Court Rules
Judge

Judge Jamel K. Semper

Individual Rules, Standing Orders & Policies

District of New Jersey

Limits & Logistics

Courtesy Copies

Courtesy copies

  • 2 copies

Binding: Spiral

Filters:AllMandatoryImportantFormattingJuryExhibitsConferencesTRO/InjunctionEvidence/WitnessesBinders/TabsMemoranda

Document Format Requirements2 rules

FormattingCivil cases

Machine summary. Not checked yet.Important?

The materials should also be sent to the Court on a disc in Microsoft Word format.

Summary: Jury trial materials must be submitted on a disc in Microsoft Word format.

Required Format

DOCX

FormattingCivil cases

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Submissions should be tabbed and spiral bound (not Velo-bound).

Summary: Jury trial submissions must be tabbed and spiral bound, not Velo-bound.

Layout & Binding
Binding Style
Spiral

Document Filing Requirements16 rules

Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

Each side shall submit to the Court and opposing counsel a trial brief or memorandum in accordance with Local Civil Rule 7.2 with citation to authorities and arguments in support of its position on all disputed issues of law.

Summary: Each side must submit a trial brief or memorandum per Local Civil Rule 7.2.

Document Type

Trial Brief

Content & Formatting
Local Rule Certificate
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

The parties shall prepare a joint trial exhibit list containing a description of all exhibits. The list shall be divided into three columns: the first column will identify the exhibit; the second column will state the opponent's objection and contain a short statement citing the relevant rule and/or concept that supports the objection; the third column will contain the proponent's rationale for admissibility. The exhibits themselves are to be pre-marked and must include exhibit stickers. Additionally, the parties must prepare three copies of the bench book containing the exhibits that they expect to use.

Summary: Parties must prepare a joint trial exhibit list with three columns and three copies of a bench book with pre-marked exhibits.

Document Type

Joint Trial Exhibit List

Content & Formatting
Exhibit List
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

Following a non-jury trial, proposed findings of fact and conclusions of law must be submitted to the Court within one week of the close of trial (or as otherwise ordered by the Court). Submitting litigants must include specific reference to testimonial or documentary evidence in support of the proposals.

Summary: Proposed findings of fact and conclusions of law must be submitted within one week of trial close with evidence references.

Document Type

Proposed Findings Conclusions

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

AMENDMENTS TO THIS PRETRIAL ORDER WILL GENERALLY NOT BE PERMITTED ABSENT GOOD CAUSE SHOWN. THE COURT MAY FROM TIME TO TIME SCHEDULE CONFERENCES AS MAY BE REQUIRED EITHER ON ITS OWN MOTION OR AT THE REQUEST OF COUNSEL.

Summary: Amendments to the pretrial order require good cause; the Court may schedule conferences as needed.

Document Type

Pretrial Order

Specific requirements detailed in rule text.
JKSSampleFinalPretrialOrder · p. 8
|SecAMENDMENTS TO THIS PRETRIAL ORDER
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

If a party anticipates introducing deposition testimony at trial, then such deposition designations, and any evidentiary objections thereto, must be submitted to the Court no later than two weeks before trial.

Summary: Deposition designations and objections due 2 weeks before trial.

Document Type

Deposition Designations

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

Machine summary. Not checked yet.Mandatory?

At least three weeks before the start of trial, counsel for all parties must submit an exhibit index. The list must identify the witness through which each exhibit will be introduced. Counsel must also denote exhibits that will be marked for identification but not moved into evidence.

Summary: Exhibit index required 3 weeks before trial with witness identification.

Document Type

Exhibit Index

Content & Formatting
Case Number
Filing RequirementsCivil cases

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Defendant intends to prove the following contested facts with regard to liability: ... Proof shall be limited at trial to the contested facts set forth below. Failure to set forth any contested facts shall be deemed a waiver thereof.

Summary: Defendant must list contested facts in the pretrial order; failure results in waiver.

Document Type

Pretrial Order

Content & Formatting
Statement Of Facts
JKSSampleFinalPretrialOrder · p. 3
|Sec10. DEFENDANT'S CONTESTED FACTS
Filing RequirementsCivil cases

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Only those motions listed herein will be entertained prior to trial.

