and alleges: TO: and TO: HIS ATTORNEY: YOU ARE HEREBY requested to admit or deny the statements contained herein and serve your responses upon PLAINTIFF within thirty days of receipt of these requests pursuant to Rule _________. DEFINITIONS 1. “COMPLAINT” shall mean and refer to Plaintiff’s complaint originally filed on in Department of the _____________ County District Court, Case No2. “PROPERTY” shall mean and refer to the real property owned by, in the City of _____________, County of _____________, State of _____________. 3. “YOU”, “YOUR”, “YOURS”, and/or “PLAINTIFF” shall mean and refer to Steven Smith, as well as, his agents, attorneys, employees, accountants, family members, investigators, or any other person acting on his behalf. 4. “DOCUMENT” refers to any tangible piece of paper or evidence, including, but not limited to, letters, correspondence, contracts, proposals, subcontracts, invoices, bills, receipts, memoranda, notes, blueprints, drawings, reports, photographs, microfilm, videotapes, and/or computer input documentation. 5. “DEFECT” means that portion of the property which Plaintiff maintains has been inadequately constructed, repaired, designed, re-roofed, or otherwise improved so that the alleged conditions have caused damage to. REQUEST FOR ADMISSIONS 1. Admit or deny YOU had a valid contract with DEFENDANT for the general purposes outlined in paragraph 6 of PLAINTIFF’S COMPLAINT. 2. Admit or deny YOU retained the firm of Davis, Kronig and Associates for the purposes of quality control during the duration of the aforesaid contract. 3. Admit or deny YOU informed the firm of Davis, Kronig and Associates that YOU were concerned about the quality of construction at ABC APARTMENT BUILDING. Please note that you are required by COURT RULE 36, to file and serve a written response to this request for identification and production within 30 days. DATED this ____ day of May, 1999. ____________________________ Attorneys for Defendant, CERTIFICATE OF MAILING I hereby certify that on this day of May, 1999, I placed a true and correct copy of the foregoing REQUEST FOR ADMISSIONS in the United States Mail, postage prepaid, addressed to counsel on the attached service list: _____________________________________________ An employee of
SUPERIOR COURT OF CALIFORNIA
COUNTY OF ______________
) NO. ______________
_______________, )
Plaintiff, )
vs. ) PLAINTIFF’S
) REQUEST FOR
_______________ ) ADMISSIONS
Defendant. )
)
___________________________________ )
Plaintiff, _______________, through his undersigned attorney, sues Defendant, _______________, a Florida corporation, and alleges:
TO: and
TO: HIS ATTORNEY:
YOU ARE HEREBY requested to admit or deny the statements contained herein and serve your responses upon PLAINTIFF within thirty days of receipt of these requests pursuant to Rule _________.
1. “COMPLAINT” shall mean and refer to Plaintiff’s complaint originally filed on in Department of the _____________ County District Court, Case No2. “PROPERTY” shall mean and refer to the real property owned by, in the City of _____________, County of _____________, State of _____________.
3. “YOU”, “YOUR”, “YOURS”, and/or “PLAINTIFF” shall mean and refer to Steven Smith, as well as, his agents, attorneys, employees, accountants, family members, investigators, or any other person acting on his behalf.
4. “DOCUMENT” refers to any tangible piece of paper or evidence, including, but not limited to, letters, correspondence, contracts, proposals, subcontracts, invoices, bills, receipts, memoranda, notes, blueprints, drawings, reports, photographs, microfilm, videotapes, and/or computer input documentation.
5. “DEFECT” means that portion of the property which Plaintiff maintains has been inadequately constructed, repaired, designed, re-roofed, or otherwise improved so that the alleged conditions have caused damage to.
REQUEST FOR ADMISSIONS
1. Admit or deny YOU had a valid contract with DEFENDANT for the general purposes outlined in paragraph 6 of PLAINTIFF’S COMPLAINT.
2. Admit or deny YOU retained the firm of Davis, Kronig and Associates for the purposes of quality control during the duration of the aforesaid contract.
3. Admit or deny YOU informed the firm of Davis, Kronig and Associates that YOU were concerned about the quality of construction at ABC APARTMENT BUILDING.
Please note that you are required by COURT RULE 36, to file and serve a written response to this request for identification and production within 30 days.
DATED this ____ day of May, 1999.
____________________________
Attorneys for Defendant,
I hereby certify that on this day of May, 1999, I placed a true and correct copy of the foregoing REQUEST FOR ADMISSIONS in the United States Mail, postage prepaid, addressed to counsel on the attached service list:
_____________________________________________
An employee of
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