Court Rules
Judge

Judge Ian C. Fusselman

Individual Rules, Standing Orders & Policies

Los Angeles Superior Court

Limits & Logistics

Courtesy Copies

Exhibits

  • 5 copies • First Day Of Trial

Adjournments

  • Trial continuance requests must include an affirmative showing of reasonable diligence in preparing for trial and unforeseen circumstances preventing trial preparation.
  • Trial continuance requests require an affirmative showing of reasonable diligence, unforeseen circumstances, and remaining preparation details.

Request must include

Reason For Request
Filters:AllMandatoryImportantFormattingExhibitsJuryTOC/TOABinders/TabsEvidence/WitnessesSummary JudgmentMemoranda

Document Format Requirements6 rules

FormattingCivil cases

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

Documentary exhibits consisting of more than one page must be internally paginated in sequential numerical order.

Summary: Multi-page documentary exhibits must be internally paginated in sequential numerical order.

Ca Lasc Courtroom ALH T · p. 3
|SecTrial Preparation - Final Status Conference - 1. Joint Exhibit List
FormattingCivil cases

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

Pursuant to California Rule of Court 3.1110(f) and Los Angeles County Superior Court Rules 3.52 and 3.53, all exhibits must be exchanged and pre-numbered, except for those anticipated in good faith to be used for impeachment or during rebuttal.

Summary: All exhibits must be exchanged and pre-numbered, except exhibits anticipated in good faith for impeachment or rebuttal.

Ca Lasc Courtroom ALH T · p. 3
|SecTrial Preparation - Final Status Conference - 1. Joint Exhibit List
FormattingCivil cases

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

Photographs should be grouped together in separate exhibits by subject matter or other logically related groups rather than marking all photographs as one exhibit.

Summary: Photographs should be grouped into separate exhibits by subject matter or logical relation rather than marked as a single exhibit.

Ca Lasc Courtroom ALH T · p. 3
|SecTrial Preparation - Final Status Conference - 1. Joint Exhibit List
FormattingCivil cases

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

Motions in limine should be submitted in a separate tabbed binder with a table of contents.

Summary: Motions in limine must be submitted in a separate tabbed binder.

Ca Lasc Courtroom ALH T · p. 5
|SecTrial Preparation
FormattingCivil cases

Machine summary. Not checked yet.Mandatory?

Motions in limine should be submitted in a separate tabbed binder with a table of contents.

Summary: Motions in limine must be submitted in a tabbed binder with a table of contents.

Layout & Binding
Binding Style
Tabbed Three Ring
Ca Lasc Courtroom ALH T · p. 5
|SecMotions in Limine
FormattingCivil cases

Machine summary. Not checked yet.Important?

Documentary exhibits consisting of more than one page must be internally paginated in sequential numerical order. Photographs should be grouped together in separate exhibits by subject matter or other logically related groups rather than marking all photographs as one exhibit. Exhibits written in a foreign language must be accompanied by a certified English translation.

Summary: Documentary exhibits must be internally paginated; foreign language exhibits require certified English translation.

Ca Lasc Courtroom ALH T · p. 3
|SecTrial Preparation

Document Filing Requirements12 rules

Filing RequirementsCivil cases

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

For personal injury cases, please ensure that all pertinent medical records are included in the petition, including admission reports, discharge reports, and treatment records. There is no need to include nursing notes, labs, radiology reports or other records unless they contain other information.

Summary: Minor's compromise petitions in personal injury cases must include all pertinent medical records (admission, discharge, and treatment reports), but nursing notes, labs, and radiology reports are not needed unless they contain other information.

Document Type

Minor Compromise Petition

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 3
|SecMinor's Compromises
Filing RequirementsCivil cases

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

Exhibits written in a foreign language must be accompanied by a certified English translation. Cal. Rule of Court 3.1110(g).

Summary: Foreign-language exhibits must be accompanied by a certified English translation.

