Court Rules
Judge

Judge Richard L. Fruin

Individual Rules, Standing Orders & Policies

Rules last changed:
Los Angeles Superior Court

Limits & Logistics

Document Limits

Joint Brief
5 pgs

Courtesy Copies

Cmc Statement

  • 1 copy • Upon Filing

Cmc Statement, Demurrer, Motion, Opposition, Reply, Fsc Document, Proposed Order

  • Chambers Drop Off
  • Hand Delivery • Upon Filing

Ex Parte Application, Opposition

Exhibits

  • 3 copies • Four Court Days Before Fsc
Filters:AllMandatoryImportantFormattingDiscoveryMemorandaConferencesExhibitsBinders/TabsEvidence/WitnessesTRO/Injunction

Page & Word Limits2 rules

Page LimitsCivil cases

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

The request shall be made by a joint brief not to exceed 5 pages to be submitted via e-filing and shall include three (3) proposed dates for the IDC to be held and shall state all reasons for the request.

Summary: A request for an Informal Discovery Conference must be made by a joint brief not exceeding 5 pages.

Joint Brief

5 pages

Ca Lasc Courtroom LAM 307 · Nov 2021 · p. 2
|SecINFORMAL DISCOVERY CONFERENCES (IDC)
Page LimitsCivil cases

Machine summary. Not checked yet.Mandatory?

The request shall be made by a joint brief not to exceed 5 pages to be submitted via e-filing and shall include three (3) proposed dates for the IDC to be held and shall state all reasons for the request.

Summary: Joint briefs requesting an Informal Discovery Conference are limited to 5 pages and must include three proposed dates and reasons for the request.

Joint Brief

5 pages

Applies to: Attorney

Ca Lasc Courtroom LAM 307 · Nov 2021 · p. 2
|SecINFORMAL DISCOVERY CONFERENCES

Document Format Requirements2 rules

FormattingCivil cases

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

Exhibits to be used at trial should be provided in binders.

Summary: Exhibits to be used at trial must be provided in binders.

FormattingCivil cases

Machine summary. Not checked yet.Note?

EXHIBIT BINDERS: Exhibits to be used at trial should be provided in binders. Three exhibit binders should be prepared for Court use: one to be used by the witnesses; one for the Judicial Assistant and another for the judge.

Summary: Trial exhibits must be provided in binders, with three copies prepared for court use.

Layout & Binding
Binding Style
Three Ring Binder

Document Filing Requirements9 rules

Filing RequirementsCivil cases

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

All hearing dates are to be scheduled via the online Court Reservation System (CRS). Upon reservation, CRS will issue a confirmation number and that number is to be indicated in the filing caption for ALL motion documents, including oppositions and replies.

Summary: Motion hearing dates must be reserved via the online Court Reservation System (CRS), and the CRS confirmation number must be indicated in the filing caption of all motion documents, including oppositions and replies.

Document Type

Motion

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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

Ex-Parte applications require a showing of urgency.

Summary: Ex-parte applications must include a showing of urgency.

Document Type

Ex Parte Application

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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

Department 307 will consider conducting an Informal Discovery Conference upon submission of a joint request stipulated upon by all parties. The request shall be made by a joint brief not to exceed 5 pages to be submitted via e-filing and shall include three (3) proposed dates for the IDC to be held and shall state all reasons for the request.

Summary: IDC requests must be joint and stipulated by all parties, submitted via e-filing, and must include three proposed IDC dates and state all reasons for the request.

Document Type

Idc Request

Specific requirements detailed in rule text.
Ca Lasc Courtroom LAM 307 · Nov 2021 · p. 2
|SecINFORMAL DISCOVERY CONFERENCES (IDC)
Filing RequirementsCivil cases

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

For the list of witnesses, those witnesses that a party intends to call at trial should be identified “above the line” and those witnesses the party does not intend to call at trial should be listed “below the line.”

Summary: Witness lists must identify witnesses to be called at trial 'above the line' and witnesses not to be called 'below the line.'

