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Found 2 results

  1. Hi, I have been sued by Hunt and Henriques, and it's now around 35 days until Trial. Since I am a senior citizen and in bad health, I am looking for any kind of help I can get with drafting a motion to continue trial due to my health condition. I can barely walk even with a walker, and have numerous other physical conditions and am wondering if those would be valid grounds to get a continuance. Also, I have a question on how to object to one of Plaintiff's requests in their RPD (the CCP1987 one). The first two, I think I can handle, but the third has left me confused. But, first, here is t
  2. Gentlemen/ Ladies, Can anyone teach me in a very plain simple way, how to make use of CCP 96, 98 and even CCP 1987 to get the best possible for defendant against JDB ? I read and heard about the "within 150 miles" issues, but I am confused how to handle differently to witness within/ & beyond 150 miles distance? Also, when is a good time to send CCP96 & 98 ? My feeling is if too close to the trial, defendant will not have sufficient time, then, when is it considered to early that the plaintiff JDB simple refuse to reply? Last, CCP 1987, how does it applies to work with 96&9