Document Type

Exhibits

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 3
|SecTrial Preparation - Final Status Conference - 1. Joint Exhibit List
Filing RequirementsCivil cases

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

All witnesses must be listed on a joint witness list. Do not repeat the name of a witness. Indicate the total time expected for that testimony, including direct, cross, and re-direct. At the end of the list, state the total time estimated for each party and the entire trial. The parties do not need to provide time estimates for witnesses they do not intend to call but are being listed to preserve the right to call them if needed.

Summary: The joint witness list must list every witness once, with per-witness testimony time estimates (direct, cross, re-direct) and total time estimates for each party and the entire trial, except for witnesses listed only to preserve the right to call them.

Document Type

Joint Witness List

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 4
|SecTrial Preparation - Final Status Conference - 2. Joint Witness List
Filing RequirementsCivil cases

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

Submit a joint set of CACI instructions will all information filled in – no remaining brackets or blanks. Do not include the chart at the top (i.e., "Requested By"). If instructions are disputed, submit a separate set or sets indicating the party proposing and opposing the instruction. Submit a disposition table which lists all jury instructions by number, the identity of the party or parties proposing the instruction, and columns for the court to indicate whether the instruction is given, modified, withdrawn or refused.

Summary: Joint CACI jury instructions must be fully completed with no brackets or blanks, omit the 'Requested By' chart, place disputed instructions in separate sets identifying proposer and opposer, and include a disposition table.

Document Type

Joint Jury Instructions

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 4
|SecTrial Preparation - Final Status Conference - 3. Joint Jury Instructions
Filing RequirementsCivil cases

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

If the parties cannot agree on the verdict form, each party must submit their own proposed verdict form. Any proposed special verdict should be in a form that is easily used and understood by the jury and which does not require the jury to answer unnecessary questions.

Summary: If the parties cannot agree on a verdict form, each must submit its own proposed verdict form, and special verdict forms should be easy for the jury to use without unnecessary questions.

Document Type

Proposed Verdict Form

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 4
|SecTrial Preparation - Final Status Conference - 6. Joint Proposed Verdict Form
Filing RequirementsCivil cases

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

Los Angeles County Superior Court Rule 3.57 requires the parties to meet and confer before filing any motion in limine. All motions in limine must be accompanied by a sworn declaration attesting that the subject of the motion has been discussed with the opposing party and setting forth the opposing party’s position regarding the motion(s). Failure to include such a declaration will result in summary denial of MIL.

Summary: Every motion in limine must be accompanied by a sworn meet-and-confer declaration stating the opposing party's position, and failure to include it results in summary denial.

Document Type

Motion In Limine

Content & Formatting
Certificate Of Conference
Ca Lasc Courtroom ALH T · p. 5
|SecTrial Preparation
Filing RequirementsCivil cases

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

Motions in limine should not be used to seek summary judgment, summary adjudication of issues, or judgement on the pleadings. Also, do not file motions in limine that simply state the law. For example, do not file motions seeking to exclude hearsay evidence. Instead, the motion must cite specific hearsay evidence that is expected to be proffered.

Summary: Motions in limine may not be used as summary judgment vehicles or to merely state the law, and must cite the specific evidence expected to be proffered.

Document Type

Motion In Limine

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 5
|SecTrial Preparation
Filing RequirementsCivil cases

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

If the petition contends that the minor has fully recovered from the injuries, a medical record or declaration should be submitted supporting that contention.

Summary: A minor's compromise petition contending full recovery must be supported by a medical record or declaration.

Document Type

Minor Compromise Petition

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 3
|SecMinor's Compromises
Filing RequirementsCivil cases

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

This is a brief, neutral description of the case to be read to the jury. In most instances, it should not exceed two paragraphs.

Summary: The concise joint statement is a brief neutral case description for the jury and should generally not exceed two paragraphs.

Document Type

Concise Joint Statement

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 4
|SecTrial Preparation - Final Status Conference - 4. Concise Joint Statement
Filing RequirementsCivil cases

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

Provide a copy of all parties' expert designations without attachments.

Summary: Copies of all parties' expert designations must be submitted without attachments.

