
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 ) File no. __________ C.D., ) Defendant ) REQUEST FOR ADMISSION OF FACTS AND GENUINENESS OF DOCUMENTS Plaintiff A.B. requests defendant C.D. within ______ days after service of this request to make the following admissions for the purpose of this action only and subject to all pertinent objections to admissibility which may be interposed at the trial: 1. That each of the following documents exhibited with this request is genuine: (Here list the documents and describe each document). 2. That each of the following statements is true: (Here list the statements). __________________________________ Attorney for plaintiff __________________________________ Address
(Ga. L. 1966, p. 609, § 127; Ga. L. 1980, p. 649, § 18.)
Cited in A & D Barrel & Drum Co. v. Fuqua, 132 Ga. App. 827, 132 S.E.2d 272 (1974).
- 61A Am. Jur. 2d, Pleading, § 31 et seq.
- 71 C.J.S., Pleading, § 43 et seq.
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This Georgia Code resource is curated by this site's author, 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.