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: TRIAL BRIEF Comes now defendant, Sierra Vista Apartments, by and through its attorneys of record, , and hereby files its Trial Memorandum. FACTS On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . . ISSUE 1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex? ARGUMENT 1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex? Case law has held that . . . (Fully analyze each authority upon which you are relying, just as you did in your previous Interoffice Memoranda.) CONCLUSION 1. On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . . DATED this ____ day of June, 2008. ATTORNEY NAME State Bar No. 6779 2755 East Rd., Ste. 230 City, State 44444 Attorneys for Plaintiffs CERTIFICATE OF MAILING I hereby certify that on this day of March, 2008, I placed a true and correct copy of the foregoing TRIAL BRIEF 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:
TRIAL BRIEF
Comes now defendant, Sierra Vista Apartments, by and through its attorneys of record, , and hereby files its Trial Memorandum.
On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . .
1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex?
Case law has held that . . . (Fully analyze each authority upon which you are relying, just as you did in your previous Interoffice Memoranda.)
1. On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . .
DATED this ____ day of June, 2008.
ATTORNEY NAME
State Bar No. 6779
2755 East Rd., Ste. 230
City, State 44444
Attorneys for Plaintiffs
I hereby certify that on this day of March, 2008, I placed a true and correct copy of the foregoing TRIAL BRIEF in the United States Mail, postage prepaid, addressed to counsel on the attached service list:
_____________________________________________
An employee of
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