COURT OF COMMON PLEAS
FRANKLIN COUNTY, OHIO
A.B., Plaintiff | ) | |
(address) | ) | No. _____ |
v. | ) | |
C.D., Defendant | ) | MOTION TO INTERVENE |
(address) | ) | AS A DEFENDANT |
E.F., Applicant for Intervention | ) | |
(address) | ) |
E.F. moves for leave to intervene as a defendant in this action in order to assert the defenses set forth in his proposed answer, of which a copy is hereto attached, on the ground that [here insert the appropriate grounds of intervention].
______________________________________ |
(Attorney for E.F., |
Applicant for Intervention) |
______________________________________ |
(Address) |
Ohio. Civ.R. Form 17
Note (Amended Effective July 1, 1999)
It is necessary that a motion to intervene be accompanied by a pleading as required in Civ.R. 24(C). It is also necessary to comply with Civ.R. 5 regarding service of the motion on the parties to the action.