Summary: Only motions listed in the pretrial order will be considered before trial.

Document Type

Pretrial Order

Specific requirements detailed in rule text.
JKSSampleFinalPretrialOrder · p. 3
|Sec4. PENDING/CONTEMPLATED MOTIONS/TRIAL BRIEFS
Filing RequirementsCivil cases

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Plaintiff must state contested facts separately for each Defendant. Proof shall be limited at trial to the contested facts set forth below. Failure to set forth any contested facts shall be deemed a waiver thereof.

Summary: Plaintiff must list contested facts separately for each defendant in the pretrial order; failure results in waiver.

Document Type

Pretrial Order

Content & Formatting
Statement Of Facts
JKSSampleFinalPretrialOrder · p. 3
|Sec9. PLAINTIFF'S CONTESTED FACTS
Filing RequirementsCivil cases

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Aside from those called for impeachment purposes, only the witnesses whose names and addresses are listed below will be permitted to testify at trial.

Summary: Only witnesses listed in the pretrial order may testify at trial, except impeachment witnesses.

Document Type

Pretrial Order

Specific requirements detailed in rule text.
JKSSampleFinalPretrialOrder · p. 4
|Sec11. PLAINTIFF'S WITNESSES
Filing RequirementsCivil cases

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No expert or specialized lay opinion witness offering scientific, technical, or other specialized knowledge will be permitted to testify at trial unless listed below. A summary of the expert's qualifications and a copy of his/her report must be provided for the Court's review at the pretrial conference. Said summary shall be read into the record at the time he/she takes the stand, and no opposing counsel shall be permitted to question his/her qualifications unless the basis of the objection is set forth herein.

Summary: Expert witnesses must be listed in the pretrial order with qualifications summary and report provided at pretrial conference; objections to qualifications must be stated in the pretrial order.

Document Type

Pretrial Order

Specific requirements detailed in rule text.
JKSSampleFinalPretrialOrder · p. 4
|Sec13. EXPERT AND SPECIALIZED LAY OPINION WITNESSES
Filing RequirementsCivil cases

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If any party intends to request phasing, bifurcation, or other procedure concerning the trial length or ordering of evidence, that party shall include any such request herein and explain the basis for the request.

Summary: Requests for bifurcation or phasing must be included with an explanation.

Document Type

Bifurcation Request

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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Each party shall identify the names, law firms, addresses, telephone numbers (including cell phone), and email addresses for the attorneys who will try the case on behalf of that party.

Summary: Each party must identify trial counsel with contact information.

Document Type

Trial Counsel Identification

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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Each party shall specify the number of hours that it contends is appropriate for each party for each of the following: (a) voir dire; (b) opening statements; (c) presentation of evidence for liability; (d) presentation of evidence for damages; (e) closing arguments.

Summary: Each party must estimate trial hours for voir dire, openings, evidence, and closings.

Document Type

Trial Length Estimate

Specific requirements detailed in rule text.
JKSSampleFinalPretrialOrder · p. 7
|Sec25. ESTIMATED LENGTH OF TRIAL
Filing RequirementsCivil cases

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If any hypothetical questions are to be put to an expert witness on direct examination, they shall be submitted to the Court and opposing counsel.

Summary: Hypothetical questions for expert witnesses must be submitted to the Court and opposing counsel.

Document Type

Hypothetical Questions

Specific requirements detailed in rule text.
Filing RequirementsCivil cases

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If an action is settled after the jury has been summoned or during trial, the parties are reminded that the Court is likely to assess the costs of empaneling the jury on the parties and/or their attorneys.

Summary: Settlement after jury summons may result in jury cost assessment.

Document Type

Settlement

Specific requirements detailed in rule text.
JudgeSemperCivilJuryTrialPreferences · p. 2
|SecSettlement After Jury Selection

Filing & Service rules

Filing Timing and Cure Windows

Pre-trial motions, including Daubert and in limine motions, must be fully briefed and filed at least 45 days before trial unless the Court orders otherwise.

