IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF ARKANSAS
JOHN S. LA TOUR Plaintiff,
v. File Number 02-5001
CITY OF FAYETTEVILLE, ARKANSAS Defendant
PLAINTIFF'S
MOTION IN LIMINE
COMES NOW John S. La Tour and for his Motion in Limine would state and allege as follows:
1. That any
testimony and evidence pertaining to the sign in question, the functioning of the
sign or the messages displayed
on the sign prior to June 16, 2000 be
excluded
pursuant to Fed. R.
Evid. 402 as they are not relevant and would
likely serve to
confuse the jury.
2. That any
statements regarding the treatment of the said sign on Mr. La Tour's income tax
return should be excluded
pursuant to Fed. R. Evid. 402 as they are not relevant to
the issues at hand and would likely cloud the issue and confuse the Jury.
3. That filed contemporaneously with this Motion is a Brief in Support, which is incorporated by reference herein.
WHEREFORE,
PREMISES CONSIDERED, Mr. La Tour prays that the testimony of witnesses and
evidence be excluded or limited as requested above.
Respectfully
submitted,
JOHN S. LA TOUR
May 2, 2003
JOHN S. LA TOUR
Certified Public Accountant
112 Center Street, Suite 560
Fayetteville, AR 72701
Certificate of Service:
I, John S. La Tour, the undersigned, have mailed a true and correct copy of the attached today via US mail, first class, prepaid, to the legal counsel of the opposing party.