Document Type

Witness List

Specific requirements detailed in rule text.
Ca Lasc Courtroom LAM 307 · Nov 2021 · p. 3
|SecFINAL STATUS CONFERENCE (FSC)
Filing RequirementsCivil cases

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

Counsel are to cooperate so that exhibits to be offered by both sides are identified with the same exhibit number. Discovery instruments and discovery responses are not trial exhibits and are not to be included on the Exhibit List. If a party intends to introduce individual pages of a larger document, the individual pages should be given individual exhibit numbers.

Summary: Exhibit lists must use joint exhibit numbering agreed by both sides, exclude discovery instruments and discovery responses, and give individual page numbers to individual pages of larger documents.

Document Type

Exhibit List

Specific requirements detailed in rule text.
Ca Lasc Courtroom LAM 307 · Nov 2021 · p. 3
|SecFINAL STATUS CONFERENCE (FSC)
Filing RequirementsCivil cases

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

Settlement agreements should include a provision of CCP §664.6.

Summary: Settlement agreements should include a provision pursuant to CCP §664.6.

Document Type

Settlement Agreement

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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

The Court expects the party moving to compel responses or further responses to show that the discovery instrument has narrow and specific demands. Requests for production of documents and subpoenas duces tecum must comply with CCP 2031.310(b)(1) to provide “specific facts showing good cause justifying the discovery sought by the demand” and with CCP 2031.310(g) in showing the demand is not “unreasonably cumulative and duplicative.”

Summary: Motions to compel must show the discovery instrument has narrow and specific demands, including good cause under CCP 2031.310(b)(1) and that the demand is not unreasonably cumulative and duplicative under CCP 2031.310(g).

Document Type

Motion To Compel

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

Upon reservation, CRS will issue a confirmation number and that number is to be indicated in the filing caption for ALL motion documents, including oppositions and replies.

Summary: All motion documents must include the CRS confirmation number in the filing caption.

Document Type

Motion

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

CMC statements (Judicial Council form #CM-110) should be filed at least 15 calendar days prior to the CMC [CRC Rules 3.720-3.730] with a courtesy copy provided to the department upon filing.

Summary: CMC statements must be on Judicial Council form #CM-110.

Document Type

Cmc Statement

Specific requirements detailed in rule text.

Filing & Service rules

Electronic Filing Rules

E-filing is mandatory for all filings, but is optional for self-represented litigants and litigants that have received an exemption from eFiling.

e-FILING is mandatory (optional for self-represented litigants or litigants that have received an exemption from eFiling).

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

Page 1 | FILINGS

Parties must e-file the required trial documents four days before the FSC.

Four days before the FSC, the parties are to e-file, serve and provide courtesy copies to the department upon filing the following trial documents: special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits.

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

Page 3 | FINAL STATUS CONFERENCE (FSC)

e-Filing is mandatory for represented parties, optional for self-represented litigants or those with an eFiling exemption.

FILINGS: e-FILING is mandatory (optional for self-represented litigants or litigants that have received an exemption from eFiling).

Machine summary. Not checked yet. · Civil cases

Page 1 | FILINGS

Filing Timing and Cure Windows

Ex-parte applications must be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing.

Present procedures require ex-parte applications to be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing; the other side to be served at the same time.

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

Page 1 | EX-PARTE APPLICATIONS

CMC statements (Judicial Council form CM-110) must be filed at least 15 calendar days before the case management conference.

CMC statements (Judicial Council form #CM-110) should be filed at least 15 calendar days prior to the CMC [CRC Rules 3.720-3.730]

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

Page 3 | CMC

Motions in limine must be filed and served early enough to give adequate statutory notice so they can be heard and decided at the FSC.

Motions in limine (MILs) must be filed and served earlier to give adequate statutory notice so that they can be heard and decided at the FSC.

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

Page 3 | FINAL STATUS CONFERENCE (FSC)

Trial documents (special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits) are due four days before the FSC.

Trial documents: Four days before the FSC, the parties are to e-file, serve and provide courtesy copies to the department upon filing the following trial documents: special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits.

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

Page 3 | FINAL STATUS CONFERENCE (FSC)

Ex parte applications must be e-filed no later than 10:00 a.m. on the day before the hearing, with service to the opposing party at the same time.

