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1 Any Attorney or Party

Any Street
2 Any Town, CA 55555

3 714-555-5555

4 Any Attorney or Party

8 Superior Court of the State of California

9 For the County of_________________

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11 Any Plaintiff, ) Case No.


)
12 NOTICE OF MOTION AND MOTION TO COMPEL
Plaintiff, )
PRODUCTION OF DOCUMENTS BY
)
13 __________; AND FOR MONETARY
vs. )
SANCTIONS IN THE AMOUNT OF $_________,
)
14 MEMORANDUM OF POINTS AND
Any Defendant, )
AUTHORITIES, DECLARATION OF __________,
)
EXHIBITS
15 Defendant. )
) DATE: TIME:
16 )
DEPT:
)
17 )
)
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19 TO: _____________________________ AND THEIR ATTORNEY OF


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RECORD HEREIN:
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PLEASE TAKE NOTICE that on ____________, _______, at _______.m. or as soon
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thereafter as the matter may be heard, in Department ________ of the above-entitled court, located at
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24 __________________________, ___________________________will and hereby do move this

25 Court:
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NOTICE OF MOTION AND MOTION TO COMPEL PRODUCTION OF DOCUMENTS
1 1. For an order compelling ___________________________ to produce the documents
2 requested in the Deposition Subpoena for Production of Business Records served on ___________ on
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____________________; and
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2. For an order of sanctions as against __________ in the amount of $_____ for failure to
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produce the documents requested in the Deposition Subpoena for Production of Business Records

7 served on ____________ on _______________.

8 This motion is brought pursuant to Code of Civil Procedure 2025.480(b) on the grounds
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that as ________________ were served with a Deposition Subpoena for Production of Business
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Records on ____________, with a production date of __________, and _________, failed to produce
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the requested records, by said date, and has still failed to produce the requested records as of the date
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13 of filing of this motion, the Court should issue an Order compelling ___________, to produce the

14 requested documents, and should order sanctions against ___________, in the amount of $_______
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for failure to produce the documents requested in the Deposition Subpoena for Production of
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Business Records served on _________________, on _____________.
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This motion is based upon this notice, the attached memorandum of points and authorities,
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19 declaration of _____________, and exhibits, the separate statement concurrently served and

20 filed with this motion, and upon such oral and documentary evidence as may be presented to the
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Court by _________________ at the time of the hearing.
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23 Dated________________ _______________________________________________
ANY ATTORNEY OR PARTY
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NOTICE OF MOTION AND MOTION TO COMPEL PRODUCTION OF DOCUMENTS
1 MEMORANDUM OF POINTS AND AUTHORITIES
2 I.
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PRELIMINARY STATEMENT
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The plaintiff in this action is _________________, (________). ________ is the assignee of
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the original creditor, __________________, (_________).

7 Defendant ______________, (Defendant) hereby submits their memorandum of points and

8 authorities in support of this motion seeking an order compelling _____________ to produce the
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documents requested in the Deposition Subpoena for Production of Business Records served on
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_____________ , on _________, and for an order of sanctions as against _____________ , in the
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amount of $______________ for failure to produce the documents requested in the Deposition
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13 Subpoena for Production of Business Records served on _____________ , on ____________.

14 A true and correct copy of the Deposition Subpoena for Production of Business Records
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served on _____________ , on _____________ is attached to the Declaration of ______________ as
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Exhibit A and incorporated herein by reference. A true and correct copy of the Proof of Service is
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attached as Exhibit B to the Declaration of _________________and incorporated herein by
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19 reference.

20 This motion should be granted because Defendant has properly completed a good faith meet
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and confer effort to _____________ regarding their failure to respond to the Deposition Subpoena for
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Production of Business Records served on them. Despite the fact that counsel for Defendant sent an
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extensive meet and confer letter to _____________, no response, whether it be a letter or a phone
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25 call, has been received by counsel.

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NOTICE OF MOTION AND MOTION TO COMPEL PRODUCTION OF DOCUMENTS
1 To purchase the entire 12 page document visit:
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compel-production-of-documents-for-california
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NOTICE OF MOTION AND MOTION TO COMPEL PRODUCTION OF DOCUMENTS

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