Affidavit of Revocation
Affidavit of Revocation
Affidavit of Revocation
__________________
Affiant
Acknowledgement
State of ________________________
County of ______________________
OFFER TO SETTLE
The
plaintiff, . . . . . . . . . . . . . . . . . . . . . . . .
The defendant, . . . . . . . . . . . . . . . . . . . .
. . . . . . . . . . . . . , offers to settle your claim for
the sum of Php. . . . . . . . . . . . . . . . . . . . and
costs to be assessed.
The defendant, . . . . . . . . . . . . . . . . . . . .
. . . . , offers to settle your various claims listed
hereunder for the amounts set out opposite each claim, and
costs to be assessed.
The defendant, . . . . . . . . . . . . . . . . . ,
offers to settle your claim on the following terms:
a.
b.
The plaintiff, . . . . . . . . . . . . . . . . . . . .
. , offers to accept the sum of Php. . . . . . . . . . . . .
. . in full settlement of his claim and costs on condition
that payment of that amount be made in cash or by
certified cheque at the time of acceptance of this offer.
DATED
at . . . . . . . . . . . . . . . . . . . . . . . . . . ,
this . . . . . . . . . . . . . . day
of . . . . . . . . . . . . . . . . . . . . , 19. . . . . . .
. .
........................
The plaintiff . . . . . . . . . . . . . . . . . . . .
. . . . . . . . .
The defendant, . . . . . . . . . . . . . . . . . . .,
revokes his offer to settle dated
the . . . . . . . . . . . . . . . .
day of . . . . . . . . . . . . ., 19. . . . .
DATED at . . . . . . . . . . . . . .,
this . . . . . . . . . . . . . day of . . . . . . . . . . .,
19. . . . .
...........................
REVOCATION OF
THE ____________________________
I hereby direct you, as trustee, to turn over and deliver to me all property held by
you subject to the terms and provisions of the Revocable Living Trust Agreement,
together with all accumulations of interest and income.
_________________________
Settlor
Sworn to and subscribed before me this the _____ day of ____________, 20__.
Notary Public
Defendant(s) )
Plaintiff, ______________________, alleges:
1. Plaintiff is now, and at all times mentioned in this complaint has been, __[state facts
that show plaintiff's status and interest in subject of action, e.g., "Plaintiff is the owner of
certain described real property�/ or Plaintiff is a shareholder of _________corporation
engaged in the business of].
2. Defendant, _________________, is now, and at all times mentioned in this complaint
has been, [state facts that show defendant's status in relation to plaintiff, e.g., " Defendant
is the owner of certain described real property�/ or Plaintiff is an officer __________
corporation engaged in the business of].
3. On or about ______, and continuing to the present, defendant has wrongfully and
unlawfully [state particular wrongful acts done by defendant as well as general course of
conduct or if acts have not yet been committed, but are imminent, so state].
4. On or about ______, and at other times between that date and the present, plaintiff has
demanded that defendant refrain from committing the above named acts, but defendant
has refused and has threatened to continue such acts.
5. As a result of defendant's acts, plaintiff has sustained/will sustain great and irreparable
injury in that [state specific damages that will result and why they are irreparable].
7. As a further result of defendant's acts, plaintiff has sustained damage in the amount of
________ dollars ($ ). If these acts are permitted to continue, plaintiff will be further
damaged in an amount to be alleged when additional damages have been determined.
1. State character of relief sought, e.g., temporary restraining order/preliminary and
permanent injunction enjoining _______________________ from engaging in or
performing any of the following acts:
Date:________________________
Signature
__[Date]__
Re:__[Case name]__
As you know, this firm ("Firm") represents XYZ Corp. in a civil suit
brought by ABC Co. currently pending in the United States District Court
for the Central District of California (ABC Co. v XYC Corp., et al., CV 00-
000 XXX). I have been the attorney at Firm in charge of that representation
since its inception.
One of Firm's other long-time and important clients, STU Corp., has
recently been named a defendant in a suit brought by XYZ Corp. in the
United States District Court for the Northern District of California (XYZ
Corp. v STU Corp., et al., CV 00000 YYY). STU Corp. has asked Firm to
represent it in that proceeding. As you may know, XYZ Corp. is
represented
by the law firm of Smith & Jones in that case. It is my understanding that
the XYZ Corp. v STU Corp. litigation concerns __[specify]__, and arises
from events that occurred __[date]__. That suit is thus totally unrelated
to the matter of ABC Co. v XYZ Corp. Still, this Firm's representation of
STU Corp. in the Northern District action might raise an apparent conflict
with our representation of XYZ Corp. in the Central District action in that
Firm would be representing XYZ Corp. in one action and representing a
client adverse to XYZ Corp. in another.
__[Signature]__
__[Typed name of attorney]__
__[Signature]__
__[Typed name of officer]__
Date: _ _ _ _ _ _
The covenant not to sue shall be in the form attached and made a part of this
document.
_____________________________________ _______________________
Signature Date
Dear *:
Our file indicates that you might have witnessed an automobile accident
which occurred on the date, time and location indicated above.
2. Residence address:
______________________________________________
*[Witness Name]
Page Two
*[Date]
___________________________________________________________
_
___________________________________________________________
_
___________________________________________________________
_
___________________________________________________________
_
___________________________________________________________
_
___________________________________________________________
_
___________________________________________________________
_________
___________________________________________________________
_________
___________________________________________________________
_________
[Witness Name]
Page Three
[Date]
9. Did you hear any horns or screeching of tires? If so, state when
and from which vehicle the sound came from:
___________________________________________________________
_________
10. Did you discuss the accident with any person involved after the
impact? If so, to whom and what did you say?
___________________________________________________________
_________
11. Who do you think was at fault for this accident, and why?
___________________________________________________________
_________
___________________________________________________________
_________
___________________________________________________________
_________
13. Please state anything else you feel might be important for an
understanding of the facts of this case:
___________________________________________________________
_________
___________________________________________________________
_________
___________________________________________________________
_________
___________________________________________________________
_________
___________________________
*[Witness Signature]
On behalf of our client and our office, we would like to thank you for your
cooperation in completing this form.
Sincerely yours,
___________________________
*
Attorney At Law