Present procedures require ex-parte applications to be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing; the other side to be served at the same time.

Machine summary. Not checked yet. · Civil cases

Page 1 | EX-PARTE APPLICATIONS

Trial documents must be e-filed 4 days before the FSC, with service and courtesy copies provided upon filing.

Four days before the FSC, the parties are to e-file, serve and provide courtesy copies to the department upon filing the following trial documents: special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits.

Machine summary. Not checked yet. · Civil cases

Page 3 | FINAL STATUS CONFERENCE

CMC statements (form CM-110) must be filed at least 15 calendar days prior to the CMC.

CMC statements (Judicial Council form #CM-110) should be filed at least 15 calendar days prior to the CMC [CRC Rules 3.720-3.730] with a courtesy copy provided to the department upon filing.

Machine summary. Not checked yet. · Civil cases

Page 3 | CMC

Exhibit binders must be provided to the Court 4 court days before the FSC.

One set of the exhibit binders is to be provided to the Court four court days before the FSC.

Machine summary. Not checked yet. · Civil cases

Page 4 | EXHIBIT BINDERS

Service and Proof of Service Rules

The opposing party must be served with the ex-parte application at the same time the application is e-filed.

Present procedures require ex-parte applications to be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing; the other side to be served at the same time.

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

Page 1 | EX-PARTE APPLICATIONS

Ex parte applications must be served on the opposing party at the same time as e-filing.

the other side to be served at the same time.

Machine summary. Not checked yet. · Civil cases

Page 1 | EX-PARTE APPLICATIONS

Trial documents must be served on all parties at the time of filing.

Four days before the FSC, the parties are to e-file, serve and provide courtesy copies to the department upon filing the following trial documents: special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits.

Machine summary. Not checked yet. · Civil cases

Page 3 | FINAL STATUS CONFERENCE

Filing Fees and Waivers

Motion fee payments must be addressed at the time the motions are scheduled online through CRS.

Motion fee payments are to be addressed at the time the motions are scheduled online through CRS.

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

Page 1 | MOTIONS

Motion filing fees are paid when scheduling the motion online via the Court Reservation System (CRS).

Motion fee payments are to be addressed at the time the motions are scheduled online through CRS.

Machine summary. Not checked yet. · Civil cases

Page 1 | MOTIONS

Courtesy Copy Requirements

Courtesy copies of all motion papers must be provided to Department 307 at the time of e-filing; they need not be conformed but should include proof of e-filing submission.

Courtesy copies of all motion papers must be provided to Department 307 at the time of e-filing. Courtesy copies for e-filed motions do not have to be conformed but should have proof of submission of e-filing.

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

Page 1 | MOTIONS

Paper courtesy copies of CMC statements, demurrers, motions (including oppositions and replies), FSC documents, and proposed orders must be delivered in the courtesy box outside the courtroom.

Courtesy copies (paper copies) are required of CMC statements, demurrers, motions (including any oppositions and replies), FSC documents, and proposed orders. Copies should be delivered in the “courtesy box” outside the courtroom.

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

Page 1 | COURTESY COPIES

Courtesy copies of ex-parte papers and any opposition must be provided to Department 307.

Courtesy copies of the ex-parte papers and any opposition is to be provided to Dept. 307.

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

Page 1 | EX-PARTE APPLICATIONS

A courtesy copy of the IDC joint brief must be provided to the department upon filing.

A courtesy copy of the joint brief is to be provided to the department upon filing.

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

Page 2 | INFORMAL DISCOVERY CONFERENCES (IDC)

A courtesy copy of the CMC statement must be provided to the department upon filing.

CMC statements (Judicial Council form #CM-110) should be filed at least 15 calendar days prior to the CMC [CRC Rules 3.720-3.730] with a courtesy copy provided to the department upon filing.

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

Page 3 | CMC

Courtesy copies of the trial documents must be provided to the department upon filing (four days before the FSC).

Four days before the FSC, the parties are to e-file, serve and provide courtesy copies to the department upon filing the following trial documents: special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits.

