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  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
  • JONAS, CHRISTOPHER v. LAITMAN, STEVEN Et AlT40 - Torts - Assault and Battery document preview
						
                                

Preview

DOCKET NO. AAN-CV~14-5011045-S: SUPERIOR COURT CHRISTOPHER JONAS J. D. OF ANSONIA/MILFORD vs. AT MILFORD TOWN OF WESTPORT, ET AL + MAY 1, 2024 DEFENDANTS’ MOTION IN LIMINE RE DR. WARREN STEINBERG Pursuant to P.B. Section 15-3 the undersigned defendants respectfully request the Court to enter an order precluding the plaintiff from eliciting evidence from Dr. Warren Steinberg that is not directly related to his observations of the plaintiffs’ condition after the events of June 8, 2012, Per previous Court order (DN 225.11) the plaintiff may bring in medical witnesses to testify only as to facts they observed and not give any opinions as to the medical condition of the plaintiff. In previous motions plaintiff has indicated that he would offer Dr. Steinberg to testify as to his medical condition(s), the consequence of experiencing trauma, that arriving at a diagnosis has been difficult; plaintiffs’ condition before during and after the altercation. The scope of this planned testimony is beyond the scope of the Court order and Dr. Steinberg along with any other proffered treating doctor should be held to the limitations of the Court order which the defense has relied upon in preparing its defense for trial. For all the foregoing reasons, the defendants request the Motion in Limine be granted. THE DEFENDANTS, STEVEN AND JOYCE LAITMAN BY Wo Dn ttt ELLEN M. COSTELLO DEL SOLE LLP & DEL SOLE, 46. SOUTH. WHITTLESEY AVENUE WALLINGFORD, CT 06492 (203) 284-8000 (203) 284-9800 FACSIMILE JURIS NO. 101674 ELLENC@DELSOLEDELSOLE.COM CERTIFICATION I hereby certify that a copy of the foregoing has been mailed postage prepaid and/or sent via electronic mail and/or via facsimile on this date to the following: Pro Se Christopher Jonas 494 Bridgeport Avenue, Unit 127 Shelton, CT 06484 Ellen lantn. (Lele M. Costello