Document Type

Expert Designations

Specific requirements detailed in rule text.
Ca Lasc Courtroom ALH T · p. 4
|SecTrial Preparation - Final Status Conference - 7. Expert Designations
Filing RequirementsCivil cases

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

Motions in limine should be submitted in a separate tabbed binder with a table of contents.

Summary: Motions in limine must include a table of contents.

Document Type

Motion In Limine

Content & Formatting
Table Of Contents
Ca Lasc Courtroom ALH T · p. 5
|SecTrial Preparation
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

Los Angeles County Superior Court Rule 3.57 requires the parties to meet and confer before filing any motion in limine. All motions in limine must be accompanied by a sworn declaration attesting that the subject of the motion has been discussed with the opposing party and setting forth the opposing party’s position regarding the motion(s). Failure to include such a declaration will result in summary denial of MIL.

Summary: Motions in limine require a pre-filing meet and confer and a sworn declaration attesting to the conference and opposing party's position.

Document Type

Motion In Limine

Content & Formatting
Certificate Of Conference
Ca Lasc Courtroom ALH T · p. 5
|SecMotions in Limine

Filing & Service rules

Electronic Filing Rules

Ex parte applications and all supporting documents must be electronically filed no later than 10:00 a.m. on the court day before the hearing.

All ex parte applications and documents in support thereof must be electronically filed no later than 10:00 a.m. the court day before the hearing.

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

Page 1 | Ex Parte Applications

Written opposition to ex parte applications must be electronically filed by 8:30 a.m. on the day of the hearing.

Any written opposition shall be electronically filed by 8:30 a.m. the day of the hearing.

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

Page 1 | Ex Parte Applications

Self-represented litigants are exempt from the mandatory electronic filing requirements under California Rules of Court, rule 2.253(b)(2).

Pursuant to California Rules of Court, rule 2.253(b)(2), self-represented litigants are exempt from these mandatory Electronic Filing requirements.

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

Page 1 | Ex Parte Applications

Ex parte applications, supporting documents, and oppositions must be e-filed; self-represented litigants are exempt.

All ex parte applications and documents in support thereof must be electronically filed no later than 10:00 a.m. the court day before the hearing. Any written opposition shall be electronically filed by 8:30 a.m. the day of the hearing. Pursuant to California Rules of Court, rule 2.253(b)(2), self-represented litigants are exempt from these mandatory Electronic Filing requirements.

Machine summary. Not checked yet. · Civil cases

Page 1 | Ex Parte Applications

Filing Timing and Cure Windows

The filing deadline for written opposition to ex parte applications is 8:30 a.m. on the day of the hearing.

Any written opposition shall be electronically filed by 8:30 a.m. the day of the hearing.

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

Page 1 | Ex Parte Applications

The filing deadline for ex parte applications and supporting documents is 10:00 a.m. on the court day before the hearing.

All ex parte applications and documents in support thereof must be electronically filed no later than 10:00 a.m. the court day before the hearing.

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

Page 1 | Ex Parte Applications

Parties must reserve a motion hearing date through the online Court Reservation System (CRS) before filing any motion papers.

Parties must obtain a motion date via the online Court Reservation System (CRS) on the Los Angeles Court website “LA Court Online, Court Reservation System,” at www.lacourt.org to reserve a date prior to filing any motion papers.

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

Page 2 | Law and Motion

Parties must meet and confer and submit all required final status conference documents five court days before the FSC.

Parties must meet and confer and submit the following documents five court days before the FSC:

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

Page 3 | Trial Preparation - Final Status Conference

Motions in limine must be filed and served per C.C.P. § 1005 using the FSC date as the hearing date, and are heard at the FSC or a pre-trial conference scheduled at that time.

Motions in limine should be filed and served in compliance with C.C.P. § 1005 using the FSC date as the hearing date. They be heard at the FSC or at a pre-trial conference scheduled at the time of the FSC.

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

Page 5 | Trial Preparation

Ex parte applications and supporting documents must be filed by 10:00 a.m. the court day before the hearing.

All ex parte applications and documents in support thereof must be electronically filed no later than 10:00 a.m. the court day before the hearing.

