Drafts U.S. commercial litigation pre-trial statements and joint pretrial reports presenting stipulated facts, contested issues, witness/exhibit lists, and trial management items. Trigger when the user needs a pre-trial statement, joint pretrial report/order, trial readiness filing, or witness/exhibit compilation under local rules.
Scanned 9/12/2026
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---
name: pretrial-statement
language: en
description: >-
Drafts U.S. commercial litigation pre-trial statements and joint pretrial
reports presenting stipulated facts, contested issues, witness/exhibit lists,
and trial management items. Trigger when the user needs a pre-trial statement,
joint pretrial report/order, trial readiness filing, or witness/exhibit
compilation under local rules.
tags:
- drafting
- litigation
- pleading
---
# Pre-Trial Statement / Report
Draft a court-compliant pre-trial statement that narrows issues and provides the trial roadmap.
## Quick Start
Gather before drafting:
1. **Local rules / judge order** — controls required sections and format.
2. **Case posture** — claims, defenses, key rulings.
3. **Stipulated facts** — agreed wording from opposing counsel (if joint).
4. **Contested issues** — law and fact, aligned to trial themes.
5. **Witness disclosures** and expert reports.
6. **Exhibit inventory** — Bates numbers, exhibit IDs.
7. **Trial management inputs** — length, jury/bench, motions in limine status.
## Document Structure
1. Caption + Title
2. Introductory paragraph (filing type, governing order)
3. Stipulated Facts
4. Contested Issues of Law
5. Contested Issues of Fact
6. Witness List
7. Exhibit List
8. Procedural / Trial Management Matters
9. Signature block(s) per local rule
## Section Details
### Stipulated Facts
One fact per number; use verbatim agreed wording. Non-argumentative only.
| No. | Stipulated Fact (verbatim) | Source / Record Cite | Notes |
|---|---|---|---|
### Contested Issues of Law
Frame each as a discrete question the court must decide.
| No. | Legal Issue (question) | Authority | Impact on Trial |
|---|---|---|---|
Phrasing patterns:
- "Whether [legal standard] applies to [claim/defense] where [key fact]…"
- "Whether [doctrine] bars [claim] given [contract/statute]…"
### Contested Issues of Fact
State neutrally at meaningful granularity.
| No. | Factual Issue (neutral) | Key Evidence Sources | Notes |
|---|---|---|---|
Phrasing patterns:
- "Whether [party] represented [fact] on [date]."
- "Whether [event] caused [harm/damages]."
### Witness List
Only properly disclosed witnesses; flag proposed additions.
| Order | Witness Name | Type (Fact/Expert) | City/State | Subject of Testimony | Disclosure / Report |
|---|---|---|---|---|---|
### Exhibit List
Follow local numbering convention and joint numbering rules.
| Exh No. | Description | Bates / ID | Offered By | Objection / Stipulation |
|---|---|---|---|---|
### Procedural / Trial Management Matters
Include only items required by local rule or judge order:
- Trial type (jury/bench) and estimated length
- Damages categories and amounts (if required)
- Motions in limine list and status
- Deposition designations and counter-designations
- Technology / courtroom needs
- Proposed jury instructions or verdict form issues (if required)
- Bifurcation / sequencing proposals
- ADR history or settlement status (if allowed by rule)
### Signature Block
Include counsel signatures per local rule. If joint, include all parties.
## Pitfalls & Checks
- Local rules and judge orders are controlling authority — verify required sections and format before drafting.
- Never concede contested elements in stipulated facts or issue framing.
- Stipulated facts must be purely factual, actually agreed, and non-argumentative.
- Align issues with claims/defenses and anticipated jury instructions.
- Verify every witness and exhibit is properly disclosed; flag gaps.
- Maintain consistent numbering and labels throughout.
- Confirm page limits, font, spacing, and header/footer requirements.
- Flag missing inputs or unresolved joint wording for attorney review.
---
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