Templates Litigation Court Documents Alaska State Court Request for Production of Documents

Alaska State Court Request for Production of Documents

Ready to Edit

IN THE SUPERIOR COURT FOR THE STATE OF ALASKA

[____________] JUDICIAL DISTRICT AT [____________]

Party Role
[PLAINTIFF NAME], Plaintiff
v.
[DEFENDANT NAME], Defendant

CASE NO.: [____-______ CI]


[PROPOUNDING PARTY]'S FIRST REQUEST FOR PRODUCTION OF DOCUMENTS TO [RESPONDING PARTY]

TO: [RESPONDING PARTY NAME], and its attorney(s) of record, [OPPOSING COUNSEL NAME].

Pursuant to Rule 34 of the Alaska Rules of Civil Procedure, [PROPOUNDING PARTY] ("Requesting Party") requests that [RESPONDING PARTY] ("Responding Party") produce and permit the inspection, copying, testing, or sampling of the documents, electronically stored information ("ESI"), and tangible things described below, each of which is in the possession, custody, or control of the Responding Party and within the scope of discovery under Alaska R. Civ. P. 26(b).

Time for Response. A written response is required within thirty (30) days after service of this Request, except that a defendant may serve a response within forty-five (45) days after service of the summons and complaint upon that defendant. Alaska R. Civ. P. 34(b). The court may allow a shorter or longer time.

Place and Manner of Production. Unless otherwise agreed, production shall be made at the offices of [REQUESTING PARTY'S COUNSEL, ADDRESS], or by delivery of legible copies (including electronic copies) to the undersigned, on or before the response date. The Responding Party may, in lieu of permitting inspection, serve copies of the responsive documents and ESI.


I. DEFINITIONS

The following definitions apply to each Request and are deemed incorporated into each numbered Request below.

  1. "Document" is used in the broadest sense permitted by Alaska R. Civ. P. 34 and includes any writing, drawing, graph, chart, photograph, sound recording, image, and other data or data compilation stored in any medium from which information can be obtained, translated if necessary into reasonably usable form. The term includes originals, drafts, and non-identical copies bearing any notation or marking.

  2. "Electronically Stored Information" or "ESI" means any information created, stored, or utilized in digital or electronic form, including email, text and instant messages, word-processing files, spreadsheets, databases, calendars, voicemail, metadata, server and cloud-based data, social-media content, and any associated system or application data.

  3. "Communication" means any transmission of information of any kind, whether oral, written, or electronic, including letters, memoranda, emails, text messages, notes, and records of telephone or in-person conversations.

  4. "You," "Your," and "Responding Party" mean [RESPONDING PARTY NAME] and any agent, employee, representative, attorney, accountant, insurer, or other person acting or purporting to act on its behalf.

  5. "Person" means any natural person, corporation, partnership, limited liability company, association, governmental entity, or other organization.

  6. "Relating to," "relate to," or "concerning" means referring to, describing, evidencing, constituting, comprising, reflecting, discussing, mentioning, supporting, or contradicting, in whole or in part.

  7. "The Action" means the above-captioned lawsuit.

  8. "Relevant Period" means the period from [__/__/____] through the present, unless otherwise specified in a particular Request.

  9. "Identify" (with respect to a Document) means to state its title or description, date, author(s), recipient(s), and present custodian or location.


II. INSTRUCTIONS

  1. Manner of Production. Produce each responsive Document as it is kept in the usual course of business, or organize and label the Documents to correspond with the categories in these Requests. Alaska R. Civ. P. 34(b).

  2. Format of ESI. Produce ESI in the form(s) specified below. Unless otherwise specified, produce ESI in its native format with all metadata intact, or in another reasonably usable form. If You object to a requested form, or if no form is specified, You must state the form(s) You intend to use. Alaska R. Civ. P. 34(b). A party need not produce the same ESI in more than one form.

  3. Scope and Proportionality. Each Request seeks materials within the scope of Alaska R. Civ. P. 26(b)(1) — i.e., any matter, not privileged, relevant to the subject matter of the Action and proportional to the needs of the case. Construe each Request broadly to bring within its scope all responsive materials that might otherwise be considered beyond its scope.

