Court Rules

Court-wide rules

Applies court-wide

These 188 rules apply across Los Angeles Superior Court. Where this judge's own standing orders above address the same topic, the judge's requirement controls.

Filing Requirements

All 60
  • Applies to
    Joint isc statement

    Upon assignment to Department 11, an ISC Order stays all proceedings and the parties must submit a joint ISC statement as directed in that Order.

  • Applies to
    Joint status conference statement

    The parties must file a joint statement outlining recent progress in the case before every status conference.

  • Applies to
    Bulletin board posting

    Parties must make joint bulletin board postings rather than unilateral postings, which are treated as prohibited ex parte communications.

Filing Timing

All 28
  • Deadline
    5 business days

    The joint status conference statement must be filed at least five court days before every status conference.

  • The Court's order scheduling an IDC stays any deadline to file a motion to compel under CCP 2016.080(c)(2).

  • The Court cannot shorten the notice period for summary judgment/adjudication motions, though it may hear such motions fewer than 30 days before trial.

Communication

All 20
  • Contact
    Phone to chambers
    Phone
    (213) 310-7011

    To reserve a hearing date for a motion, a party must telephone the Courtroom Assistant at (213) 310-7011.

  • Contact
    Phone to chambers

    The moving party must notify the Court as early as possible that a matter will go off calendar under CRC 3.1306(b), by posting the announcement on the e-service bulletin board and telephoning the courtroom.

  • Contact
    Phone

    Parties at an impasse during a deposition may telephone the courtroom at (213) 310-7011 to arrange an immediate conference call with the Court.

Pre-Motion Conferences

All 18
  • For discovery disputes (other than deposition impasses), parties may request an informal conference by making a joint posting on the e-service bulletin board.

  • Before preparing an ex parte application for emergency relief, parties must post a joint request for an informal conference on the e-service bulletin board and contact courtroom staff to obtain a time and date.

  • Parties must meet and confer twice by telephone or video before requesting an IDC, and are expected to extend motion-to-compel deadlines to accommodate the process.

About Judge Alexander C. D. Giza

Judge Alexander C. D. Giza is a judge on the Superior Court of California, County of Los Angeles, the state trial court serving Los Angeles County.

This judge's procedures are published through the court's general rules.

Common questions about Judge Alexander C. D. Giza's rules

Are courtesy copies required for Judge Alexander C. D. Giza?

Courtesy-copy rule applies for opposition to ex parte applications, summary judgment papers, and summary adjudication papers. Details: delivery not specified, by chambers drop off. Department 78 requires courtesy copies only for oppositions to ex parte applications and papers related to motions for summary judgment/adjudication, and such copies must be submitted directly to Department 78.

View ruleSource: page 3, section F. LAW AND MOTION

Does Judge Alexander C. D. Giza require a pre-motion conference or letter before filing a motion?

Judge Alexander C. D. Giza's rules set a pre-motion procedure for covered motions. Moving parties must reserve a hearing date via the online Court Reservation System (CRS) before filing any motion, except motions in limine.

View ruleSource: page 2, section F. LAW AND MOTION - 1. Reservation Hearing Date

What page or word limits apply to joint statement before Judge Alexander C. D. Giza?

Judge Alexander C. D. Giza's rule states these limits: attorney: 5 pages. Joint statements for Informal Discovery Conferences must not exceed 5 pages.

View ruleSource: page 3

What formatting rules apply to filings before Judge Alexander C. D. Giza?

Judge Alexander C. D. Giza's formatting rule includes all electronically filed documents must be text-searchable and all electronically filed documents must be bookmarked. All electronically filed documents must be text-searchable and bookmarked.

View ruleSource: page 2, section F. LAW AND MOTION - 2. Papers - Text-Searchable and Bookmarked

What must be included with ex parte application filings before Judge Alexander C. D. Giza?

The rule identifies required filing content or certificates. Ex parte applications are reserved for exigent circumstances and must include a declaration making an affirmative factual showing of irreparable harm, immediate danger, or another statutory basis for relief.

View ruleSource: page 4, section G. EX PARTE APPLICATIONS

What must be included with motion in limine filings before Judge Alexander C. D. Giza?

The rule identifies required filing content or certificates. Parties filing more than one motion in limine must number the motions consecutively.

View ruleSource: page 7, section 3. Motions in Limine

How may parties contact Judge Alexander C. D. Giza's chambers?

The rule addresses phone communications with Judge Alexander C. D. Giza's chambers. The rule lists phone (213) 830-0878. Department 78 chambers can be reached by phone at (213) 830-0878 during courtroom hours of 8:30 a.m. to 12 noon and 1:30 p.m. to 4:30 p.m.

View ruleSource: page 1, section Courtroom Information

How do I request an adjournment or extension before Judge Alexander C. D. Giza?

Advance notice is not fully stated in the structured details. Continuances will not be granted because of witnesses who do not appear timely (trial proceeds without them), though the Court may accommodate scheduling needs of expert, professional, or out-of-state witnesses where circumstances warrant.

