HomeMy WebLinkAbout2480 three (3) days notice, demanding their removal from the premises.
2. EVIDENCE. The Defendants, having failed to appear at
the Pre-Trial Conference, which was conducted on May 14, 1980, docu-
mentary and other evidence listed and presented at the Pre-Trial Con-
ference, listed on Plaintiff's Pre-Trial Statement, shall be admitted
into evidence.
The Defendants having failed to file a Pre-Trial Statement,
shall be precluded from presenting documentary evidence and other tangi-
ble objects at trial.
3. OTHER PROVISIONS. The Plaintiff having requested that
the Court rule on unusual.or questionable points of law, it is
ORDERED AND ADJUDGED as follows:
a. The Court will reserve ruling on whether or not the
Plaintiff may offer evidence of similar facts, wrongs, and acts, admitted
by the Defendants to prove material facts and issue, as proof of motive,
opportunity, intent, preparation, plan, knowledge and absence of mistake
or accident. The Court is cognizant of Florida Statutes §90.404(2)(a).
b. The Court will take judicial notice of any Court
records in the Saint Lucie County Courthouse concerning files on similar
litigation involving the Defendants provided the Plaintiff is specific
in its request.
c. The Defendants, having failed to produce their 1977 and
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1978 Federal Income Tax Returns at the time of their deposition on October
19, 1979, the Court orders the Defendants_to produce their 1977 and 1978
Federal Income Tax Returns at the offices of the Plaintiff's attorneys
within five (5) days of the signing of this Order or else show cause why
they cannot produce said IRS records. If they neither produce the records
or show cause why they cannot produce the records, they shall be held in
contempt of Court.
~ d. The Defendants, having refused to respond to inquiries
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at the time of their deposition on October 19, 1979, as to whether or not
they have been convicted of felonies, the Defendants are ordered to
respond in writing, to said question within five (5) days of the signing '
or this Order, or else be in contempt of Court.
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JAMES b~ LESNIAK, P.A., ATTORNEYS AT LAW P.O. DRAWER 3351 ~ FORT PIERCE, FLORIDA 33450 TELEPHONE 305-461-2500 '