Court Rules
Judge

Judge Dean J. Kitchens

Individual Rules, Standing Orders & Policies

Los Angeles Superior Court

Limits & Logistics

Document Limits

Discovery Dispute Statement
2 pgs

Courtesy Copies

Courtesy copies

  • 4 copies

Exhibits

  • 5 copies • First Day Of Trial

Binding: Three Ring Binder

Communication

Email

Chambers

smcdept400@lacourt.ca.gov
Phone

Chambers

(213) 633-0150
Filters:AllMandatoryImportantFormattingExhibitsConferencesDiscoveryPage LimitsJury

Page & Word Limits1 rule

Page Limits

The quote is in the court's document. The summary is not checked yet.Mandatory?

At least five (5) court days before the conference, each party to the dispute will be required to efile with the court a statement, of no more than two (2) pages, summarizing the dispute. The page limit will be strictly enforced.

Summary: The informal discovery conference statement is limited to two pages, and the page limit will be strictly enforced.

Discovery Dispute Statement

2 pages

Document Format Requirements5 rules

Formatting

The quote is in the court's document. The summary is not checked yet.Mandatory?

Exhibits should be numbered. Counsel should agree in advance that their respective party will have a range of exhibit numbers, i.e., plaintiff 1-99; defendant 100-199. Each exhibit must be separately identified. Subparts to an exhibit, i.e., 1A, 1B, etc., must also be identified and listed separately.

Summary: Exhibits must be numbered using agreed party ranges (e.g., plaintiff 1-99; defendant 100-199), each exhibit separately identified, and subparts identified and listed separately.

Formatting

The quote is in the court's document. The summary is not checked yet.Mandatory?

Bulk exhibits, e.g., voluminous medical records, will not be permitted. Counsel must separately mark and identify the specific items within a bulk exhibit.

Summary: Bulk exhibits such as voluminous medical records are not permitted, and specific items within any bulk exhibit must be separately marked and identified.

Formatting

The quote is in the court's document. The summary is not checked yet.Mandatory?

All instructions must be submitted on perforated paper forms.

Summary: All jury instructions must be submitted on perforated paper forms.

Required Format

Paper

Formatting

The quote is in the court's document. The summary is not checked yet.Mandatory?

exhibit must be consecutively paginated.

Summary: Exhibits must be consecutively paginated.

Formatting

The quote is in the court's document. The summary is not checked yet.Important?

Blow-ups of portions of exhibits should be identified and marked as sub-part A.

Document Filing Requirements5 rules

Filing Requirements

The quote is in the court's document. The summary is not checked yet.Mandatory?

No exhibits may be attached.

Summary: No exhibits may be attached to the informal discovery conference statement.

Document Type

Discovery Dispute Statement

Specific requirements detailed in rule text.
Filing Requirements

The quote is in the court's document. The summary is not checked yet.Mandatory?

All parties to a motion must place the reservation number associated with the motion on each document associated with that motion.

Summary: The motion's reservation number must appear on every document filed in connection with that motion.

Document Type

Motion

Specific requirements detailed in rule text.
Filing Requirements

The quote is in the court's document. The summary is not checked yet.Mandatory?

Each party must prepare an exhibit list in the form attached hereto.

Summary: Each party must prepare an exhibit list using the form attached to the standing order.

Document Type

Exhibit List

Specific requirements detailed in rule text.
Filing Requirements

The quote is in the court's document. The summary is not checked yet.Mandatory?

If counsel plan to admit media such as video or audio tapes, counsel must raise the issue at the final status conference.

Summary: Counsel planning to admit media such as video or audio tapes must raise the issue at the final status conference.

Document Type

Media Evidence

Specific requirements detailed in rule text.
Filing Requirements

The quote is in the court's document. The summary is not checked yet.Important?

Should the parties not provide a court reporter, the parties will be required to provide a joint summary of the testimony and evidence admitted each day for the court's use in preparing a settled statement for appeal purposes.