Machine summary. Not checked yet. · Civil cases

Page 1 | Ex Parte Applications

Written oppositions to ex parte applications must be filed by 8:30 a.m. the day of the hearing.

Any written opposition shall be electronically filed by 8:30 a.m. the day of the hearing.

Machine summary. Not checked yet. · Civil cases

Page 1 | Ex Parte Applications

FSC required documents must be submitted five court days before the Final Status Conference.

Parties must meet and confer and submit the following documents five court days before the FSC:

Machine summary. Not checked yet. · Civil cases

Page 3 | Trial Preparation

Service and Proof of Service Rules

Motions in limine must be filed and served in compliance with C.C.P. § 1005 using the FSC date as the hearing date.

Motions in limine should be filed and served in compliance with C.C.P. § 1005 using the FSC date as the hearing date.

Machine summary. Not checked yet. · Civil cases

Page 5 | Motions in Limine

Filing Fees and Waivers

Motion fees must be paid at the time the motion date reservation is made online through CRS.

Motion fee payments are required at the time reservations are made online.

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

Page 2 | Law and Motion

Motion filing fees must be paid when reserving a motion date online via CRS.

Motion fee payments are required at the time reservations are made online.

Machine summary. Not checked yet. · Civil cases

Page 2 | Law and Motion

Courtesy Copy Requirements

Five complete sets of exhibits must be provided to the court on the first day of trial.

Five complete sets of exhibits need to be provided on the first day of trial.

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

Page 3 | Trial Preparation - Final Status Conference - 1. Joint Exhibit List

Sealing & Redaction Procedures

Materials submitted in support of a motion under seal must strictly comply with California Rules of Court, rule 2.551 et seq.

If counsel wishes to submit any materials in support of a motion under seal, counsel must strictly comply with California Rules of Court Rule 2.551 et. seq.

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

Page 2 | Law and Motion

Materials in support of a motion filed under seal must comply with California Rules of Court Rule 2.551 et seq.

If counsel wishes to submit any materials in support of a motion under seal, counsel must strictly comply with California Rules of Court Rule 2.551 et. seq.

Machine summary. Not checked yet. · Civil cases

Page 2 | Law and Motion

Filing Bundling Requirements

Motions in limine must be submitted in a separate tabbed binder with a table of contents.

Motions in limine should be submitted in a separate tabbed binder with a table of contents.

Machine summary. Not checked yet. · Civil cases

Page 5 | Motions in Limine

Pre-Motion Conference Requirements

The Court does not hold informal discovery conferences, so parties should not expect a pre-motion conference for discovery disputes.

The Court does not conduct informal discovery conferences (IDC).

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

Page 1 | Discovery Disputes

Parties must reserve a motion date via the online CRS prior to filing any motion papers.

Parties must obtain a motion date via the online Court Reservation System (CRS) on the Los Angeles Court website “LA Court Online, Court Reservation System,” at www.lacourt.org to reserve a date prior to filing any motion papers.

Machine summary. Not checked yet. · Civil cases

Page 2 | Law and Motion

Parties must meet and confer before filing any motion in limine.

Los Angeles County Superior Court Rule 3.57 requires the parties to meet and confer before filing any motion in limine.

Machine summary. Not checked yet. · Civil cases

Page 5 | Motions in Limine

Adjournment & Extension Requirements

Trial continuance requests must include an affirmative showing of reasonable diligence in preparing for trial and unforeseen circumstances preventing trial preparation.

As such, the primary factors the Court considers with regard to requests for trial continuances are an affirmative showing of: 1. Reasonable diligence in preparing for trial. 2. Unforeseen circumstances preventing the parties from being prepared for trial.

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

Page 2 | Trial Continuances

Trial continuance requests require an affirmative showing of reasonable diligence, unforeseen circumstances, and remaining preparation details.

the primary factors the Court considers with regard to requests for trial continuances are an affirmative showing of: 1. Reasonable diligence in preparing for trial. 2. Unforeseen circumstances preventing the parties from being prepared for trial. what preparation remains to be completed, why it has yet to be completed, and a schedule for completing those tasks.

