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IN THE ______________ COURT OF ______________, ___________________________
PLAINTIFF
V. NO.
) ))))))))
DEFENDANT
DEFENDANT'S MOTION FOR TRIAL CONTINUANCE
COMES NOW DEFENDANT, ___________________, by and through his attorneys of record
herein, and files this his Motion for Trial Continuance and would show unto the Court the following:
1.
This litigation arises out of an automobile accident which occurred on ____________, 20____, between
the Plaintiffs and ________________, an employee of ________________________. The Plaintiffs filed
this lawsuit on or about __________, 20_____. 2.
Plaintiff, _______________________, sustained facial cuts in this accident which resulted in some facial
scarring. This is the main aspect of her claim for personal injuries. ________________________
subsequently sought medical treatment from a plastic surgeon, _________________________, who
indicated that she could possibly benefit from two separate scar revision surgeries to help blend the facial
scarring into the surrounding facial tissues. On ___________, 20______, ___________________
underwent scar revision surgery performed by ____________________. ________________'s deposition
was taken on _________, 20______, and he testified that __________________'s facial scars look worse
now than they did before the surgery because of the surgical incisions. ____________________________
also testified that the scars look worse now as a result of the surgery than they will look six months from
now. _________________ further testified that it would take at least six months for the incisions and scars
to heal in order to realize the full effect and benefit of the surgical procedure. 3.
The accident in this case occurred on _____________, 20_____. Despite this fact, __________________
waited until just three months before the trial to go in for the surgical procedure to her face. This was not
an emergency surgery nor was it medically necessary or required. It was purely optional surgery. It is not
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fair to the Defendant for the Plaintiff to wait until right before trial to elect or choose to have a surgical
procedure that makes her injuries look worse than they did before the surgery and worse than they will
look after the full effect of the surgery has been realized, especially since it was not medically necessary at
the time it was performed and indeed could have been performed after the trial. The Defendant submits
that the surgery performed on _____________________ was timed to coincide with the trial date in order
to cast her injuries and facial scars in the worst light possible to the jury. The Defendant will clearly be
prejudiced if he is required to go to trial on __________, 20____, and the Plaintiff is allowed to mislead
the jury into believing that her scars are actually worse than they really are, especially since the sc ars will
look substantially different and much better only months after the November trial date. Allowing
___________________________ to create worse looking injuries by having elective surgery right before
trial and then exhibit to the jury injuries which appear worse than they will be after the surgical wounds
have healed, will result in a windfall to ___________________________ in the form of a higher verdict
being rendered than otherwise would have been had the injuries been shown to the jury before the surgery
or at least after the surgical wounds have healed.
4.
The Defendant is not attempting to avoid a trial setting. To the contrary, the Defendant simply wants a
level playing field with the jury being allowed to consider the true nature of Plaintiff's injuries and not an
injury made worse right before trial by elective surgery, not by an action on the part of the Defendant, but
by the Plaintiff's own hand and the hand of her surgeon. All parties ought to be concerned that justice and
fair play wins out in this case and that the jury places an accurate and fair value on ________________'s
injuries, if a verdict is appropriate. Plaintiffs will not be prejudiced in any way whatsoever if this trial is
continued since a new trial date can be obtained soon after Plaintiff's surgical wounds have healed.
Therefore, __________________________ respectfully requests that this Court enter an Order continuing
this case from its present trial setting of ___________, 20______. WHEREFORE, PREMISES CONSIDERED, Defendant, _____________________, requests the
Court to grant a continuance of the ________, 20____, trial setting in this case.
RESPECTFULLY SUBMITTED, this the ____________ day of _________, 20______. OF COUNSEL: __________________________________
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CERTIFICATE OF SERVICE
I, ________________________________, do hereby certify that I have this day mailed a true
and correct copy of the above and foregoing pleading to the following counsel for Plaintiffs: ______________________________
ATTORNEY FOR PLAINTIFFS
THIS the _______ day of ___________, 20_____.
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