Summary: If no court reporter is provided, the parties must provide a joint summary of the testimony and evidence admitted each day for the court's use in preparing a settled statement on appeal.

Document Type

Joint Summary Of Testimony And Evidence

Specific requirements detailed in rule text.

Filing & Service rules

Electronic Filing Rules

Each party to a discovery dispute must efile a statement summarizing the dispute at least five court days before the informal discovery conference.

At least five (5) court days before the conference, each party to the dispute will be required to efile with the court a statement, of no more than two (2) pages, summarizing the dispute.

The quote is in the court's document. The summary is not checked yet.

Page 2 | DISCOVERY MOTIONS

Filing Timing and Cure Windows

A case management statement must be filed at least 15 days before the case management conference hearing.

A case management statement must be filed at least fifteen (15) days prior to the hearing as required by CRC 3.725(a).

The quote is in the court's document. The summary is not checked yet.

Page 1 | PRE-TRIAL INFORMATION

If all defendants have not been served, plaintiff must file a declaration five days before the hearing explaining the service efforts undertaken.

If all defendants have not been served, plaintiff or plaintiff’s counsel must submit a declaration to the court five (5) days prior to the hearing explaining what efforts have been undertaken to accomplish service. CRC 3.110.

The quote is in the court's document. The summary is not checked yet.

Page 1 | PRE-TRIAL INFORMATION

In a demurrer, the plaintiff or cross-complainant must immediately notify the court if a first amended complaint will be filed in lieu of an opposition.

In the case of a demurrer to a complaint or cross-complaint, the plaintiff or cross-complainant must notify the court immediately if they will be filing a first amended complaint in lieu of an opposition.

The quote is in the court's document. The summary is not checked yet.

Page 2 | MOTIONS

Trial documents (statement of case, exhibit list, witness list, jury instructions, verdict form) must be filed with the court five days before the final status conference.

Pursuant to SCLAC Rule 3.25(f)(1), trial documents, including a statement of the case, exhibit list, witness list, jury instructions and verdict form must be filed with the court and served on opposing counsel five (5) days prior to the final status conference.

The quote is in the court's document. The summary is not checked yet.

Page 3 | Final Status Conference

Motions in limine must be filed with the required statutory notice for hearing at the final status conference and must comply with SCLAC Rule 3.57.

Pursuant to SCLAC Rule 3.25(f)(2), motions in limine must be filed with the appropriate statutory notice for hearing at the final status conference. Motions in limine must comply with SCLAC Rule 3.57.

The quote is in the court's document. The summary is not checked yet.

Page 3 | Final Status Conference

Objections to the court's jury questionnaire questions and requests for additional questions must be made in writing by the time of the Final Status Conference.

Any objections to the court's questions or requests for additional questions must be made to the court, in writing, by the time of the Final Status Conference.

The quote is in the court's document. The summary is not checked yet.

Page 4 | Jury Selection

Proof of payment of daily jury fees must be provided to the clerk by the next day or trial cannot resume.

Proof of payment must be provided to the clerk no later than the next day before trial can resume.

The quote is in the court's document. The summary is not checked yet.

Page 4 | Jury Selection

Requests for more than 35 jurors or for prescreening jurors as to time must be made to the court at least 20 days before the trial date.

Any request for more than 35 jurors or for prescreening of jurors as to time must be made to the court at least 20 days in advance of the trial date.

The quote is in the court's document. The summary is not checked yet.

Page 4 | Jury Selection

Ex parte applications are heard Monday through Friday at 8:30 a.m. and must comply with CRC 3.1200 et seq.

Ex parte applications are heard Monday through Friday at 8:30 a.m. and must comply with California Rule of Court 3.1200 et. seq.

The quote is in the court's document. The summary is not checked yet.

Page 1 | PRE-TRIAL INFORMATION

Participating in an informal discovery conference does not automatically extend the deadline to file a motion to compel; the parties may stipulate to an extension.

If the parties elect to participate in an informal discovery conference, it will not automatically extend the time in which a motion to compel must be filed. The parties may stipulate to extend the deadline.

