Judge Kirk Athanasiou
Individual Rules, Standing Orders & Policies
- Rules last changed:

Limits & Logistics
Document Limits
Courtesy Copies
Trial Brief
Account, Report, Petition
Court-wide- At Filing
- Probate:Upon Filing
Account, Report, Petition For Guardian Or Conservator, Petition For Temporary Guardian Or Conservator, Accounting, Petition For Medical Consent Authority, Related Pleadings
Court-wide- At Filing
Account, Report, Petition, Guardian Or Conservator Appointment Petition, Temporary Guardian Or Conservator Appointment Petition, Accounting, Medical Consent Authority Petition
Court-wide- 1 copy • Upon Filing

Adjournments
Court-wideRequest must include

Communication
Phone
Chambers
Clerk
Phone
Court-wideClerk
Phone
Court-wideClerk
Phone
Court-wideClerk
Phone
Court-widePhone
Court-wideDuty Judge
Page & Word Limits2 rules
Checked against the court's document on Oct 2, 2026Mandatory
Trial briefs must be filed at least 10 days before trial, summarize the factual issues, address novel or unique legal issues, state requested relief, and not exceed 20 pages without leave of court.
Trial briefs: Serve briefs to each other and must be filed with the Court at least 10 days before trial. Trial briefs must summarize the outstanding issues of facts to be tried. Novel or unique issues of the law should also be briefed. Trial briefs must not exceed twenty (20) pages without leave of court. Trial briefs should contain the contested issues of fact and a statement of the relief requested.
Trial Brief
20 pages
Checked against the court's document on Oct 2, 2026Mandatory
A closing trial brief may not exceed 20 pages unless the court grants leave.
Closing trial briefs shall not exceed 20 pages without leave of the court.
Closing Trial Brief
20 pages
Document Format Requirements1 rule
Not confirmed. Read the court's wording below.Mandatory?
The exhibits are to be pre-marked and shall be numbered. Use numbers for Plaintiff and letters for Defendant. Exhibits should be “Bates” stamped or numbered through some sequential numbering program. (PDF generated page numbers are acceptable); If Respondent intends to present more than 26 lettered exhibits, then starting with the 27th Exhibit, Respondent shall use numbers, starting with exhibit “R500, R501, R502, etc.,”
Summary: Trial exhibits must be pre-marked and numbered, using numbers for Plaintiff, letters for Defendant, and numbers beginning at 500 for Respondent’s 27th and later exhibits.
Document Filing Requirements5 rules
Checked against the court's document on Oct 2, 2026Important
The parties must meet and confer about stipulating to document authenticity and admissibility and must identify identical intended exhibits as joint exhibits.
5. The Court orders the parties to meet and confer for the purposes of stipulating to the authenticity and admissibility of documents, where possible. If there are identical exhibits that both parties intend to admit, please mark them as joint exhibits, i.e. Joint Exhibit 1, or JE-1, JE-2, etc.
Document Type
Exhibits
Checked against the court's document on Oct 2, 2026Important
Each witness-list entry should include a brief statement or offer of proof summarizing the witness’s anticipated testimony.
Witness lists should include a brief statement / offer of proof summarizing the testimony anticipated to be given by each witness.
Document Type
Witness List
Not confirmed. Read the court's wording below.Important?
3. Prepare a table of exhibits with two columns, labeled “Identified” and Admitted” for the Courtroom Clerk on the day of trial.
Summary: Parties must prepare a two-column exhibit table labeled “Identified” and “Admitted” for the courtroom clerk on the first day of trial.
Document Type
Table Of Exhibits
Not confirmed. Read the court's wording below.Important?
By each requested motion, please insert a “decision line” as follows: “Granted ________ Denied _________ Modified ________ Reserved ________”
Summary: Each requested motion in limine must include the specified decision line.
Document Type
Motion In Limine
We could not find this wording in the court's document. Open the source before relying on it.Important?
Trial briefs must summarize the outstanding issues of facts to be tried. Novel or unique issues of the law should also be briefed. Trial briefs should contain the contested issues of fact and a statement of the relief requested.
