IN THE CIRCUIT COURT FOR BALTIMORE CITY, MARYLAND
AMY WHITE, Plaintiff v BOBO HARMON, et al, Defendants |
CASE NO.: 05-C-06-6511 |
PLAINTIFF’S REQUEST FOR PRODUCTION OF DOCUMENTS TO DEFENDANTS
TO: BOBO HARMON and JACK HARMON, Defendants, to be answered individually and separately
FROM: AMY WHITE, Plaintiff
You are requested to file within thirty (30) days a written response
to request on the (attached Document Schedule) and to produce
those documents for inspection and copying on
(a) Your written response shall state with respect to each item
or category, that inspection-related activities will be permitted
as requested, unless request is refused, in which event the reasons
for refusal shall be stated. If the refusal relates to part of
an item or category, that part shall be specified.
(b) In accordance, the documents shall be produced as they are
covered in the usual course of business or you shall organize
and label them to correspond with the categories in the request.
(c) These requests shall encompass all items within your possession,
custody or control.
(d) These requests are continuing in character so as to require
you to promptly amend or supplement your response if you obtain
further material information.
(e) If in responding to these requests you encounter any ambiguity
in construing any request, instruction or definition, set forth
the matter deemed ambiguous in the construction used, in responding.
DEFINITION
As used in these requests, the following terms are to be interpreted
in accordance with these definitions:
(a) The term "person" includes any individual, joint
stock company, unincorporated association or society, municipal
or other corporation, state, which agencies or political subdivisions,
and court, or any other governmental entity.
(b) The terms "you" or "your" include the
persons to whom these requests are addressed, and all that person's
agents, representatives or attorneys.
(c) In accordance, the terms, "document" or "documents"
includes all writings, drawings, graphs, charts, photographs,
recordings, and any other data computations from which information
can be obtained, translated, if necessary by (you), through detection
devices, into reasonably usable form.
(d) The term "occurrence" means the incident complained
out in the Plaintiff's complaint.
DOCUMENTS TO BE PRODUCED
1. All documents identified in your answers to Interrogatories.
2. All written reports of each person whom you expect to call
as an expert witness at trial.
3. All documents upon which any expert witness you intend to call
at trial relied to form an opinion.
4. The most recent resume or curriculum vitae of each expert whom
you expect to call as an expert witness at trial.
5. All notes, correspondence, bills, invoices, diagrams, photographs,
x-rays or other documents prepared or reviewed by each person
whom you expect to call as an expert witness at trial.
6. All invoices generated by expert witnesses generated for performing
all expert witness services to the defendant, including but not
limited to, the fees for the medical examination, the records
review, the pretrial preparation, any telephone conference, any
trial testimony anticipated and any other fee paid by the defendants
for expert fees.
7. All written, recorded, or signed statements of any party, including
the Plaintiff, Defendant, witnesses, investigators, or agent,
representative or employee of the parties concerning the subject
matter of this action.
8. All photographs, videotapes or audio tapes, x-rays, diagrams,
medical records, surveys or other graphic representations of information
concerning the subject matter of this action, the Plaintiff, or
property damage.
9. Any documents which afforded liability insurance for the incident
which is the subject matter of the Plaintiff's Complaint.
10. Any documents identified in any other parties' Answers to
Interrogatories.
11. Any documents received pursuant to a subpoena request.
12. Any document prepared during the regular course of business
as a result of the incident complained of in the Plaintiff's Complaint.
13. Copies of any treaties, standards in the industry, legal authority,
rule, case, statute, or code, that will be relied upon in the
defense of this case.
14. All maintenance records concerning the vehicle being driven
by the Defendant on the date of the accident for the two (2) years
prior to the accident.
15. Any and all invoices, logs, sales receipts, itineraries, or
schedules for the
Defendant.
It is requested that the aforesaid production be made within thirty
(30) days of service of this request at the offices of Law Offices
of Miller & Zois, LLC, Empire Towers, Suite 615, 7310 Ritchie
Highway, Glen Burnie, Maryland, 21061.
Respectfully submitted,
MILLER & ZOIS, LLC
Ronald
V. Miller, Jr.
Laura
G. Zois
Empire
Towers, Suite 1001
7310
Ritchie Highway
Glen
Burnie, Maryland 21061
(410)553-6000
(410)760-8922
(fax)
Attorneys
for the Plaintiff

