Form 204. Plaintiff’s Requests for Production

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Connecticut Court Rules › Connecticut Practice Book Appendix of Forms › Conn. Practice Book Form 204

This text was captured on Aug 14, 2026. It is a snapshot, not a live feed, so check the official code before relying on it.

Text

Plaintiff’s Requests for Production

No. CV-

: SUPERIOR COURT

(Plaintiff)

: JUDICIAL DISTRICT OF

VS.

: AT

(Defendant)

: (Date)

The Plaintiff(s) hereby request(s) that the Defendant provide counsel for the Plaintiff(s) with copies

of the documents described in the following requests for production, or afford counsel for said Plaintiff(s)

the opportunity or, if necessary, sufficient written authorization, to inspect, copy, photograph or otherwise

reproduce said documents. The production of such documents, copies or written authorization shall

take place at the offices of

on

(day),

(date) at

(time).

In answering these production requests, the Defendant(s) are required to provide all information

within their possession, custody or control. If any production request cannot be answered in full, answer

to the extent possible.

Definition: ‘‘You’’ shall mean the Defendant to whom these interrogatories are directed except that

if that Defendant has been sued as the representative of the estate of a decedent, ward, or incapable

person, ‘‘you’’ shall also refer to the Defendant’s decedent, ward or incapable person unless the context

of an interrogatory clearly indicates otherwise.

(1) A copy of the appraisal or bill for repairs as identified in response to Interrogatory #11.

(2) A copy of declaration page(s) of each insurance policy identified in response to Interrogatory #7

and/or #8.

(3) If the answer to Interrogatory #9 is in the affirmative, a copy of the complete policy contents of

each insurance policy identified in response to Interrogatory #7 and/or #8.

(4) A copy of any photographs or recordings identified in response to Interrogatory #6.

(5) A copy of any nonprivileged statement, as defined in Practice Book Section 13-1, of any party

in this lawsuit concerning this action or its subject matter.

rogatory #9 is in the affirmative, a copy of the complete policy contents of

each insurance policy identified in response to Interrogatory #7 and/or #8.

(4) A copy of any photographs or recordings identified in response to Interrogatory #6.

(5) A copy of any nonprivileged statement, as defined in Practice Book Section 13-1, of any party

in this lawsuit concerning this action or its subject matter.

(6) A copy of all lease agreements pertaining to any motor vehicle involved in the incident which is

the subject of this action, which was owned or operated by you or your employee, and all documents

referenced or incorporated therein.

(7) A copy of all records of blood alcohol testing or drug screens referred to in answer to Interrogatory

#16, or a signed authorization, sufficient to comply with the provisions of the Health Insurance Portability

and Accountability Act (HIPAA) or those of the Public Health Service Act, whichever is applicable, to

obtain the same for each hospital, person or entity that performed such test or screen. Information

obtained pursuant to the provisions of HIPAA or the Public Health Service Act shall not be used or

disclosed by the parties for any purpose other than the litigation or proceeding for which such information

is requested.

(8) A copy of each and every recording of surveillance material discoverable under Practice Book

Section 13-3 (c), by film, photograph, video, audio or any other digital or electronic means, of any

party to this lawsuit concerning this lawsuit or the subject matter thereof, including any transcript of

such recording.

PLAINTIFF,

BY

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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