The quote is in the court's document. The summary is not checked yet.

Page 2 | DISCOVERY MOTIONS

Counsel are urged to agree on a special verdict form to be submitted with the other trial documents five days before the final status conference; otherwise the Court will prepare a general verdict form.

Counsel are urged to agree upon a special verdict form to be submitted to the court with the other trial documents five (5) days prior to the final status conference. If counsel cannot agree, the Court will prepare a general verdict form.

The quote is in the court's document. The summary is not checked yet.

Page 5 | Jury Instructions

Service and Proof of Service Rules

All defendants must be served with the complaint no later than the case management conference.

All defendants must be served with the complaint by the case management conference.

The quote is in the court's document. The summary is not checked yet.

Page 1 | PRE-TRIAL INFORMATION

Trial documents must be served on opposing counsel five days prior to the final status conference.

Pursuant to SCLAC Rule 3.25(f)(1), trial documents, including a statement of the case, exhibit list, witness list, jury instructions and verdict form must be filed with the court and served on opposing counsel five (5) days prior to the final status conference.

The quote is in the court's document. The summary is not checked yet.

Page 3 | Final Status Conference

Filing Fees and Waivers

Jury fees must be posted by the time of the case management conference.

Jury fees must be posted by the time of the case management conference pursuant to CCP Section 631.

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Page 1 | PRE-TRIAL INFORMATION

Counsel will be billed daily jury fees.

Counsel will be billed daily jury fees.

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Page 4 | Jury Selection

Courtesy Copy Requirements

Additional exhibit binders must be provided for the Court, the witness, opposing counsel, and counsel.

Additional binders must be provided for: (1) the Court; (2) the witness; (3) opposing counsel; and (4) yourself.

The quote is in the court's document. The summary is not checked yet.

Page 5 | Exhibits

Typically, at least five copies of all exhibits in a 3-ring binder should be provided on the first day of trial.

Typically, at least five (5) copies of all exhibits, in a 3-ring binder, should be provided on the first day of trial.

The quote is in the court's document. The summary is not checked yet.

Page 5 | Exhibits

Sealing & Redaction Procedures

Counsel must comply with the sealing requirements of CRC 2.550 and 2.551 or the submission may be rejected and related hearings delayed.

Counsel must familiarize themselves with the requirements for sealing documents pursuant to CRC 2.550 and 2.551. Failure to comply with the CRC may result in rejection of the submission and delay any hearing related to the sealed documents.

The quote is in the court's document. The summary is not checked yet.

Page 2 | MOTIONS

Pre-Motion Conference Requirements

Counsel must reserve a hearing date through the court reservation system for any motion; motions are heard Monday through Friday at 8:30 a.m.

You must reserve a hearing date for any motion through the court reservation system. The court hears motions Monday through Friday at 8:30 am.

The quote is in the court's document. The summary is not checked yet.

Page 2 | MOTIONS

The court strongly encourages an informal discovery conference before filing a motion to compel; contact the court to schedule one (typically Mondays at 1:30, in person or by LACourtConnect).

The court strongly encourages parties to engage in an informal discovery conference prior to filing a motion to compel. In many instances such a conference may efficiently obviate a discovery motion (or at least narrow the issues). Contact the court to schedule an informal discovery conference, which may be attended in person or by LACourtConnect. Informal discovery conferences are typically held on Mondays at 1:30.

The quote is in the court's document. The summary is not checked yet.

Page 2 | DISCOVERY MOTIONS

Adjournment & Extension Requirements

Trial continuance requests must be made by noticed motion or, when appropriate, ex parte application.

Requests for trial continuances must be made by noticed motion or ex parte application when appropriate.

The quote is in the court's document. The summary is not checked yet.

Page 1 | PRE-TRIAL INFORMATION

The moving party must immediately notify the court if a motion is going off-calendar or being continued, and must remove it from the court reservation management system if taken off calendar.