View ruleSource: page 8, section 5. Witnesses

Does Judge Alexander C. D. Giza require motion papers to be bundled?

Yes. Judge Alexander C. D. Giza requires bundling for covered papers. Counsel must provide the court a joint trial binder at the FSC, organized with tabs for trial briefs, motions in limine, joint statement, joint witness list, jury instructions, and verdict forms (tab list continues on the next page).

View ruleSource: page 6, section 2. Trial Binders

Is electronic filing required before Judge Alexander C. D. Giza?

Yes. Electronic filing is required for the covered filings. All parties must electronically file documents unless they have obtained an exemption from mandatory electronic filing.

View ruleSource: page 2

Are filing fees or waivers addressed before Judge Alexander C. D. Giza?

A fee is required for covered filings. Motion fees must be paid at the time the hearing reservation is made online.

View ruleSource: page 2, section F. LAW AND MOTION - 1. Reservation Hearing Date

When is a filing treated as filed before Judge Alexander C. D. Giza?

The rule addresses filing timing, filing status, or cure windows. Papers for a reserved hearing must be filed within 3 days of making the CRS reservation or the reservation will be cancelled.

View ruleSource: page 2, section F. LAW AND MOTION - 1. Reservation Hearing Date

What rule applies to service for summons and complaint before Judge Alexander C. D. Giza?

The rule addresses service method, recipient, or timing requirements. Details: recipient: the opposing party, timing: 60 calendar days after filing. Plaintiffs must serve the summons and complaint on defendants within 60 days of filing the complaint or face sanctions, including dismissal.

View ruleSource: page 2, section D. SERVICE OF SUMMONS AND COMPLAINT
Complete rules summary for Judge Alexander C. D. Giza

Department 78 chambers can be reached by phone at (213) 830-0878 during courtroom hours of 8:30 a.m. to 12 noon and 1:30 p.m. to 4:30 p.m.

Department 78 chambers email address is SMCDEPT78@lacourt.org.

All parties must electronically file documents unless they have obtained an exemption from mandatory electronic filing.

Documents may not be filed by facsimile in Department 78.

Filed documents may take 1-2 business days to appear on the Court's docket.

Plaintiffs must serve the summons and complaint on defendants within 60 days of filing the complaint or face sanctions, including dismissal.

Parties must file timely Case Management Conference Statements (preferably joint) describing the case, discovery timeline, and agreements, with sanctions up to $250 per violation for noncompliance.

Moving parties must reserve a hearing date via the online Court Reservation System (CRS) before filing any motion, except motions in limine.

Motion fees must be paid at the time the hearing reservation is made online.

Papers for a reserved hearing must be filed within 3 days of making the CRS reservation or the reservation will be cancelled.

All electronically filed documents must be text-searchable and bookmarked.

Department 78 requires courtesy copies only for oppositions to ex parte applications and papers related to motions for summary judgment/adjudication, and such copies must be submitted directly to Department 78.

For lengthy summary judgment/adjudication motions, filing and opposing parties are strongly encouraged to submit courtesy copies organized behind tabs in one or more three-ring binders.

Courtesy copies of documents containing declarations and/or exhibits must be tabbed.

Deposition excerpts cited in briefs must be marked on the transcript exhibits attached to the filing.

Parties are ordered to meet and confer in good faith to informally resolve discovery disputes, and the Court generally finds conferring only by letters and emails to be insufficient.

Parties moving to compel further discovery responses are encouraged to schedule an Informal Discovery Conference before the hearing, but doing so does not extend the motion filing deadline and is entirely at the Court's discretion.

After filing the joint statement, the moving/propounding party should reserve the IDC by calling Department 78's staff.

Ex parte applications must comply with California Rules of Court, rule 3.1200 et seq., and the filing fee must be paid before appearing in Department 78.

Ex parte applications are reserved for exigent circumstances and must include a declaration making an affirmative factual showing of irreparable harm, immediate danger, or another statutory basis for relief.

Parties must pay jury fees no later than 365 calendar days after the initial complaint is filed.

All pretrial documents must be filed in advance of the final status conference.

Trial readiness documents must be served and filed at least five court days before the final status conference.

Each party's trial brief must identify the claims and defenses, major legal issues with supporting authorities, relief and damages sought, and other information assisting the court at trial.

Motions in limine must comply with CCP section 1005 notice provisions and Local Rule 3.57(a) before filing.

Each motion in limine's caption must concisely identify the evidence the moving party seeks to preclude.

Parties filing multiple motions in limine must number them consecutively.

Opposition and reply briefs must identify the corresponding motion in limine number in the caption.

In jury trials, parties must file a signed joint statement of the case that is neutral and does not exceed 2 paragraphs, for the court to read to the jury.

Parties must file a signed joint witness list (excluding impeachment and rebuttal witnesses) identifying each witness by name, expert status, estimated examination times, total testimony time, and scheduling issues; testimony from unlisted witnesses requires a showing of good cause.

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