§ 9-11-123. Form of motion to intervene as a defendant under section 9-11-24
§ 9-11-123. Form of motion to intervene as a defendant under section 9-11-24
IN THE _____ COURT OF _____ COUNTY |
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STATE OF GEORGIA |
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A.B., |
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Plaintiff |
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v. |
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Civil action |
C.D., |
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File no. _____ |
Defendant |
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E.F., |
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Applicant for |
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Intervention |
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--MOTION TO INTERVENE AS A DEFENDANT--
E.F. moves for leave to intervene as a defendant in this action, in order to assert the defenses set forth in his proposed answer, of which a copy is hereto attached, on the ground that _____.
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______________________________________ |
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Attorney for E.F., applicant |
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for intervention |
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______________________________________ |
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Address |
--NOTICE OF MOTION--
--(Contents the same as in Code Section 9-11-119)--
IN THE _____ COURT OF _____ COUNTY |
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STATE OF GEORGIA |
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A.B., |
) |
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Plaintiff |
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v. |
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Civil action |
C.D., |
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File no. _____ |
Defendant |
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E.F., |
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Intervenor |
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--INTERVENOR'S ANSWER--
--First Defense--
Intervenor admits the allegations stated in paragraphs 1 and 4 of the complaint, denies the allegations in paragraph 3, and denies the allegations in paragraph 2 insofar as they assert the _____.
--Second Defense--
(Set forth defenses)
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______________________________________ |
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Attorney |
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for E.F., intervenor |
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______________________________________ |
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Address |
(Like form if intervention is as plaintiff).
END OF DOCUMENT
© 2011 Thomson Reuters. No Claim to Orig. US Gov. Works.
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West's Code of Georgia Annotated Currentness
Title 9. Civil Practice
Chapter 11. Civil Practice Act (Refs & Annos)
Article 10. Forms
§ 9-11-124. Form of motion for production of documents, etc., under section
--IN THE _____ COURT OF _____ COUNTY--
--STATE OF GEORGIA--
A.B., |
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Plaintiff |
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Civil action |
v. |
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File no. __________ |
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C.D., |
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Defendant |
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--MOTION FOR PRODUCTION OF DOCUMENTS--
Plaintiff A.B. moves the court for an order requiring defendant C.D.:
1.
To produce and to permit plaintiff to inspect and to copy each of the following documents: (Here list the documents and describe each of them).
2.
To produce and to permit plaintiff to inspect and to photograph each of the following objects: (Here list the objects and describe each of them).
3.
To permit plaintiff to enter (here describe property to be entered) and to inspect and to photograph (here describe the portion of the real property and the objects to be inspected and photographed).
Defendant C.D. has the possession, custody, or control of each of the foregoing documents and objects and of the above-mentioned real estate. Each of them constitutes or contains evidence relevant and material to a matter involved in this action, as is more fully shown in Exhibit A hereto attached.
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______________________________________ |
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Attorney for plaintiff |
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______________________________________ |
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Address |
--NOTICE OF MOTION--
--(Contents the same as in Code Section 9-11-119)--
--EXHIBIT A--
--AFFIDAVIT--
State of _____,
County of _____
A.B., being first duly sworn says:
1.
(Here set forth all that plaintiff knows which shows that defendant has the papers or objects in his possession or control.)
2.
(Here set forth all that plaintiff knows which shows that each of the above-mentioned items is relevant to some issue in the action.)
Sworn to and subscribed |
______________________________________ |
before me this _____ |
A.B., |
day of _____, _____. |
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______________________________________ |
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Address |