Judge Mark Borello
Individual Rules, Standing Orders & Policies
Limits & Logistics
Courtesy Copies
Trial Or Hearing Set Memo
Court-wideCommunication
Clerk
Phone
Court-wideChambers
Document Format Requirements2 rules
Counsel must coordinate with the Deputy Clerk to pre-mark all exhibits before testimony is presented.
Counsel shall coordinate with the Deputy Clerk of the Court the pre-marking of all exhibits prior to the presentation of testimony.
Counsel must ensure that appropriate evidence stickers are placed on every exhibit before the evidence is presented.
It shall be the responsibility of counsel to make sure that appropriate evidence stickers are placed on each exhibit prior to the presentation of evidence.
Document Filing Requirements2 rules
Before evidence is presented, the State and defense must provide the Court and Deputy Clerk with exhibit lists and a list of possible trial witnesses.
Prior to the presentation of evidence, the State and the defense shall provide the Court and the Deputy Clerk of Court with exhibit lists and possible witnesses that may be called to testify during trial.
Document Type
Exhibit And Witness Lists
The State and defense must provide the Court with their requested jury instructions when jury selection begins.
Counsel for the State and the defense shall provide the Court with requested Jury Instructions at the time of jury selection.
Document Type
Jury Instructions
Filing & Service rules
Filing Timing and Cure Windows
Pleadings may not be amended after the Final Pre-Trial Conference without the Court's approval.
No amendment to any pleadings shall be permitted after the Final Pre-Trial Conference without approval of the Court.
Page 1 | 5. AMENDMENT OF PLEADINGS
All evidentiary motions must be filed one week before the scheduled Final Pre-Trial.
All evidentiary motions shall be filed one week prior to the scheduled Final Pre-Trial.
Page 1 | 2. MOTIONS
Motions in limine must be filed no later than the Final Pre-Trial Conference.
All motions in limine shall be filed prior to or on the date of the Final Pre-Trial Conference.
Page 1 | 4. MOTIONS IN LIMINE
Every continuance motion must be in writing and filed by the Final Pre-Trial Conference.
All Motions for Continuance shall be in writing and must be filed by the Final Pre-Trial Conference.
Page 1 | 7. MOTIONS FOR CONTINUANCE
Service and Proof of Service Rules
When impeachment by a prior inconsistent statement is planned, counsel must furnish a copy of the statement to the witness during trial testimony.
In the event the State or the defense shall desire to impeach a witness by a prior inconsistent statement, a copy of the prior statement shall be furnished to the witness at trial while they are testifying.
Page 2 | 13. IMPEACHMENT BY PRIOR INCONSISTENT STATEMENT
Adjournment & Extension Requirements
A continuance based on a witness's failure to appear for a deposition will normally be denied unless the reason is investigated and the facts are presented by the close of the next court date.
Motions for Continuance will normally not be granted for the non-appearance of witnesses at depositions unless the ===== PAGE 2 ===== reason for the non-appearance of the witness has been investigated, and the facts of the non-appearance have been brought to the Court’s attention by the close of the next Court date following the non-appearance of the witness.
Page 2 | 7. MOTIONS FOR CONTINUANCE