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

Page 3 | FINAL STATUS CONFERENCE (FSC)

Courtesy copies of all motions in limine documents, including oppositions and replies, must be provided to the department upon filing.

Courtesy copies of all MIL documents, including oppositions and replies are required to be provided to the department upon filing.

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

Page 3 | FINAL STATUS CONFERENCE (FSC)

Three exhibit binders for Court use (witness, Judicial Assistant, judge) must be provided to the Court four court days before the FSC.

Three exhibit binders should be prepared for Court use: one to be used by the witnesses; one for the Judicial Assistant and another for the judge. One set of the exhibit binders is to be provided to the Court four court days before the FSC.

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

Page 4 | EXHIBIT BINDERS

Courtesy copies are required for CMC statements, demurrers, motions (including oppositions/replies), FSC documents, and proposed orders, delivered to the courtroom courtesy box.

COURTESY COPIES: Courtesy copies (paper copies) are required of CMC statements, demurrers, motions (including any oppositions and replies), FSC documents, and proposed orders. Copies should be delivered in the “courtesy box” outside the courtroom.

Machine summary. Not checked yet. · Civil cases

Page 1 | COURTESY COPIES

Courtesy copies of all motion papers must be delivered to Department 307 immediately upon e-filing.

Courtesy copies of all motion papers must be provided to Department 307 at the time of e-filing. Courtesy copies for e-filed motions do not have to be conformed but should have proof of submission of e-filing.

Machine summary. Not checked yet. · Civil cases

Page 1 | MOTIONS

Courtesy copies of ex parte papers and oppositions must be provided to Department 307.

Courtesy copies of the ex-parte papers and any opposition is to be provided to Dept. 307.

Machine summary. Not checked yet. · Civil cases

Page 1 | EX-PARTE APPLICATIONS

Courtesy copies of joint briefs requesting an IDC must be provided to the department upon filing.

A courtesy copy of the joint brief is to be provided to the department upon filing.

Machine summary. Not checked yet. · Civil cases

Page 2 | INFORMAL DISCOVERY CONFERENCES

Courtesy copies of all motions in limine, oppositions, and replies must be provided to the department upon filing.

Courtesy copies of all MIL documents, including oppositions and replies are required to be provided to the department upon filing.

Machine summary. Not checked yet. · Civil cases

Page 3 | FINAL STATUS CONFERENCE

Filing Bundling Requirements

Counsel must provide a complete set of motions in limine with oppositions in a binder (sentence continues from prior page).

counsel providing a complete set of motions in limine with oppositions in a binder.

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

Page 4 | FINAL STATUS CONFERENCE (FSC)

Pre-Motion Conference Requirements

Before filing a demurrer, motion to strike, or motion for judgment on the pleadings, moving counsel must meet and confer in person or by telephone with opposing counsel — a mandatory requirement under CCP §§ 430.41, 435.5 and 439.

MEET & CONFER REQUIREMENT FOR DEMURRERS, MOTIONS TO STRIKE AND MOTIONS FOR JUDGMENT ON THE PLEADINGS. Before filing any of these motions to challenge a complaint, the counsel for the moving party must meet and confer “in person or by telephone” with opposing counsel to discuss “whether an agreement can be reached that would resolve the objections to be raised by the demurrer.” CCP §§ 430.41, 435.5 and 439. This is a mandatory requirement. It is not to be evaded.

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

Page 2 | MEET & CONFER REQUIREMENT FOR DEMURRERS, MOTIONS TO STRIKE AND MOTIONS FOR JUDGMENT ON THE PLEADINGS

Demurrers, motions to strike, and motions for judgment on the pleadings require a mandatory meet and confer with opposing counsel before filing.

MEET & CONFER REQUIREMENT FOR DEMURRERS, MOTIONS TO STRIKE AND MOTIONS FOR JUDGMENT ON THE PLEADINGS. Before filing any of these motions to challenge a complaint, the counsel for the moving party must meet and confer “in person or by telephone” with opposing counsel to discuss “whether an agreement can be reached that would resolve the objections to be raised by the demurrer.” CCP §§ 430.41, 435.5 and 439. This is a mandatory requirement.