  4. Privilege Log. If You withhold any Document or ESI on a claim of privilege, work product, or other protection, You must (a) expressly make the claim and (b) describe the nature of the materials withheld in a manner that, without revealing the protected information, will enable the parties to assess the claim, as required by Alaska R. Civ. P. 26(b)(5). Provide a privilege log identifying, for each item withheld, its date, author(s), recipient(s), general subject matter, and the privilege or protection asserted.

  5. Objections. If You object to any Request, state with specificity the grounds for the objection, including the reasons. An objection must state whether any responsive materials are being withheld on the basis of that objection. If You object to part of a Request, specify the objectionable part and produce the responsive materials as to the remainder. Alaska R. Civ. P. 34(b).

  6. Documents No Longer in Your Possession. If any responsive Document was, but is no longer, in Your possession, custody, or control, identify the Document, state its disposition, and identify its present custodian.

  7. Duty to Supplement. These Requests are continuing in nature. You must seasonably supplement or correct any production that You learn is incomplete or incorrect, as required by Alaska R. Civ. P. 26(e).

  8. Failure to Respond. If You fail to respond or to permit inspection as requested, the Requesting Party may move for an order compelling production and for sanctions under Alaska R. Civ. P. 37(a).


III. REQUESTS FOR PRODUCTION

Request No. 1

All Documents and Communications relating to [SUBJECT MATTER / TRANSACTION / EVENT AT ISSUE] during the Relevant Period.

Request No. 2

All contracts, agreements, amendments, addenda, and related drafts between You and [____________] relating to [SUBJECT MATTER].

Request No. 3

All Communications between You and [OPPOSING PARTY / NAME] concerning the subject matter of the Action, including all email, text messages, and letters.

Request No. 4

All Documents that You contend support, evidence, or relate to the allegations, claims, or affirmative defenses asserted by You in the Action.

Request No. 5

All Documents that refer or relate to the formation, performance, breach, or termination of the [AGREEMENT / RELATIONSHIP] at issue.

Request No. 6

All financial records relating to the damages claimed in the Action, including invoices, statements, ledgers, accounting records, and records of payment, for the period [__/__/____] through [__/__/____].

Request No. 7

All Documents supporting Your computation of damages (or, if You are the Responding Party defending the claim, all Documents that refute or mitigate the damages alleged), including the method of calculation and underlying data.

Request No. 8

All ESI — including email, text messages, and electronic files — relating to [SUBJECT MATTER], produced in native format with metadata, or in another reasonably usable form pursuant to Alaska R. Civ. P. 34(b).

Request No. 9

All insurance agreements under which any person carrying on an insurance business may be liable to satisfy all or part of a possible judgment in the Action or to indemnify or reimburse for payments made to satisfy the judgment, together with any reservation-of-rights or coverage-position correspondence.

Request No. 10

All photographs, video recordings, audio recordings, diagrams, or other visual or tangible depictions relating to the [INCIDENT / PROPERTY / CONDITION] at issue.

Request No. 11

All Documents identifying or relating to each Person with knowledge of the facts at issue, including witness statements, interview notes, and reports.

Request No. 12

All expert reports, disclosures, and supporting Documents for each expert witness You expect to call at trial, and all Documents reviewed or relied upon by each such expert.

Request No. 13

All Documents and Communications relating to any investigation conducted by or on behalf of You concerning the events giving rise to the Action.

Request No. 14

All Documents relating to any prior or subsequent claim, demand, lawsuit, or settlement involving the same subject matter, parties, or transaction at issue.

Request No. 15

All organizational documents, corporate records, policies, manuals, or guidelines of the Responding Party relating to [RELEVANT PRACTICE / STANDARD / PROCEDURE].

Request No. 16

All Documents You intend to introduce as exhibits at any hearing or trial of the Action.

Request No. 17

All Documents relating to [ADDITIONAL CUSTOM CATEGORY — DESCRIBE WITH REASONABLE PARTICULARITY].

Request No. 18

All Documents relating to [ADDITIONAL CUSTOM CATEGORY — DESCRIBE WITH REASONABLE PARTICULARITY].


IV. NOTE ON RESPONSE DEADLINE AND SCOPE

A written response to this Request is due within thirty (30) days after service, except that a defendant may respond within forty-five (45) days after service of the summons and complaint. Alaska R. Civ. P. 34(b). Each response must, as to each item or category, either state that inspection will be permitted as requested or state with specificity the grounds for objecting. The court may allow a shorter or longer time. All Requests are limited to matter, not privileged, that is relevant to the subject matter of the Action and proportional to the needs of the case under Alaska R. Civ. P. 26(b)(1).


