Pre-Trial Statement / Report
Drafts U.S. commercial litigation pre-trial statements and joint pretrial reports presenting stipulated facts, contested issues, witness/exhibit lists, and trial management items. Trigger when the user needs a pre-trial statement, joint pretrial report/order, trial readiness filing, or witness/exhibit compilation under local rules.
Pre-Trial Statement / Report
Draft a court-compliant pre-trial statement that narrows issues and provides the trial roadmap.
Quick Start
Gather before drafting:
- Local rules / judge order — controls required sections and format.
- Case posture — claims, defenses, key rulings.
- Stipulated facts — agreed wording from opposing counsel (if joint).
- Contested issues — law and fact, aligned to trial themes.
- Witness disclosures and expert reports.
- Exhibit inventory — Bates numbers, exhibit IDs.
- Trial management inputs — length, jury/bench, motions in limine status.
Document Structure
- Caption + Title
- Introductory paragraph (filing type, governing order)
- Stipulated Facts
- Contested Issues of Law
- Contested Issues of Fact
- Witness List
- Exhibit List
- Procedural / Trial Management Matters
- Signature block(s) per local rule
Section Details
Stipulated Facts
One fact per number; use verbatim agreed wording. Non-argumentative only.
| No. | Stipulated Fact (verbatim) | Source / Record Cite | Notes |
|---|
Contested Issues of Law
Frame each as a discrete question the court must decide.
| No. | Legal Issue (question) | Authority | Impact on Trial |
|---|
Phrasing patterns:
- "Whether [legal standard] applies to [claim/defense] where [key fact]…"
- "Whether [doctrine] bars [claim] given [contract/statute]…"
Contested Issues of Fact
State neutrally at meaningful granularity.
| No. | Factual Issue (neutral) | Key Evidence Sources | Notes |
|---|
Phrasing patterns:
- "Whether [party] represented [fact] on [date]."
- "Whether [event] caused [harm/damages]."
Witness List
Only properly disclosed witnesses; flag proposed additions.
| Order | Witness Name | Type (Fact/Expert) | City/State | Subject of Testimony | Disclosure / Report |
|---|
Exhibit List
Follow local numbering convention and joint numbering rules.
| Exh No. | Description | Bates / ID | Offered By | Objection / Stipulation |
|---|
Procedural / Trial Management Matters
Include only items required by local rule or judge order:
- Trial type (jury/bench) and estimated length
- Damages categories and amounts (if required)
- Motions in limine list and status
- Deposition designations and counter-designations
- Technology / courtroom needs
- Proposed jury instructions or verdict form issues (if required)
- Bifurcation / sequencing proposals
- ADR history or settlement status (if allowed by rule)
Signature Block
Include counsel signatures per local rule. If joint, include all parties.
Pitfalls & Checks
- Local rules and judge orders are controlling authority — verify required sections and format before drafting.
- Never concede contested elements in stipulated facts or issue framing.
- Stipulated facts must be purely factual, actually agreed, and non-argumentative.
- Align issues with claims/defenses and anticipated jury instructions.
- Verify every witness and exhibit is properly disclosed; flag gaps.
- Maintain consistent numbering and labels throughout.
- Confirm page limits, font, spacing, and header/footer requirements.
- Flag missing inputs or unresolved joint wording for attorney review.
It looks like I need write permission to save the file. Could you approve the write so I can persist it, or would you like to copy the output above directly?
No additional documents ship with this skill.
Related Skills
Rule 30(b)(6) Corporate Representative Deposition
Manages Rule 30(b)(6) corporate representative deposition workflows — drafting notice topics with reasonable particularity, building examination outl…
30(b)(6) Corporate Representative Deposition
Guides taking and defending Rule 30(b)(6) corporate representative depositions. Drafts topic lists with reasonable particularity, builds examination …
Abstract of Judgment
Drafts a recordable Abstract of Judgment to create a judgment lien on a debtor's real property. Extracts party names, monetary components, and judgme…
Amicus Brief
Drafts and analyzes U.S. appellate amicus curiae briefs for non-parties with Rule 29/Rule 37 compliance, unique perspective development, and Bluebook…
Amicus Coalition Management
Manages end-to-end workflow for multi-organization amicus coalition briefs in appellate courts. Covers single-pen drafting governance, position align…