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Civ - Direct Examination Script

This document is a direct examination script for a witness in a civil case. It outlines the questions the counsel will ask the witness to establish: 1) the witness executed a judicial affidavit for the case; 2) the affidavit and attached exhibits are authentic; and 3) the witness affirms the statements in the affidavit are truthful. The counsel will then move to admit the affidavit and exhibits into evidence and rest its case.

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Al Paglinawan
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100% found this document useful (3 votes)
2K views

Civ - Direct Examination Script

This document is a direct examination script for a witness in a civil case. It outlines the questions the counsel will ask the witness to establish: 1) the witness executed a judicial affidavit for the case; 2) the affidavit and attached exhibits are authentic; and 3) the witness affirms the statements in the affidavit are truthful. The counsel will then move to admit the affidavit and exhibits into evidence and rest its case.

Uploaded by

Al Paglinawan
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Download as DOCX, PDF, TXT or read online on Scribd
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DIRECT EXAMINATION SCRIPT – CIV

COUNSEL (APPEARANCE): Good morning/afternoon, Your Honor. Atty. _____


respectfully appearing as counsel for the Plaintiff/Defendant.
COUNSEL: Your Honor, the purposes for the offer of testimony of the witness is
already stated in his/her Judicial Affidavit filed with this Honorable Court
on __________ and we would like to adopt the same.
COUNSEL: Mr./Ms. Witness, do you recall having executed a Judicial Affidavit in
relation to this case?
WITNESS: Yes, sir.
COUNSEL: If I show it to you, would you be able to recognize it?
WITNESS: Yes, sir.
COUNSEL: I’m showing to you a document consisting of ___ pages, is this the
same document you are referring to as your Judicial Affidavit?
WITNESS: Yes, sir.
COUNSEL: In page ___ hereof, there is a signature above the name *name of
witness*, whose signature is this Mr./Ms. Witness?
WITNESS: That is my signature, sir.
COUNSEL: Your Honor, we would like to request that this Judicial Affidavit be
marked as our Exhibit A, and his/her signature be bracketed and sub-
marked as Exhibit A-1.
COUNSEL: Now Mr./Ms. Witness, you attached several documents in your
Judicial Affidavit, marked as Exhibits B to C, I’m showing you once again
your Judicial Affidavit, are these documents attached to the Judicial
Affidavit the same you attached and identified?
WITNESS: Yes, sir
COUNSEL: Your Honor, we would like to manifest that we are adopting the
markings of the documentary exhibits as stated in the Judicial Affidavit.
COUNSEL: Now Mr./Ms. Witness, do you affirm and confirm the truthfulness
and veracity of all the statements you made in your Judicial Affidavit?
WITNESS: Yes, sir.
COUNSEL: And do you affirm that all the documentary exhibits attached to the
Judicial Affidavit are faithful reproductions of the originals?
WITNESS: Yes, sir.
COUNSEL: With that, Your Honor, we move that the Judicial Affidavit be
adopted in lieu of his/her direct testimony.
FORMAL OFFER OF EXHIBITS
COUNSEL: Plaintiff/Defendant _________, by counsel, and unto this Honorable
Court, formally offers the hereunder pieces of evidence duly identified and
described, with the corresponding purposes:

Exhibits/Documents Purpose/s
Exhibit “A” and “A-1” – To prove that _________.
Judicial Affidavit and
Signature of Mr./Ms. To prove that _________.
*Witness*.
To prove that _________.
Exhibit “B” – To prove that _________.
Exhibit “C” – To prove that _________.

COUNSEL: We move that all documentary exhibits be admitted, and with the
admission of the foregoing documentary exhibits, together with the
testimony of its witness, the Plaintiff/Defendant formally rests its case.

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