Pursuant to CRC 3.1304(b), the moving party on a motion must notify the court immediately if the motion is going off-calendar or is being continued. If the motion is taken off calendar, please be sure to remove the motion from the court reservation management system.

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Page 2 | MOTIONS

Chambers Communication Rules

Counsel wishing to submit on a Tentative Ruling should email the courtroom at smcdept400@lacourt.ca.gov.

In matters for which a Tentative Ruling is provided, counsel wishing to submit on the Tentative should email the courtroom at smcdept400@lacourt.ca.gov.

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Page 2 | MOTIONS

Counsel must arrive promptly at the time designated the night before and raise anticipated disputes or evidentiary issues with the court as soon as they arrive in the morning.

Counsel are expected to arrive promptly each morning at the time designated by the court the night before. Any anticipated disputes or evidentiary issues should be raised with the court as soon as counsel arrive in the morning.

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Page 5 | Courtroom Decorum

Department 400's courtroom telephone number is (213) 633-0150.

TELEPHONE NUMBER: (213) 633-0150

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Page 1 | COURTROOM INFORMATION

Documents of departments with no single judge listed

About Judge Dean J. Kitchens

Judge Dean J. Kitchens is a judge on the Superior Court of California, County of Los Angeles, the state trial court serving Los Angeles County. The court handles trial matters in the county.

This judge's procedures are published through the court's general rules.

Common questions about Judge Dean J. Kitchens's rules

Are courtesy copies required for Judge Dean J. Kitchens?

Details: 4 copies. Additional exhibit binders must be provided for the Court, the witness, opposing counsel, and counsel.

View ruleSource: page 5, section Exhibits

Does Judge Dean J. Kitchens require a pre-motion conference or letter before filing a motion?

Judge Dean J. Kitchens's rules set a pre-motion procedure for covered motions. Counsel must reserve a hearing date through the court reservation system for any motion; motions are heard Monday through Friday at 8:30 a.m.

View ruleSource: page 2, section MOTIONS

What page or word limits apply to discovery dispute statement before Judge Dean J. Kitchens?

Judge Dean J. Kitchens' rule states these limits: 2 pages. The informal discovery conference statement is limited to two pages, and the page limit will be strictly enforced.

View ruleSource: page 2, section DISCOVERY MOTIONS

What formatting rules apply to filings before Judge Dean J. Kitchens?

Judge Dean J. Kitchens' formatting rule includes file format paper and jury instructions must be submitted on perforated paper forms. All jury instructions must be submitted on perforated paper forms.

View ruleSource: page 5, section Jury Instructions

What must be included with motion filings before Judge Dean J. Kitchens?

The rule identifies required filing content or certificates. The motion's reservation number must appear on every document filed in connection with that motion.

View ruleSource: page 2, section MOTIONS

What must be included with discovery dispute statement filings before Judge Dean J. Kitchens?

The rule identifies required filing content or certificates. No exhibits may be attached to the informal discovery conference statement.

View ruleSource: page 2, section DISCOVERY MOTIONS

How may parties contact Judge Dean J. Kitchens' chambers?

The rule addresses email communications with Judge Dean J. Kitchens' chambers. The rule lists email smcdept400@lacourt.ca.gov. Counsel wishing to submit on a Tentative Ruling should email the courtroom at smcdept400@lacourt.ca.gov.

View ruleSource: page 2, section MOTIONS

How does Judge Dean J. Kitchens handle sealed or redacted filings?

Judge Dean J. Kitchens's rules set procedures for sealed or redacted filings. Counsel must comply with the sealing requirements of CRC 2.550 and 2.551 or the submission may be rejected and related hearings delayed.

View ruleSource: page 2, section MOTIONS

How do I request an adjournment or extension before Judge Dean J. Kitchens?

Advance notice is not fully stated in the structured details. Trial continuance requests must be made by noticed motion or, when appropriate, ex parte application.

View ruleSource: page 1, section PRE-TRIAL INFORMATION

Are filing fees or waivers addressed before Judge Dean J. Kitchens?