Machine summary. Not checked yet. · Civil cases

Page 2 | Trial Continuances

Chambers Communication Rules

Parties may not call the courtroom to reserve a motion date; reservations must be made online via CRS.

Please do not call the courtroom to reserve a motion date.

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

Page 2 | Law and Motion

Do not call the courtroom to reserve motion dates; use online CRS instead.

Please do not call the courtroom to reserve a motion date.

Machine summary. Not checked yet. · Civil cases

Page 2 | Law and Motion

Documents of departments with no single judge listed

About Judge Ian C. Fusselman

Judge Ian C. Fusselman is a judge on the Superior Court of California, County of Los Angeles, the state trial court serving Los Angeles County.

Judge Fusselman's procedures are published through the court's general rules.

Common questions about Judge Ian C. Fusselman's rules

Are courtesy copies required for Judge Ian C. Fusselman?

Courtesy-copy rule applies for exhibits. Details: 5 copies, delivery first day of trial. Five complete sets of exhibits must be provided to the court on the first day of trial.

View ruleSource: page 3, section Trial Preparation - Final Status Conference - 1. Joint Exhibit List

Does Judge Ian C. Fusselman require a pre-motion conference or letter before filing a motion?

Judge Ian C. Fusselman's rules set a pre-motion procedure for covered motions. Parties must reserve a motion date via the online CRS prior to filing any motion papers.

View ruleSource: page 2, section Law and Motion

What formatting rules apply to filings before Judge Ian C. Fusselman?

Judge Ian C. Fusselman's formatting rule includes binding tabbed 3-ring and table of contents. Motions in limine must be submitted in a tabbed binder with a table of contents.

View ruleSource: page 5, section Motions in Limine

What must be included with minor compromise petition filings before Judge Ian C. Fusselman?

The rule identifies required filing content or certificates. Minor's compromise petitions in personal injury cases must include all pertinent medical records (admission, discharge, and treatment reports), but nursing notes, labs, and radiology reports are not needed unless they contain other information.

View ruleSource: page 3, section Minor's Compromises

What must be included with exhibits filings before Judge Ian C. Fusselman?

The rule identifies required filing content or certificates. Foreign-language exhibits must be accompanied by a certified English translation.

View ruleSource: page 3, section Trial Preparation - Final Status Conference - 1. Joint Exhibit List

How may parties contact Judge Ian C. Fusselman's chambers?

The rule addresses phone communications with Judge Ian C. Fusselman's chambers. Parties may not call the courtroom to reserve a motion date; reservations must be made online via CRS.

View ruleSource: page 2, section Law and Motion

How does Judge Ian C. Fusselman handle sealed or redacted filings?

A motion to seal is required for covered sealed filings before Judge Ian C. Fusselman. Materials submitted in support of a motion under seal must strictly comply with California Rules of Court, rule 2.551 et seq.

View ruleSource: page 2, section Law and Motion

How do I request an adjournment or extension before Judge Ian C. Fusselman?

Advance notice is not fully stated in the structured details. The request must include reason for request. Trial continuance requests require an affirmative showing of reasonable diligence, unforeseen circumstances, and remaining preparation details.

View ruleSource: page 2, section Trial Continuances

Does Judge Ian C. Fusselman require motion papers to be bundled?

Yes. Judge Ian C. Fusselman requires bundling for covered papers. Motions in limine must be submitted in a separate tabbed binder with a table of contents.

View ruleSource: page 5, section Motions in Limine

Is electronic filing required before Judge Ian C. Fusselman?

Yes. Electronic filing is required for the covered filings. Ex parte applications and all supporting documents must be electronically filed no later than 10:00 a.m. on the court day before the hearing.

View ruleSource: page 1, section Ex Parte Applications

Are filing fees or waivers addressed before Judge Ian C. Fusselman?

A fee is required for covered filings. Motion fees must be paid at the time the motion date reservation is made online through CRS.

View ruleSource: page 2, section Law and Motion

When is a filing treated as filed before Judge Ian C. Fusselman?