Machine summary. Not checked yet. · Civil cases

Page 2 | MEET & CONFER REQUIREMENT

IDCs are considered upon submission of a joint brief (max 5 pages) including three proposed dates and reasons for the request, e-filed by all parties.

Department 307 will consider conducting an Informal Discovery Conference upon submission of a joint request stipulated upon by all parties. The request shall be made by a joint brief not to exceed 5 pages to be submitted via e-filing and shall include three (3) proposed dates for the IDC to be held and shall state all reasons for the request.

Machine summary. Not checked yet. · Civil cases

Page 2 | INFORMAL DISCOVERY CONFERENCES

Adjournment & Extension Requirements

Trial continuances are usually not granted by this Court.

The Court does not usually grant trial continuances.

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

Page 4 | TRIAL CONTINUANCES

Documents of departments with no single judge listed

About Judge Richard L. Fruin

Judge Richard L. Fruin is a judge on the Superior Court of California, County of Los Angeles, sitting in the district division. The court is the state trial court serving Los Angeles County, handling trial-level matters.

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

Common questions about Judge Richard L. Fruin's rules

Are courtesy copies required for Judge Richard L. Fruin?

Courtesy-copy rule applies for CMC statements, demurrers, motions, oppositions, replys, fsc documents, and proposed orders. Details: by chambers drop off. Paper courtesy copies of CMC statements, demurrers, motions (including oppositions and replies), FSC documents, and proposed orders must be delivered in the courtesy box outside the courtroom.

View ruleSource: page 1, section COURTESY COPIES

Does Judge Richard L. Fruin require a pre-motion conference or letter before filing a motion?

Judge Richard L. Fruin's rules set a pre-motion procedure for demurrer, motion to strike, and motion for judgment on the pleadings. Before filing a demurrer, motion to strike, or motion for judgment on the pleadings, moving counsel must meet and confer in person or by telephone with opposing counsel — a mandatory requirement under CCP §§ 430.41, 435.5 and 439.

View ruleSource: page 2, section MEET & CONFER REQUIREMENT FOR DEMURRERS, MOTIONS TO STRIKE AND MOTIONS FOR JUDGMENT ON THE PLEADINGS

What page or word limits apply to joint brief before Judge Richard L. Fruin?

Judge Richard L. Fruin's rule states these limits: 5 pages. A request for an Informal Discovery Conference must be made by a joint brief not exceeding 5 pages.

View ruleSource: page 2, section INFORMAL DISCOVERY CONFERENCES (IDC)

What formatting rules apply to filings before Judge Richard L. Fruin?

Judge Richard L. Fruin's formatting rule includes binding three ring binder. Trial exhibits must be provided in binders, with three copies prepared for court use.

View ruleSource: page 4, section EXHIBIT BINDERS

What must be included with ex parte application filings before Judge Richard L. Fruin?

The rule identifies required filing content or certificates. Ex-parte applications must include a showing of urgency.

View ruleSource: page 1, section EX-PARTE APPLICATIONS

What must be included with motion filings before Judge Richard L. Fruin?

The rule identifies required filing content or certificates. Motion hearing dates must be reserved via the online Court Reservation System (CRS), and the CRS confirmation number must be indicated in the filing caption of all motion documents, including oppositions and replies.

View ruleSource: page 1, section MOTIONS

How do I request an adjournment or extension before Judge Richard L. Fruin?

Advance notice is not fully stated in the structured details. Trial continuances are usually not granted by this Court.

View ruleSource: page 4, section TRIAL CONTINUANCES

Does Judge Richard L. Fruin require motion papers to be bundled?

Yes. Judge Richard L. Fruin requires bundling for covered papers. Counsel must provide a complete set of motions in limine with oppositions in a binder (sentence continues from prior page).

View ruleSource: page 4, section FINAL STATUS CONFERENCE (FSC)

Is electronic filing required before Judge Richard L. Fruin?

Yes. Electronic filing is required for the covered filings. E-filing is mandatory for all filings, but is optional for self-represented litigants and litigants that have received an exemption from eFiling.

