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HomeMy WebLinkAbout2110 9. State Statutes none 10. Medical records none 11. X-rays none 12. Mortality tables none 13. All exhibits of defendants. DEFENDANTS NO. DESCRIPTION OBJECTIONS RESERVED: y ain i 1. All exhibits listed on Plaintiff's pretrial statement 2. All exhibits discovered subsequent to this date upon specific provision that opposing counsel be immediately notified. 3. Plaintiff's income tax returns for past five years As to M&R 4. Diagram of accident scene As to M&R 5. Any photographs which may have been taken of accident scene and/or vehicles involved none 6. Any or all x-rays taken of Plaintiff during past five years ~ As to M&R 7. Any or all hospital records pertaining to any admission by Plaintiff to any hospital during past five years All objections 8. Any documentation maintained by Eckerd's Drug Store in connection with any application for employment processed by Plaintiff All objections 9. Personnel file and/or payroll records maintained by any employer for Plaintiff since accident All objections 10. Estimates as to property damage loss All objections f I (3) OTHER PROVISIONS I (a) Additional discovery and witnesses shall be left ~ open until 5 days prior to trial. (b) This case may be transferred to the #3 case on the ' trial docket of 4/23/79, or #7 case on the trial } docket of 5/21/79 due to conflict of attorneys. i (4) EXPERT WITNESSES may be called out of turn by either party. (5) WITNESSES. Only those witnesses listed at the Pre-Trial Conference and names filed with the Clerk up to five . days before trial will be permitted to testify, except the parties themselves and impeachment witnesses. Either party may call any witness listed by any other party. I (6) PEREMPTORY CHALLENGES. Plaintiff shall have three (3) peremptory challenges, and defendants shall have three (3)~ peremptory challenges. ' x~ _ - _ _ _ A ~