The rule states a 10:00 AM filing cutoff. The filing deadline for ex parte applications and supporting documents is 10:00 a.m. on the court day before the hearing.

View ruleSource: page 1, section Ex Parte Applications

What rule applies to service for motion in limine before Judge Ian C. Fusselman?

The rule addresses service method, recipient, or timing requirements. Motions in limine must be filed and served in compliance with C.C.P. § 1005 using the FSC date as the hearing date.

View ruleSource: page 5, section Motions in Limine
Complete rules summary for Judge Ian C. Fusselman

Ex parte applications and all supporting documents must be electronically filed no later than 10:00 a.m. on the court day before the hearing.

The filing deadline for ex parte applications and supporting documents is 10:00 a.m. on the court day before the hearing.

Written opposition to ex parte applications must be electronically filed by 8:30 a.m. on the day of the hearing.

The filing deadline for written opposition to ex parte applications is 8:30 a.m. on the day of the hearing.

Self-represented litigants are exempt from the mandatory electronic filing requirements under California Rules of Court, rule 2.253(b)(2).

The Court does not hold informal discovery conferences, so parties should not expect a pre-motion conference for discovery disputes.

Parties must reserve a motion hearing date through the online Court Reservation System (CRS) before filing any motion papers.

Motion fees must be paid at the time the motion date reservation is made online through CRS.

Parties may not call the courtroom to reserve a motion date; reservations must be made online via CRS.

Materials submitted in support of a motion under seal must strictly comply with California Rules of Court, rule 2.551 et seq.

Trial continuance requests must include an affirmative showing of reasonable diligence in preparing for trial and unforeseen circumstances preventing trial preparation.

Minor's compromise petitions in personal injury cases must include all pertinent medical records (admission, discharge, and treatment reports), but nursing notes, labs, and radiology reports are not needed unless they contain other information.

A minor's compromise petition contending full recovery must be supported by a medical record or declaration.

Parties must meet and confer and submit all required final status conference documents five court days before the FSC.

All exhibits must be exchanged and pre-numbered, except exhibits anticipated in good faith for impeachment or rebuttal.

Multi-page documentary exhibits must be internally paginated in sequential numerical order.

Photographs should be grouped into separate exhibits by subject matter or logical relation rather than marked as a single exhibit.

Foreign-language exhibits must be accompanied by a certified English translation.

Five complete sets of exhibits must be provided to the court on the first day of trial.

The joint witness list must list every witness once, with per-witness testimony time estimates (direct, cross, re-direct) and total time estimates for each party and the entire trial, except for witnesses listed only to preserve the right to call them.

Joint CACI jury instructions must be fully completed with no brackets or blanks, omit the 'Requested By' chart, place disputed instructions in separate sets identifying proposer and opposer, and include a disposition table.

The concise joint statement is a brief neutral case description for the jury and should generally not exceed two paragraphs.

If the parties cannot agree on a verdict form, each must submit its own proposed verdict form, and special verdict forms should be easy for the jury to use without unnecessary questions.

Copies of all parties' expert designations must be submitted without attachments.

Motions in limine may not be used as summary judgment vehicles or to merely state the law, and must cite the specific evidence expected to be proffered.

Every motion in limine must be accompanied by a sworn meet-and-confer declaration stating the opposing party's position, and failure to include it results in summary denial.

Motions in limine must be filed and served per C.C.P. § 1005 using the FSC date as the hearing date, and are heard at the FSC or a pre-trial conference scheduled at that time.

Motions in limine must be submitted in a separate tabbed binder.

Motions in limine must include a table of contents.

Motion filing fees must be paid when reserving a motion date online via CRS.

More Judges in Los Angeles Superior Court

Michelle Lim
Judge
A. Ashley Tabaddor
Judge
Alan B. Honeycutt
Judge
Alexander C. D. Giza
Judge
Alison Mackenzie
Judge
Allison L. Westfahl Kong
Judge
Andrew E. Cooper
Judge
Andrew Esbenshade
Judge