
Your Trusted Partner in Personal Injury & Workers' Compensation
Call Now: 904-383-7448IN THE ________ COURT OF ________ COUNTY STATE OF GEORGIA A.B., ) Plaintiff ) v. ) Civil action C.D., ) File no. ________ Defendant ) E.F., ) Applicant for Intervention ) MOTION TO INTERVENE AS A DEFENDANT E.F. moves for leave to intervene as a defendant in this action, in order to assert the defenses set forth in his proposed answer, of which a copy is hereto attached, on the ground that __________________. ______________________________ Attorney for E.F., applicant for intervention ______________________________ Address NOTICE OF MOTION (Contents the same as in Code Section 9-11-119) ________ IN THE ________ COURT OF ________ COUNTY STATE OF GEORGIA A.B., ) Plaintiff ) v. ) Civil action C.D., ) File no. ________ Defendant ) E.F., ) Intervenor ) INTERVENOR'S ANSWER First Defense Intervenor admits the allegations stated in paragraphs 1 and 4 of the complaint, denies the allegations in paragraph 3, and denies the allegations in paragraph 2 insofar as they assert the ____________________________________ ______________________________________. Second Defense (Set forth defenses) ____________________________ Attorney for E.F., intervenor ____________________________ Address (Like form if intervention is as plaintiff).
(Ga. L. 1966, p. 609, § 125; Ga. L. 1984, p. 22, § 9.)
- 61A Am. Jur. 2d, Pleading, § 31 et seq.
- 71 C.J.S., Pleading, § 43 et seq.
Database error: SQLSTATE[HY000]: General error: 8 attempt to write a readonly database
This Georgia Code resource is curated by Graham W. Syfert, a personal injury and workers' compensation attorney admitted in Georgia (State Bar of Georgia No. 881027, since 2006) and Florida. Attorney Syfert regularly works with Title 9 in the context of Georgia civil practice and statute of limitations and represents clients throughout Northeast Florida and South Georgia. For legal consultation, call 904-383-7448.