SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK----------------------------------------------------------x JOHN DOE, Plaintiff, -against- PHILLIP DUNCAN, Defendant. ----------------------------------------------------------x ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Index No. _______ TRIAL BRIEF Comes now defendant, Sierra Vista Apartments, by and through its attorneys of record, , and hereby files its Trial Memorandum. FACTS On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . . ISSUE 1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex? ARGUMENT 1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex? Case law has held that . . . (Fully analyze each authority upon which you are relying, just as you did in your previous Interoffice Memoranda.) CONCLUSION 1. On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . . DATED this ____ day of June, 2008. ATTORNEY NAME State Bar No. 6779 2755 East Rd., Ste. 230 City, State, Zip Attorneys for Plaintiffs
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK----------------------------------------------------------x
JOHN DOE,
Plaintiff,
-against-
PHILLIP DUNCAN,
Defendant.
----------------------------------------------------------x
)
Index No. _______
TRIAL BRIEF
Comes now defendant, Sierra Vista Apartments, by and through its attorneys of record, , and hereby files its Trial Memorandum.
On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . .
1. Did the Defendant fail to act in a reasonable amount of time to correct property defects at the Sierra Vista Apartment Complex?
Case law has held that . . . (Fully analyze each authority upon which you are relying, just as you did in your previous Interoffice Memoranda.)
1. On June 4, 1998 the Defendant and Plaintiff entered into a contractual relationship. The terms of the contract called for . . .
DATED this ____ day of June, 2008.
ATTORNEY NAME
State Bar No. 6779
2755 East Rd., Ste. 230
City, State, Zip
Attorneys for Plaintiffs
I hereby certify that on this day of March, 2008, I placed a true and correct copy of the foregoing TRIAL BRIEF in the United States Mail, postage prepaid, addressed to counsel on the attached service list:
_____________________________________________
An employee of
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