View ruleSource: page 1, section FILINGS

Are filing fees or waivers addressed before Judge Richard L. Fruin?

A fee is required for covered filings. Motion fee payments must be addressed at the time the motions are scheduled online through CRS.

View ruleSource: page 1, section MOTIONS

When is a filing treated as filed before Judge Richard L. Fruin?

The rule states a 10:00 a.m. filing cutoff. Ex-parte applications must be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing.

View ruleSource: page 1, section EX-PARTE APPLICATIONS

What rule applies to service for ex parte application before Judge Richard L. Fruin?

The rule addresses service method, recipient, or timing requirements. Details: recipient: the opposing party, timing: 0 hours at filing. The opposing party must be served with the ex-parte application at the same time the application is e-filed.

View ruleSource: page 1, section EX-PARTE APPLICATIONS
Complete rules summary for Judge Richard L. Fruin

E-filing is mandatory for all filings, but is optional for self-represented litigants and litigants that have received an exemption from eFiling.

Paper courtesy copies of CMC statements, demurrers, motions (including oppositions and replies), FSC documents, and proposed orders must be delivered in the courtesy box outside the courtroom.

Courtesy copies of all motion papers must be provided to Department 307 at the time of e-filing; they need not be conformed but should include proof of e-filing submission.

Ex-parte applications must include a showing of urgency.

Ex-parte applications must be e-filed no later than 10:00 a.m. on the day before the ex-parte hearing.

The opposing party must be served with the ex-parte application at the same time the application is e-filed.

Courtesy copies of ex-parte papers and any opposition must be provided to Department 307.

Motion hearing dates must be reserved via the online Court Reservation System (CRS), and the CRS confirmation number must be indicated in the filing caption of all motion documents, including oppositions and replies.

Motion fee payments must be addressed at the time the motions are scheduled online through CRS.

Before filing a demurrer, motion to strike, or motion for judgment on the pleadings, moving counsel must meet and confer in person or by telephone with opposing counsel — a mandatory requirement under CCP §§ 430.41, 435.5 and 439.

Motions to compel must show the discovery instrument has narrow and specific demands, including good cause under CCP 2031.310(b)(1) and that the demand is not unreasonably cumulative and duplicative under CCP 2031.310(g).

A request for an Informal Discovery Conference must be made by a joint brief not exceeding 5 pages.

IDC requests must be joint and stipulated by all parties, submitted via e-filing, and must include three proposed IDC dates and state all reasons for the request.

A courtesy copy of the IDC joint brief must be provided to the department upon filing.

CMC statements (Judicial Council form CM-110) must be filed at least 15 calendar days before the case management conference.

A courtesy copy of the CMC statement must be provided to the department upon filing.

Trial documents (special verdict, list of jury instructions, statement to the jury panel, list of witnesses, list of exhibits) are due four days before the FSC.

Parties must e-file the required trial documents four days before the FSC.

Courtesy copies of the trial documents must be provided to the department upon filing (four days before the FSC).

Witness lists must identify witnesses to be called at trial 'above the line' and witnesses not to be called 'below the line.'

Exhibit lists must use joint exhibit numbering agreed by both sides, exclude discovery instruments and discovery responses, and give individual page numbers to individual pages of larger documents.

Motions in limine must be filed and served early enough to give adequate statutory notice so they can be heard and decided at the FSC.

Courtesy copies of all motions in limine documents, including oppositions and replies, must be provided to the department upon filing.

Counsel must provide a complete set of motions in limine with oppositions in a binder (sentence continues from prior page).

Exhibits to be used at trial must be provided in binders.

Three exhibit binders for Court use (witness, Judicial Assistant, judge) must be provided to the Court four court days before the FSC.

Trial continuances are usually not granted by this Court.

Settlement agreements should include a provision pursuant to CCP §664.6.

e-Filing is mandatory for represented parties, optional for self-represented litigants or those with an eFiling exemption.

Courtesy copies are required for CMC statements, demurrers, motions (including oppositions/replies), FSC documents, and proposed orders, delivered to the courtroom courtesy box.

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