V. SIGNATURE

Respectfully submitted this ____ day of ______________, 20____.

___________________________________
[ATTORNEY NAME]
Attorney for [PROPOUNDING PARTY]
[Alaska Bar No. ________]
[Firm Name]
[Street Address]
[City, State ZIP]
[Phone] | [Email]


VI. CERTIFICATE OF SERVICE

I hereby certify that on this ____ day of ______________, 20____, I served a true and correct copy of the foregoing [PROPOUNDING PARTY]'S FIRST REQUEST FOR PRODUCTION OF DOCUMENTS upon all counsel of record (or upon unrepresented parties) by a method authorized under Alaska R. Civ. P. 5, as follows:

☐ Electronic service through the TrueFiling / Alaska e-filing system
☐ Email to the address(es) of record
☐ U.S. Mail, first-class, postage prepaid
☐ Hand delivery
☐ Other: [____________]

Addressed to:

[OPPOSING COUNSEL / PARTY NAME]
[Street Address]
[City, State ZIP]
[Email]

___________________________________
[ATTORNEY NAME]
Attorney for [PROPOUNDING PARTY]


SOURCES & REFERENCES

  • Alaska R. Civ. P. 34 — Producing Documents, Electronically Stored Information, and Things, and Entry Upon Land for Inspection and Other Purposes (written response within 30 days; defendant 45 days after service of summons and complaint; ESI form provisions).
  • Alaska R. Civ. P. 26 — General Provisions Governing Discovery; scope, Alaska R. Civ. P. 26(b); privilege-log requirement, Alaska R. Civ. P. 26(b)(5); duty to supplement, Alaska R. Civ. P. 26(e).
  • Alaska R. Civ. P. 33 — Interrogatories to Parties (companion written-discovery device; also 30 days to respond).
  • Alaska R. Civ. P. 37 — Failure to Make Discovery; Sanctions; motion to compel under Rule 37(a).
  • Alaska R. Civ. P. 45 — Subpoena; production by nonparties.
  • Alaska R. Civ. P. 5 — Service and Filing of Pleadings and Other Papers.
  • Alaska Court System, Rules of Civil Procedure: https://courts.alaska.gov/rules/
Ezel AI
Hi! Want this done for you? Tell me your situation and I'll fill in every section and tailor it to your state.
You get the finished Word & PDF in about 5 minutes. $49 for this document, or $249/mo for ongoing access. Want me to start?
AI Legal Assistant
Ezel AI
Hi! Want this done for you? Tell me your situation and I'll fill in every section and tailor it to your state.
You get the finished Word & PDF in about 5 minutes. $49 for this document, or $249/mo for ongoing access. Want me to start?

Insert Image

Insert Table

Watch Ezel in action (sample case)

All changes saved
Save
Export
Export as DOCX
Export as PDF
Generating PDF...
state_court_request_for_production_ak.pdf
Ready to export as PDF or Word
AI is editing...
Chat
Review

Get your finished document

Filled in for your situation. Drafting from scratch takes hours; finish yours in about 5 minutes for $49.

  • Deep Legal Knowledge
    Understands case law, statutes, and legal doctrine specific to Alaska.
  • Court-Ready Formatting
    Proper captions and local-rule compliance.
  • AI-Powered Editing
    Tailor every section to your case.
  • Export as PDF & Word
    Ready to file or send.
Secure checkout via Stripe
Need to customize this document?

About This Template

These are the filings that drive a lawsuit through the system: complaints, answers, motions, briefs, discovery requests and responses, and post-judgment papers. Each has its own format requirements under federal and state procedural rules, and each has a deadline that cannot be missed without consequences. Clean, procedurally correct filings move a case forward; sloppy ones invite motions to strike, amended responses, and avoidable delays.

Important Notice

This template is provided for informational purposes. It is not legal advice. We recommend having an attorney review any legal document before signing, especially for high-value or complex matters.

Last updated: June 2026

Get your Alaska State Court Request for Production of Documents, done and ready to use

Fill it in for your situation, adjust it for your state, and download the finished Word and PDF. Let the AI do it in about 5 minutes, or finish it yourself in the editor. Drafting this from scratch takes hours. Finish yours in about 5 minutes for $49, one time.