Montana Defendant's First Supplemental response to Plaintiff's Discovery Request

State:
Multi-State
Control #:
US-PI-0192
Format:
Word; 
Rich Text
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This form is a sample of the defendant's first supplemental response to the plaintiff's discovery request in a personal injury action.
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  • Preview Defendant's First Supplemental response to Plaintiff's Discovery Request
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FAQ

They are provided for your information. There is no form for your answer, but you typically have to respond in a specified format, using paper with numbers down the left-hand side, with your name and address at the top left, the name of the court and of the case, and the case number.

The responding party must serve its answers and any objections within 30 days after being served with the interrogatories, except that a defendant may serve answers or objections within 45 days after service of the summons and complaint upon that defendant.

Interrogatories are written questions sent by one party to another, which the responding party must answer under penalty of perjury. Interrogatories allow the parties to ask who, what, when, where and why questions, making them a good method for obtaining new information.

You must answer the questions or file objections to certain questions or the entire set of interrogatories. For example, you might not want to answer a question because it contains incorrect information like asking you to state who treated your broken leg, but you did not break your leg.

Discovery: Responding to Requests for Production or Inspection Complete Your Written Responses. Objections. Make Copies. Have Your Response Served. Retain Your Response and Proof of Service. Produce the Requested Documents and Things.

Objections that may be used in the course of discovery include, but are not limited to the following: Unduly burdensome, Overly broad. Vague. Ambiguous. Disproportional. Protected by the attorney-client privilege. Work product doctrine.

Your answers to the interrogatories should usually be short, clear, and direct and should answer only the question that is being asked.

If you object to a discovery request, generally you have to let the other side know that you are not giving him/her documents that s/he has asked for.

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Montana Defendant's First Supplemental response to Plaintiff's Discovery Request