PAR 202 ADR File
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School
Pima Community College *
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Course
202
Subject
Law
Date
Apr 3, 2024
Type
docx
Pages
14
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Anne Johnson 100 Congress Street Phoenix AZ 85001
9603103762
ajohnson@legal.com
UNITED STATES DISTRICT COURT
JOHN JONES,
Plaintiff,
vs.
SUSAN SMITH,
Defendant.
NO. 03 C 1000
PLEADING TITLE
Phoenix AZ 85001
960-310-3782
DEFENDANT - 1
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Defenses theory:
In the theory of the defense is that SUSAN SMITH is not liable for any of the damages of the plaintiff based on the discovery given from the Plaintiff. Plaintiff’s claimed injuries and damages were caused by plaintiff’s own negligence, which was the
sole proximate cause of any injuries and damages plaintiff may have received. WHEREFORE, defendant requests that plaintiff receive nothing, and that judgment be entered for the defendant, including costs of this action.
DEFENDANT - 2
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List of Pleadings
DEFENDANT - 3
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Client Letter
September 25, 2023
SusanSmith
100 Congress St
Phoenix AZ 85001
Dear Susan Smith,
I am here to inform you based on the information we have obtained on witness testimony which is also included in the expert witness testimony as well with the accident itself. Upon that the expert witness testimony is besides the physical evidence, will be the most crucial of the evidence given for this trial. Any statements given by a witness will be found based on the attorney. The police will have reports on the accident with the admissibility. The medical reports will be put in of the plaintiff as in describing the injuries of the accident as well as a combination
of experts who have treated him and obtained the plaintiffs treatment and may rebuttal that testimony for their case in chief.
If you have any questions, please do not hesitate to contact me or Mr. Sharp for further explanation.
Best regards, Arturo Tafoya, Paralegal
William Sharp
Attorney for the Defendant
100 Broadway
Phoenix, AZ 85001
520-488-4361
DEFENDANT - 4
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NOTICE OF DEPOSITION William Sharp
100 Broadway
Phoenix AZ 85001
9603103762
wsharp@legal.com
United States District Court
JOHN JONES,
Plaintiff,
vs.
SUSAN SMITH,
Defendant.
Case No.: 02-CV-56147
PLEADING TITLE
Notice of deposition
To: Witness James Devo
Please take notice that the undersigned will take the deposition of John Jones, Plaintiff on October 30, 2023, at 9:00 a.m. at 100 Broadway, Phoenix AZ 85001. You are hereby notified that the plaintiff is to appear at that time and place that is stated and has the availability to submit to a deposition under oath.
DEFENDANT - 5
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