ALL PRE-TRIAL MOTIONS INCLUDING DAUBERT AND IN LIMINE MOTIONS SHALL BE FULLY BRIEFED AND FILED NO LATER THAN FORTY-FIVE (45) DAYS PRIOR TO TRIAL or AS OTHERWISE ORDERED BY THE COURT.

Machine summary. Not checked yet. · Civil cases

Page 3 | 4. PENDING/CONTEMPLATED MOTIONS/TRIAL BRIEFS

Jury trial materials must be submitted no later than 45 days before trial, unless the Court orders otherwise.

These materials are due no later than forty-five (45) days prior to trial (or as otherwise ordered by the Court).

Machine summary. Not checked yet. · Civil cases

Page 6 | 21. JURY TRIALS

Non-jury trial materials must be submitted at least 45 days before trial.

The materials must be submitted no later than forty-five (45) days prior to trial or as otherwise ordered by the Court

Machine summary. Not checked yet. · Civil cases

Page 7 | 22. NON-JURY TRIALS

Courtesy Copy Requirements

For jury trials, litigants must send 2 courtesy copies to Chambers, tabbed and spiral bound, and also send a disc in Microsoft Word format, due 45 days before trial.

Litigants should send to Chambers two (2) courtesy copies of the following materials. Submissions should be tabbed and spiral bound (not Velo-bound). The materials should also be sent to the Court on a disc in Microsoft Word format. These materials are due no later than forty-five (45) days prior to trial (or as otherwise ordered by the Court).

Machine summary. Not checked yet. · Civil cases

Page 6 | 21. JURY TRIALS

Trial exhibits must be submitted via USB plus two hard copies.

All trial exhibits should be submitted to the Court via USB drive. The parties should also submit two hard copies of exhibits to the Court.

Machine summary. Not checked yet. · Civil cases

Page 1 | Exhibits

Filing Bundling Requirements

Joint submissions required 3 weeks before trial via USB and docket.

At least three weeks before trial, counsel for all parties must confer and submit joint versions of the items listed below both on the docket and via USB containing Word versions of the joint submissions:

Machine summary. Not checked yet. · Civil cases

Page 1 | Joint Submissions

Pre-Motion Conference Requirements

Motions in limine must be filed 4 weeks before trial; responsive papers 3 weeks before.

Any motions in limine must be submitted to the Court at least four weeks before the start of trial. Any responsive papers shall be submitted at least three weeks before the start of trial.

Machine summary. Not checked yet. · Civil cases

Page 1 | Motions in Limine

About United States District Judge Jamel K. Semper

**Judge Jamel K. Semper** was appointed to the District of New Jersey by President Joseph R. Biden in 2023. Born in Brooklyn, New York, Judge Semper earned his undergraduate degree from Hampton University and his law degree from Rutgers School of Law–Newark. He began his legal career as a law clerk to a New Jersey Superior Court judge before spending a decade as a county prosecutor in Union and Essex Counties, including directing the Special Prosecutions Unit in Essex County. He then joined the U.S. Attorney's Office for the District of New Jersey, where he served as deputy chief of the Criminal Division and oversaw violent crimes and organized crime initiatives. **Education** - Rutgers School of Law–Newark, J.D., 2007 - Hampton University, B.A., 2003 **Career** - Law clerk, Superior Court of New Jersey, Essex County, 2007–2008 - Assistant Prosecutor, Union County Prosecutor's Office, 2008–2013 - Assistant Prosecutor (including Director, Special Prosecutions Unit), Essex County Prosecutor's Office, 2009–2018 - Assistant U.S. Attorney (Deputy Chief, Criminal Division), District of New Jersey, 2018–2023 - U.S. District Judge, District of New Jersey, 2023–present

**Division:** Newark **Courthouse:** Frank R. Lautenberg U.S. Post Office & Courthouse, 2 Federal Square, Newark, NJ 07102 **Chambers:** Courtroom PO 03 **Phone:** (973) 645-3493 **Chambers Staff** - Courtroom Deputy: Shea Smith, (973) 776-7745 - Court Reporter: Laurie Engemann, (973) 776-7714

Common questions about Judge Jamel K. Semper's rules

Are courtesy copies required for Judge Jamel K. Semper?

