This form is a sample letter in Word format covering the subject matter of the title of the form.
[Your Name] [Your Address] [City, State, ZIP] [Email Address] [Phone Number] [Date] [Opposing Party's Attorney's Name] [Opposing Party's Attorney's Address] [City, State, ZIP] Re: Request for Answers to Discovery Material Dear [Opposing Party's Attorney's Name], I hope this letter finds you well. I am writing on behalf of my client, [Your Client's Name], in relation to the discovery phase of the case [Case Name and Number]. As you are aware, the discovery phase plays a crucial role in obtaining relevant information and evidence necessary for a fair trial. Pursuant to the Connecticut Rules of Civil Procedure, specifically Rule XX, my client requests that you provide answers to the following discovery material within [state the time frame]: 1. Interrogatories: Please respond to the enclosed set of interrogatories, numbered one through [state the total number of interrogatories]. These interrogatories seek detailed information pertaining to the facts of the case, the individuals involved, and any relevant documents or evidence. 2. Request for Production of Documents: Please produce all documents and tangible things related to this case, as requested in the enclosed document labeled "Request for Production of Documents." Kindly provide responsive documents including, but not limited to, correspondence, contracts, photographs, videos, medical records, financial statements, and any other relevant evidence. 3. Request for Admission: We request you to respond to the enclosed document labeled "Request for Admission." Please provide clear and concise admissions or denials to each statement. Failure to respond to these requests will result in the statements being deemed admitted. 4. Deposition Scheduling: Please inform us of your availability for depositions by [state a specific deadline]. We aim to work collaboratively to schedule depositions of all relevant parties, including expert witnesses, in a timely manner. Please provide dates, times, and locations that are suitable for your client's appearances. Furthermore, we kindly request that all responses and documents be provided in written format either by mail or electronically, in accordance with the rules and regulations of the Connecticut Superior Court. Please note that our client is eager to proceed with the discovery phase promptly, and we expect your full cooperation and timely responses to this letter. Should you require any clarification or extension of the requested time frame, please notify us in writing as soon as possible. Thank you for your cooperation in this matter. We look forward to receiving your prompt responses within the designated time frame. Yours sincerely, [Your Name] [Your Law Firm's Name] [Your Law Firm's Address] [City, State, ZIP][Your Name] [Your Address] [City, State, ZIP] [Email Address] [Phone Number] [Date] [Opposing Party's Attorney's Name] [Opposing Party's Attorney's Address] [City, State, ZIP] Re: Request for Answers to Discovery Material Dear [Opposing Party's Attorney's Name], I hope this letter finds you well. I am writing on behalf of my client, [Your Client's Name], in relation to the discovery phase of the case [Case Name and Number]. As you are aware, the discovery phase plays a crucial role in obtaining relevant information and evidence necessary for a fair trial. Pursuant to the Connecticut Rules of Civil Procedure, specifically Rule XX, my client requests that you provide answers to the following discovery material within [state the time frame]: 1. Interrogatories: Please respond to the enclosed set of interrogatories, numbered one through [state the total number of interrogatories]. These interrogatories seek detailed information pertaining to the facts of the case, the individuals involved, and any relevant documents or evidence. 2. Request for Production of Documents: Please produce all documents and tangible things related to this case, as requested in the enclosed document labeled "Request for Production of Documents." Kindly provide responsive documents including, but not limited to, correspondence, contracts, photographs, videos, medical records, financial statements, and any other relevant evidence. 3. Request for Admission: We request you to respond to the enclosed document labeled "Request for Admission." Please provide clear and concise admissions or denials to each statement. Failure to respond to these requests will result in the statements being deemed admitted. 4. Deposition Scheduling: Please inform us of your availability for depositions by [state a specific deadline]. We aim to work collaboratively to schedule depositions of all relevant parties, including expert witnesses, in a timely manner. Please provide dates, times, and locations that are suitable for your client's appearances. Furthermore, we kindly request that all responses and documents be provided in written format either by mail or electronically, in accordance with the rules and regulations of the Connecticut Superior Court. Please note that our client is eager to proceed with the discovery phase promptly, and we expect your full cooperation and timely responses to this letter. Should you require any clarification or extension of the requested time frame, please notify us in writing as soon as possible. Thank you for your cooperation in this matter. We look forward to receiving your prompt responses within the designated time frame. Yours sincerely, [Your Name] [Your Law Firm's Name] [Your Law Firm's Address] [City, State, ZIP]