Case 3:01-cv-02037-MRK
Document 79
Filed 06/13/2005
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT KENDRA HEWITT PLAINTIFF vs METROPOLITAN DISTRICT COMMISSION DEFENDANT CIVIL ACTION NO.: 301CV2037MRK June 10, 2005
DEFENDANT'S MOTION IN LIMINE TO PRECLUDE NON-EXPERT EVIDENCE OF MEDICAL CONDITION
The Defendant, Metropolitan District Commission (hereafter the "Defendant MDC") moves in limine to preclude any exhibits or testimony offered or sought by the Plaintiff, Kendra Hewitt (hereafter the "Plaintiff Hewitt") with regard to her alleged medical condition, emotional distress/stress and the alleged cause thereof. The Defendant MDC objects to the admission of such evidence at trial on the grounds that:
(1) the Plaintiff has not indicated an intention to support her allegation that her alleged condition, emotional distress/stress, was caused by the Defendant MDC's actions with expert testimony or other expert evidence, and (2) testimony or evidence regarding the Plaintiff Hewitt's specific medical condition and the potential causes thereof is beyond the knowledge of the average layperson. For these reasons, as more fully set forth in the Defendant's Memorandum of Law in Support of Its Motion In Support of Its Motion In Limine submitted herewith, the Defendant MDC moves to preclude any exhibits or testimony regarding the
Case 3:01-cv-02037-MRK
Document 79
Filed 06/13/2005
Page 2 of 2
Plaintiff's alleged medical condition, emotional distress/stress and the alleged cause thereof. DEFENDANT METROPOLITAN DISTRICT COMMISSION
BY____________________________ ANTHONY J. PALERMINO Their Attorney Law Offices of Anthony J. Palermino 945 Wethersfield Avenue Hartford, Connecticut 06114 (860) 296-0035 ct05651
CERTIFICATION I HEREBY CERTIFY that a copy of the foregoing was mailed, postage prepaid, on the 10th day of June, 2005 to Attorney Stuart E. Brown and Attorney Robert Heagney, Hassett & George, P.C., 555 Franklin Avenue, Hartford, CT 06114.
_______________________ Anthony J. Palermino