Details: 2 copies. For jury trials, litigants must send 2 courtesy copies to Chambers, tabbed and spiral bound, and also send a disc in Microsoft Word format, due 45 days before trial.

View ruleSource: page 6, section 21. JURY TRIALS

Does Judge Jamel K. Semper require a pre-motion conference or letter before filing a motion?

Judge Jamel K. Semper's rules set a pre-motion procedure for motions in limine. Motions in limine must be filed 4 weeks before trial; responsive papers 3 weeks before.

View ruleSource: page 1, section Motions in Limine

What formatting rules apply to filings before Judge Jamel K. Semper?

Judge Jamel K. Semper's formatting rule includes binding spiral, tabbed, and not velo-bound. Jury trial submissions must be tabbed and spiral bound, not Velo-bound.

View ruleSource: page 6, section 21. JURY TRIALS

What must be included with joint trial exhibit list filings before Judge Jamel K. Semper?

The rule requires exhibit list and exhibit list. Parties must prepare a joint trial exhibit list with three columns and three copies of a bench book with pre-marked exhibits.

View ruleSource: page 7, section 22. NON-JURY TRIALS

What must be included with trial brief filings before Judge Jamel K. Semper?

The rule requires local rule certificate. Each side must submit a trial brief or memorandum per Local Civil Rule 7.2.

View ruleSource: page 7, section 22. NON-JURY TRIALS

Does Judge Jamel K. Semper require motion papers to be bundled?

Yes. Judge Jamel K. Semper requires bundling for covered papers. Joint submissions required 3 weeks before trial via USB and docket.

View ruleSource: page 1, section Joint Submissions

What filing deadlines does Judge Jamel K. Semper set?

Pre-trial motions, including Daubert and in limine motions, must be fully briefed and filed at least 45 days before trial unless the Court orders otherwise.

View ruleSource: page 3, section 4. PENDING/CONTEMPLATED MOTIONS/TRIAL BRIEFS
Complete rules summary for Judge Jamel K. Semper

Pre-trial motions, including Daubert and in limine motions, must be fully briefed and filed at least 45 days before trial unless the Court orders otherwise.

Only motions listed in the pretrial order will be considered before trial.

Plaintiff must list contested facts separately for each defendant in the pretrial order; failure results in waiver.

Defendant must list contested facts in the pretrial order; failure results in waiver.

Only witnesses listed in the pretrial order may testify at trial, except impeachment witnesses.

Non-jury trial materials must be submitted at least 45 days before trial.

Expert witnesses must be listed in the pretrial order with qualifications summary and report provided at pretrial conference; objections to qualifications must be stated in the pretrial order.

Jury trial submissions must be tabbed and spiral bound, not Velo-bound.

Jury trial materials must be submitted on a disc in Microsoft Word format.

Jury trial materials must be submitted no later than 45 days before trial, unless the Court orders otherwise.

Parties must prepare a joint trial exhibit list with three columns and three copies of a bench book with pre-marked exhibits.

Each side must submit a trial brief or memorandum per Local Civil Rule 7.2.

Proposed findings of fact and conclusions of law must be submitted within one week of trial close with evidence references.

Hypothetical questions for expert witnesses must be submitted to the Court and opposing counsel.

Each party must identify trial counsel with contact information.

Requests for bifurcation or phasing must be included with an explanation.

Each party must estimate trial hours for voir dire, openings, evidence, and closings.

Amendments to the pretrial order require good cause; the Court may schedule conferences as needed.

For jury trials, litigants must send 2 courtesy copies to Chambers, tabbed and spiral bound, and also send a disc in Microsoft Word format, due 45 days before trial.

Motions in limine must be filed 4 weeks before trial; responsive papers 3 weeks before.

Joint submissions required 3 weeks before trial via USB and docket.

Exhibit index required 3 weeks before trial with witness identification.

Deposition designations and objections due 2 weeks before trial.

Settlement after jury summons may result in jury cost assessment.

Trial exhibits must be submitted via USB plus two hard copies.

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