IN THE __________________ COURT OF __________________ COUNTY
STATE OF GEORGIA
A.B., | ) | ||
Plaintiff | ) | ||
v. | ) | Civil action | |
C.D., | ) | File no.__________________ | |
Defendant | ) | ||
E.F., | ) | ||
Applicant for Intervention | ) |
MOTION TO INTERVENE AS A DEFENDANT
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 __________________
__________________
Attorney for E.F., applicant
for intervention
__________________
Address
NOTICE OF MOTION
(Contents the same as in Code Section 9-11-119)
__________________
IN THE __________________ COURT OF __________________ COUNTY STATE OF GEORGIA
A.B., | ) | ||
Plaintiff | ) | ||
v. | ) | Civil action | |
C.D., | ) | File no.__________________ | |
Defendant | ) | ||
E.F., | ) | ||
Intervenor | ) |
INTERVENOR'S ANSWER
First Defense
Intervenor admits the allegations stated in paragraphs 1 and 4 of the complaint, denies the allegations in paragraph 3, and denies the allegations in paragraph 2 insofar as they assert the __________________.
Second Defense
(Set forth defenses)
__________________
Attorney for C.D.,
for E.F., intervenor
__________________
Address
(Like form if intervention is as plaintiff ).
OCGA § 9-11-123