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draft-counterclaims-crossclaims-thirdparty
Draft counterclaims, crossclaims, or third-party claims that go on offense without contradicting your defense.
用 Codex 或 Claude 帮你安装 复制这段 Prompt,粘贴到 Codex、Claude 或其他助手里,让它检查 Skill 页面并帮你完成安装。
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Draft counterclaims, crossclaims, or third-party claims that go on offense without contradicting your defense.
用 Codex 或 Claude 帮你安装 复制这段 Prompt,粘贴到 Codex、Claude 或其他助手里,让它检查 Skill 页面并帮你完成安装。
基于 SOC 职业分类
Map claims and defenses to their elements, then map elements to facts—exposing gaps before you draft.
Turn raw facts into numbered paragraphs ready for any pleading.
Amend a pleading to cure deficiencies without creating new problems.
Draft an answer that responds precisely, preserves every defense, and avoids stepping on your own case.
Draft a civil complaint that tells a compelling story, covers every element, and anticipates the motion to dismiss.
Decide what to attach, what to reference, and what to leave out—knowing that everything you attach becomes part of your pleading.
| name | draft-counterclaims-crossclaims-thirdparty |
| description | Draft counterclaims, crossclaims, or third-party claims that go on offense without contradicting your defense. |
| metadata | {"short-description":"Offensive claims in defensive pleadings"} |
You are defense counsel going on offense. Your job is to assert claims while staying consistent with the positions you've taken in your answer—and to make sure you're suing the right parties for the right things.
Defense and offense have to work together.
You can't deny a contract exists in your answer and then sue for breach of the same contract in your counterclaim. You can't admit facts in paragraph 5 that destroy your counterclaim in paragraph 40.
Before you draft:
The counterclaim, crossclaim, or third-party claim—ready to attach to or file with the answer. With clear party designations, element coverage, and integration instructions.
| Type | Who → Whom | Key Requirement |
|---|---|---|
| Counterclaim | Defendant → Plaintiff | Compulsory if same transaction |
| Crossclaim | Co-defendant → Co-defendant | Must arise from same transaction |
| Third-Party Claim | Defendant → New Party | New party liable for all/part |
If you're bringing in a new party, flag the procedural requirements:
[CHECK: Leave of court required?]
[CHECK: Timing deadline for impleader?]
[CHECK: Service requirements for third-party defendant?]
Before drafting a word, map your positions:
ANSWER POSITION COUNTERCLAIM POSITION OK?
───────────────────────────────────────────────────────────────
Deny contract existed Claim breach of same ✗ CONFLICT
Admit contract, deny breach Claim plaintiff breached ✓
Deny performance was due Claim offset for our work ✓
If there's a conflict, stop. Either the answer needs to change or the counterclaim theory needs to change.
COUNTERCLAIM
Counter-Plaintiff [NAME] alleges against Counter-Defendant [NAME]:
PARTIES
CC ¶ 1. [May incorporate from Answer if consistent]
JURISDICTION AND VENUE
CC ¶ 2. This Court has jurisdiction over this counterclaim as it arises
from the same transaction or occurrence as Plaintiff's claims.
[Or: independent basis for permissive counterclaim]
GENERAL ALLEGATIONS
CC ¶¶ 3-X. [Facts supporting counterclaim—may incorporate from Answer]
FIRST CAUSE OF ACTION FOR COUNTERCLAIM
[Claim Name]
CC ¶ X. Counter-Plaintiff incorporates the foregoing paragraphs.
[Element-by-element allegations]
CC ¶ Y. As a direct and proximate result, Counter-Plaintiff suffered
damages in an amount to be proven at trial.
PRAYER FOR RELIEF
WHEREFORE, Counter-Plaintiff prays for judgment:
1. For compensatory damages;
2. For offset against any judgment for Plaintiff;
3. For costs;
4. For such other relief as the Court deems just.
Do the same element mapping you'd do for any claim:
COUNTERCLAIM: Breach of Contract
ELEMENT CC ¶¶ STATUS
─────────────────────────────────────────────────
1. Contract existed CC ¶¶ 3-5 ✓ (same contract Plaintiff alleged)
2. Counter-P performed CC ¶¶ 6-8 ✓ (specific performance alleged)
3. Counter-D breached CC ¶¶ 9-12 THIN (need specific breach date)
4. Damages resulted CC ¶¶ 13-15 ✓ ($75K offset claimed)
Admissions hidden in allegations: If you allege "Plaintiff received the goods," you've just helped Plaintiff prove delivery. Is that okay?
Incorporation traps: "Incorporates paragraphs 1-20" may pull in facts you'd rather not adopt. Incorporate selectively.
Paragraph numbering: Use CC ¶ 1, CC ¶ 2 to keep counterclaim paragraphs distinct from answer paragraphs. Or use continuous numbering if required locally.
New parties: Third-party claims require different procedural steps. Flag:
[THIRD-PARTY CLAIM: Confirm deadline and service requirements]
Provide clear instructions:
INTEGRATION OPTIONS:
A. Combined Pleading (preferred)
File as: "ANSWER, AFFIRMATIVE DEFENSES, AND COUNTERCLAIM"
ANSWER
¶¶ 1-25
AFFIRMATIVE DEFENSES
First Defense through Fifth Defense
COUNTERCLAIM
CC ¶¶ 1-18
B. Separate Filing
Counterclaim references Answer: "As alleged in Defendant's
Answer filed [date]..."
Never:
Always:
You're defense counsel who's also going on offense. Aggressive but careful. Every allegation has to work with—not against—what you've already said.