Middlesex Massachusetts Sample Letter regarding Plaintiff's Amended Designation of Experts [Your Name] [Your Address] [City, State, ZIP Code] [Email Address] [Phone Number] [Date] [Recipient's Name] [Recipient's Address] [City, State, ZIP Code] Re: [Case Name and Number] Dear [Recipient's Name], I hope this letter finds you well. I am writing to address the matter of the Plaintiff's Amended Designation of Experts in the aforementioned case. Please consider this letter as our official response and objection to the amendment made by the Plaintiff. First and foremost, we would like to express our concern regarding the timing of the Plaintiff's amendment. As per the scheduling order issued by this honorable court on [date], all parties were required to designate their experts by [deadline date]. It has come to our attention that the Plaintiff has made amendments to their initial expert designation after this deadline, which we believe is in violation of the court's instructions. Furthermore, we contest the relevancy and admissibility of the experts newly designated by the Plaintiff. While it is crucial for each party to present qualified experts to support their respective claims, it is essential that the experts selected possess the necessary expertise, knowledge, and experience directly related to the issues at hand. Upon reviewing the amended designation, we find that some experts listed do not possess the qualifications required to render opinions on the matters central to this case. Additionally, it is important to note that the Plaintiff's amended designation includes experts who have not been properly disclosed, as required by the rules of this jurisdiction. The lack of disclosure impedes our ability to adequately prepare for trial, as we have not been given sufficient time to assess the credentials and proposed opinions of these newly designated experts. In light of these concerns, we kindly request the court to deny the Plaintiff's Amended Designation of Experts. Our legal team firmly believes that this amendment is unjustifiably late, fails to meet the requisite qualifications, and lacks the necessary scrutiny required for expert designations. Granting such an amendment would prejudice our ability to present a fair and just defense. We respectfully ask that the court uphold the provision set forth in the scheduling order and dismiss the Plaintiff's amended designation. Our team stands ready to defend our position at any necessary hearing or further proceedings. Thank you for your attention to this matter. Should you require any further information or clarification, please do not hesitate to contact me at your earliest convenience. Sincerely, [Your Name]