Claimants first set of request for production mississippi form
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CLAIMANT'S FIRST SET OF REQUEST FOR PRODUCTION
Comes now the claimant, , pursuant to the rules of the
Mississippi Workers' Compensation Commission, and requests the
Employer/Carrier to produce and permit the inspection and copying of the
following documents within thirty (30) days after receipt thereof at the
ofce of counsel for Claimant located at .
The term "documents" includes, but is not limited to, all handwritten,
typed, printed and photocopies matter, and drafts, duplicates, carbon
copies or any other copy thereof, in the possession, custody or control of
the Carrier or the counsel for the Employer and Carrier including without
limiting the generality of the defnition all letters, correspondence,
memoranda, notes, reports, statements, paraphrases of statements,
drawings, tape recordings, graphs and charts, printouts and computations,
work papers, studies, agreements, contracts, and records of telephone
calls in the possession, control or custody of the Employer or Carrier or its
attorney. The manner of inspection shall be personal inspection including
the copying and photographing by or on behalf of the Claimant the
following mentioned documents, and other tangible things, not privileged.
I. REQUEST NO. Please produce a copy of the entire claim fle of
concerning .
1. REQUEST NO. Please produce a copy of all medical, hospital,
drug or doctor's bill incurred by Claimant in connection with the injuries
and/or medical condition for which claim is made herein, which have not
previously been provided to claimant.
2. REQUEST NO. Please produce a copy of all medical reports in
your possession concerning Claimant, .
3. REQUEST NO. Please produce a copy of all documents fled by
with the Mississippi Workers' Compensation Commission in
connection with the injuries sustained by while an employee at .
4. REQUEST NO. All insurance agreements or policies under
which any person or entity carrying on an insurance business may be
liable, to satisfy part or all of a judgment that may be rendered in this
action or to indemnify or reimburse for payments made to satisfy the
judgment.
5. REQUEST NO. All photographs or videotapes that
Employer/Carrier has of the Claimant.
6. REQUEST NO. Copies of all statements made by Claimant
concerning the subject matter of this lawsuit, including any written
statement signed or otherwise adopted or approved by the Claimant
hereto and any stenographic, mechanical, electrical or other type of
recording or any transcription thereof made by the Claimant hereto and
contemporaneously recorded.
Page - 2 -
7. REQUEST NO All experts' reports that have been prepared in
connection with this lawsuit or the incident giving rise to this lawsuit, if the
expert is expected to or may testify in this cause as an expert. If any such
expert has not prepared a report, request is hereby made that one be
prepared and furnished to Claimant's attorney.
8. REQUEST NO. A true and correct copy of the Claimant's
personnel fle with Defendant's insured.
9. REQUEST NO. All documents comprising or relating in any way
to personnel records, including job applications, job descriptions, and job
evaluations.
10. REQUEST NO. All wage and/or payroll records of the Claimant,
including all pay stubs, time cards, beneft payments, wages, or the like.
Claimant requests that Defendants produce the above mentioned
documents and records at the ofce of the Claimant's attorney, for
inspection and copying at or before the close of the business on or before
the 31st day after this Request for Production is served on the
Employer/Carrier.
Page - 3 -
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