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Massachusetts Interrogatories to Defendant for Motor Vehicle Accident

State:
Massachusetts
Control #:
MA-222-MV
Format:
Word; 
Rich Text
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Description

This is a sample set of 28 Interrogatories from Plaintiff to Defendant for use in connection with a vehicle incident, such as an automobile accident.
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  • Preview Interrogatories to Defendant for Motor Vehicle Accident
  • Preview Interrogatories to Defendant for Motor Vehicle Accident
  • Preview Interrogatories to Defendant for Motor Vehicle Accident
  • Preview Interrogatories to Defendant for Motor Vehicle Accident
  • Preview Interrogatories to Defendant for Motor Vehicle Accident

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FAQ

You must answer each interrogatory separately and fully in writing under oath, unless you object to it. You must explain why you object. You must sign your answers and objections.

Your name and address. The Court's name. The title of the case. Case number. Fill your name in as the Requesting Party. On the following pages, choose which questions you wish to ask by checking boxes next to the questions you wish to ask.

You may object to Form Interrogatories, but be careful to use the proper objection. Using the wrong one or using every single one may lead the court to view you as misusing the discovery process and make you pay sanctions.

Your answers to the interrogatories should usually be short, clear, and direct and should answer only the question that is being asked. This is not the time to set out your entire case or defense to the other side. Take the time to make sure your answers are correct and truthful.

You must answer each interrogatory separately and fully in writing under oath, unless you object to it. You must explain why you object. You must sign your answers and objections.

So, can you refuse to answer interrogatories? The answer is, no, you may not. You must answer a Rule 33 interrogatory within 30 days of being served with it. That answer must either permit inspection of the requested information or object to the production of the information for a specific reason.

Personal/Corporate information of opposing party. Identifying information of witnesses. Contact information & background of expert witnesses. Insurance information.

Your answers to the interrogatories should usually be short, clear, and direct and should answer only the question that is being asked. This is not the time to set out your entire case or defense to the other side. Take the time to make sure your answers are correct and truthful.

Have a strategy. Adjust the scope of your requests to the questions at issue. Send clear requests. Always consider how your client would be prepared to respond to similar requests. Make your objections clear and specific.

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Massachusetts Interrogatories to Defendant for Motor Vehicle Accident