IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT DUPAGE COUNTY, ILLINOIS JOHN SMITH, Plaintiff, v BOBBY AJAX and BILLY AJAX, Defendants. ))))))))))) No.Return Date: REQUEST FOR PRODUCTION OF DOCUMENTS TO: and TO: HIS ATTORNEY: YOU ARE HEREBY requested to identify each and every document in your possession, custody or control which is included in each of the following categories. You are further requested to produce each of the documents identified at the place herein specified and to permit the inspection and copying thereof by defendant. 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 TO PRODUCE 1. Any and all documents identified by YOU in YOUR responses to Interrogatories (set one) propounded by, Inc. in conjunction with this demand to produce for inspection and copying. 2. Any and all contracts, agreements, correspondence, memoranda or other DOCUMENTS which YOU contend constitute the contract between YOU and. as more particularly described in the COMPLAINT. 3. Any and all DOCUMENTS which in any way relate to repair work performed by YOU or others on the roof at the subject PROPERTY 4. Any and all documents which YOU believe indicate that work performed by Loeber Construction, Inc. at the PROPERTY was inadequate or defective. 5. Any and all DOCUMENTS which identify the location of alleged DEFECTS YOU maintain exist at the PROPERTY. 6. Any and all DOCUMENTS generated by YOUR expert in this matter. 7. Any and all DOCUMENTS which relate in any way, to prior claims or lawsuits against any persons, entities or employers made by YOU for injury or damages in the last ten years. 8. Any and all original photographs of the roof on the PROPERTY. The inspection and copying will take place at the law offices of , and shall be accomplished by the delivery of the requested documents and the immediate return of the documents to the person who delivered them; provided, however, that the above-described procedure will not be required if, before the date and time set for the production, specifically,., copies of the requested documents are delivered, personally or by mail, with the response to this notice required by COURT RULE 34, to the offices of. Full compliance with this request will require production of actual photographs or negatives. Xerox copies of any requested photograph will not be deemed compliance with this request. Please note that you are required by COURT RULE 34, to file and serve a written response to this request for identification and production within 30 days. DATED this ____ day of May, 2008. ___________________________ Attorneys for Defendant, CERTIFICATE OF MAILING I hereby certify that on this day of May, 2008, I placed a true and correct copy of the foregoing REQUEST FOR PRODUCTION OF DOCUMENTS in the United States Mail, postage prepaid, addressed to counsel on the attached service list: _____________________________________________ An employee of
IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT
DUPAGE COUNTY, ILLINOIS
JOHN SMITH,
Plaintiff,
v
BOBBY AJAX and BILLY AJAX,
Defendants.
)))))))))))
No.Return Date:
REQUEST FOR PRODUCTION OF DOCUMENTS
TO: and
TO: HIS ATTORNEY: YOU ARE HEREBY requested to identify each and every document in your possession, custody or control which is included in each of the following categories. You are further requested to produce each of the documents identified at the place herein specified and to permit the inspection and copying thereof by defendant.
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 TO PRODUCE
1. Any and all documents identified by YOU in YOUR responses to Interrogatories (set one) propounded by, Inc. in conjunction with this demand to produce for inspection and copying.
2. Any and all contracts, agreements, correspondence, memoranda or other DOCUMENTS which YOU contend constitute the contract between YOU and. as more particularly described in the COMPLAINT.
3. Any and all DOCUMENTS which in any way relate to repair work performed by YOU or others on the roof at the subject PROPERTY
4. Any and all documents which YOU believe indicate that work performed by Loeber Construction, Inc. at the PROPERTY was inadequate or defective.
5. Any and all DOCUMENTS which identify the location of alleged DEFECTS YOU maintain exist at the PROPERTY.
6. Any and all DOCUMENTS generated by YOUR expert in this matter.
7. Any and all DOCUMENTS which relate in any way, to prior claims or lawsuits against any persons, entities or employers made by YOU for injury or damages in the last ten years.
8. Any and all original photographs of the roof on the PROPERTY.
The inspection and copying will take place at the law offices of , and shall be accomplished by the delivery of the requested documents and the immediate return of the documents to the person who delivered them; provided, however, that the above-described procedure will not be required if, before the date and time set for the production, specifically,., copies of the requested documents are delivered, personally or by mail, with the response to this notice required by COURT RULE 34, to the offices of.
Full compliance with this request will require production of actual photographs or negatives. Xerox copies of any requested photograph will not be deemed compliance with this request.
Please note that you are required by COURT RULE 34, to file and serve a written response to this request for identification and production within 30 days.
DATED this ____ day of May, 2008.
___________________________
Attorneys for Defendant,
I hereby certify that on this day of May, 2008, I placed a true and correct copy of the foregoing REQUEST FOR PRODUCTION OF DOCUMENTS in the United States Mail, postage prepaid, addressed to counsel on the attached service list:
_____________________________________________
An employee of
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