Machine summary and details
Summary: Trial briefs must summarize the factual issues, should address novel or unique legal issues, and should state the contested factual issues and requested relief.
Document Type
Trial Brief
Filing & Service rules
Filing Timing and Cure Windows
The court will accept late documents only for good cause, and noncompliance may result in sanctions or a trial delay.
The Court will not accept late documents without good cause. Failure to comply may result in sanctions being imposed or a delay in the trial.
Checked and corrected to match the court's document on Oct 2, 2026 · Civil cases
Page 1 | Preamble
Trial briefs must be filed with the court at least 10 days before trial.
Serve briefs to each other and must be filed with the Court at least 10 days before trial.
Checked against the court's document on Oct 2, 2026 · Civil cases
Page 2 | A. Trial Submittal Timeline
The matter will not be deemed submitted until both parties have filed the closing trial brief.
The Court will not deem the matter submitted until both Parties file and serve the Closing Trial Brief.
Not confirmed. Read the court's wording below. · Civil cases
Page 3 | A. Trial Submittal Timeline
Service and Proof of Service Rules
A document served within seven days before trial must be hand-delivered, unless the receiving party agrees to electronic mail or fax service.
Any document served on another party 7 days or fewer before trial must be served by hand delivery, or, only if the receiving party has agreed, by electronic mail or fax.
Checked and corrected to match the court's document on Oct 2, 2026 · Civil cases
Page 2 | B. Additional Trial Requirements
Both parties must serve the closing trial brief, and the matter is not submitted until that service occurs.
The Court will not deem the matter submitted until both Parties file and serve the Closing Trial Brief.
Checked against the court's document on Oct 2, 2026 · Civil cases
Page 3 | A. Trial Submittal Timeline
Fourteen days before trial, parties must serve the trial exhibits and exhibit list, with exhibits pre-marked and numbered using party-specific numbering conventions.
1. Serve trial exhibits and exhibit list on the other party. The exhibits are to be pre-marked and shall be numbered. Use numbers for Plaintiff and letters for Defendant. Exhibits should be “Bates” stamped or numbered through some sequential numbering program. (PDF generated page numbers are acceptable); If Respondent intends to present more than 26 lettered exhibits, then starting with the 27th Exhibit, Respondent shall use numbers, starting with exhibit “R500, R501, R502, etc.,”
Not confirmed. Read the court's wording below. · Civil cases
Page 1 | A. Trial Submittal Timeline
Seven days before trial, parties must serve and file a list identifying all non-expert witnesses.
Witness lists. Parties shall serve and file with court a list of all non-expert witnesses.
Not confirmed. Read the court's wording below. · Civil cases
Page 2 | A. Trial Submittal Timeline
Courtesy Copy Requirements
An electronic courtesy copy of the trial brief must be sent to the stated Department 14 email address.
Send an electronic courtesy copy of trial brief to Dept14@contracosta.courts.ca.gov
Checked and corrected to match the court's document on Oct 2, 2026 · Civil cases
Page 2 | A. Trial Submittal Timeline
Filing Bundling Requirements
All motions in limine are encouraged to be consolidated into one submitted document.
All motions should appear on one submitted document.
Not confirmed. Read the court's wording below. · Civil cases
Page 2 | A. Trial Submittal Timeline
Chambers Communication Rules
Parties must notify the court as soon as possible about scheduling problems involving a witness, interpreter, party, or lawyer.
Notify the Court as soon as possible of any scheduling problems for any witness, interpreter, party or lawyer.
Checked against the court's document on Oct 2, 2026 · Civil cases
Page 3 | A. Trial Submittal Timeline
A party or counsel anticipating lateness should contact Department 14 at the stated telephone number and opposing counsel.
If you anticipate being late, please employ professional courtesy by contacting Department 14 at (510) 608-1114 and opposing counsel.
Not confirmed. Read the court's wording below. · Civil cases
Page 2 | B. Additional Trial Requirements