Our List of Exhibits
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Nancy Deloach, In Pro PerCraig Deloach, In Pro Per1815 Virginiatown Rd.Lincoln, Ca 95648(916) 645-2768Fax: (916) 645-2768
SUPERIOR COURT OF THE STATE OF CALIFORNIAFOR THE COUNTY OF PLACER
- Limited Civil Case -
LINDA JEAN STYVE BUISSON ) )
PLAINTIFF ) vs. )
) NANCY ANN STYVE DELOACH & ) CRAIG WARNER DELOACH )
) DEFENDANTS )
____________________________________)
Defendants, Craig and Nancy DeLoach, herein submit their list of Exhibits to be used at the trial of
the above-entitled action.
1. Any and all written documents/records, memorandums, correspondence, pleading or
otherwise that appear in the courts’ files for this action and any other action related to the
parties.
2. Any and all exhibits identified in Plaintiffs' Witness and Exhibit List.
3. Any and all answers or excerpts, if any, from all depositions, answers to interrogatories and
responses to requests for production and responses to requests for admissions.
4. Any and all deposition transcripts and any and all exhibits attached thereto taken in this cause
of action, including but not limited to the following:
a. Craig and Nancy DeLoach, taken July 7, 2014.
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DEFENDANT’S LIST OF EXHIBITS
Case No: MCV0059951
DEFENDANT’S LIST OF EXHIBITS
Complaint Filed: 12/2/13Trial date: 8/25/14
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5. Any and all documents that have been recorded with the Placer County Recorders Office.
6. Any and all documents, communications, attachments, notices and electronic messages
between the Plaintiff and Defendants and/or Defendants’ family members and associates.
7. Any and all documents, communications, and electronic messages to and from Parker
Stanbury LLP, Attorneys or any other Attorney related to the issues of this lawsuit.
8. Any and all documents, communications, and electronic messages to and from Sheryl
Cardoza, Real Estate Agent.
9. Any and all documents, communications, and electronic messages to and from any potential
buyers of the properties at issue.
10. Any and all documents, spreadsheets or otherwise that are related to the usage and repayment
of the Loan Agreement funds.
11. Any and all records, documents, spreadsheets or otherwise ascribed to the properties at issue
and related to any out of pocket expenses, supplied labor or materials or any other items of
value attributed to the Defendants, DeLoach family and DeLoach Associates.
12. Any and all documentary evidence obtained through electronic discovery of matters relative
to the issues presented in this lawsuit.
13. Any and all records pertaining to laws, rules, codes, bills, proposals. Ordinances, or other
legislative matters relative to the issues presented in this lawsuit.
14. Any and all exhibits which become known subsequent to the filing of this list and prior to the
trial in this matter.
Defendants reserve the right to further supplement or substitute exhibits as they become known.
Dated: August 11, 2014 ___________________________________Nancy DeLoach – In Pro Per
___________________________________Craig DeLoach – In Pro Per
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DEFENDANT’S LIST OF EXHIBITS