1 Any Attorney or Party

Any Street
2 Any Town, CA 00000

3 555-555-5555

4 Any Attorney or Party

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6

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8 Superior Court of the State of California

9 For the County of _____________

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11 Any Plaintiff, ) Case No.
)
12 Plaintiff, ) ANSWER OF DEFENDANT, _________TO
) COMPLAINT OF PLAINTIFF,
13 vs. ) _________________
)
14 Any Defendant, )
)
15 Defendant. )
)
16 )
)
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18
To subscribe to my FREE weekly legal newsletter visit
19

20 http://www.legaldocspro.net/newsletter.htm and enter your e-mail
21
address. Be sure to remove this notice and all other notices before
22

23 using this document.
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25 Defendant, ______________, for themselves and no other Defendant, denies and alleges as

26 follows:
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- 1 -
ANSWER TO COMPLAINT
1 1. Pursuant to the provision of Code of Civil Procedure section 431.30(d), Defendant,
2 ________________, denies, both generally and specifically, each, every and all of the allegations of
3
Plaintiff, ________________ , and each and every cause of action contained therein, and the whole
4
thereof; this Answering Defendant further denies that Plaintiff was damaged and/or injured in any
5

6
sum or sums, or at all, by reason of any negligent act and/or omission to, or any other conduct on the

7 part of this Answering Defendant, or any of their agents and/or employees.

8
Do NOT use this Answer if the complaint is verified.
9
FURTHER, AS SEPARATE AFFIRMATIVE DEFENSES to each and every cause of action
10

11 of the complaint, this Answering Defendant is informed and believes and on such information and

12 belief alleges as follows:
13
Be sure to modify these paragraphs to suit your individual
14

15 situation. Do NOT just use the wording here unless it definitely applies
16

17
to your particular situation.
18 FIRST AFFIRMATIVE DEFENSE
19
2. As a First and Separate Affirmative Defense, this Answering Defendant alleges that the
20
complaint and each and every cause of action contained therein, fails to state facts sufficient to
21
constitute a cause of action against this Answering Defendant in that the complaint fails to allege a
22

23 valid assignment from _________________ to Plaintiff. Plaintiff lacks standing to allege any cause

24 of action against this Answering Defendant because they are not the real party in interest as required
25
by Code of Civil Procedure § 367.
26
///
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///
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- 2 -
ANSWER TO COMPLAINT
1 To purchase the entire document visit:
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https://legaldocspro.myshopify.com/products/sample-answer-for-
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california-credit-card-litigation
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- 3 -
ANSWER TO COMPLAINT

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