A fee is required for covered filings. Jury fees must be posted by the time of the case management conference.

View ruleSource: page 1, section PRE-TRIAL INFORMATION

Is electronic filing required before Judge Dean J. Kitchens?

Yes. Electronic filing is required for the covered filings. Each party to a discovery dispute must efile a statement summarizing the dispute at least five court days before the informal discovery conference.

View ruleSource: page 2, section DISCOVERY MOTIONS

What filing deadlines apply to case management statement filings before Judge Dean J. Kitchens?

A case management statement must be filed at least 15 days before the case management conference hearing.

View ruleSource: page 1, section PRE-TRIAL INFORMATION

What rule applies to service for complaint before Judge Dean J. Kitchens?

The rule addresses service method, recipient, or timing requirements. Details: recipient: all parties. All defendants must be served with the complaint no later than the case management conference.

View ruleSource: page 1, section PRE-TRIAL INFORMATION
Complete rules summary for Judge Dean J. Kitchens

Ex parte applications are heard Monday through Friday at 8:30 a.m. and must comply with CRC 3.1200 et seq.

Trial continuance requests must be made by noticed motion or, when appropriate, ex parte application.

A case management statement must be filed at least 15 days before the case management conference hearing.

All defendants must be served with the complaint no later than the case management conference.

If all defendants have not been served, plaintiff must file a declaration five days before the hearing explaining the service efforts undertaken.

Jury fees must be posted by the time of the case management conference.

Department 400's courtroom telephone number is (213) 633-0150.

Counsel must reserve a hearing date through the court reservation system for any motion; motions are heard Monday through Friday at 8:30 a.m.

The motion's reservation number must appear on every document filed in connection with that motion.

In a demurrer, the plaintiff or cross-complainant must immediately notify the court if a first amended complaint will be filed in lieu of an opposition.

Counsel must comply with the sealing requirements of CRC 2.550 and 2.551 or the submission may be rejected and related hearings delayed.

Counsel wishing to submit on a Tentative Ruling should email the courtroom at smcdept400@lacourt.ca.gov.

The moving party must immediately notify the court if a motion is going off-calendar or being continued, and must remove it from the court reservation management system if taken off calendar.

The court strongly encourages an informal discovery conference before filing a motion to compel; contact the court to schedule one (typically Mondays at 1:30, in person or by LACourtConnect).

Each party to a discovery dispute must efile a statement summarizing the dispute at least five court days before the informal discovery conference.

The informal discovery conference statement is limited to two pages, and the page limit will be strictly enforced.

No exhibits may be attached to the informal discovery conference statement.

Participating in an informal discovery conference does not automatically extend the deadline to file a motion to compel; the parties may stipulate to an extension.

Trial documents (statement of case, exhibit list, witness list, jury instructions, verdict form) must be filed with the court five days before the final status conference.

Trial documents must be served on opposing counsel five days prior to the final status conference.

Motions in limine must be filed with the required statutory notice for hearing at the final status conference and must comply with SCLAC Rule 3.57.

Requests for more than 35 jurors or for prescreening jurors as to time must be made to the court at least 20 days before the trial date.

Objections to the court's jury questionnaire questions and requests for additional questions must be made in writing by the time of the Final Status Conference.

Counsel will be billed daily jury fees.

Proof of payment of daily jury fees must be provided to the clerk by the next day or trial cannot resume.

If no court reporter is provided, the parties must provide a joint summary of the testimony and evidence admitted each day for the court's use in preparing a settled statement on appeal.

Each party must prepare an exhibit list using the form attached to the standing order.

Exhibits must be numbered using agreed party ranges (e.g., plaintiff 1-99; defendant 100-199), each exhibit separately identified, and subparts identified and listed separately.

Bulk exhibits such as voluminous medical records are not permitted, and specific items within any bulk exhibit must be separately marked and identified.

Blow-ups of portions of exhibits should be identified and marked as sub-part A.

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