Discovery Problems and Their SolutionsA concise, practical guide to discovery. The book provides an overview of discovery rules and guidelines and covers interrogatories in parties; requests for admissions of fact and genuineness of documents and more. |
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Page ii
... unless adopted pursuant to the bylaws of the Association . Nothing contained in this book is to be considered as the rendering of legal advice for specific cases , and readers are responsible for obtaining such advice from their own ...
... unless adopted pursuant to the bylaws of the Association . Nothing contained in this book is to be considered as the rendering of legal advice for specific cases , and readers are responsible for obtaining such advice from their own ...
Page xvi
... Unless otherwise ordered by the court , these disclosures must be made not later than 30 days before trial . Rule 37 ( c ) puts teeth into the Rule 26 ( a ) mandatory disclosures by precluding a party that failed to make them from using ...
... Unless otherwise ordered by the court , these disclosures must be made not later than 30 days before trial . Rule 37 ( c ) puts teeth into the Rule 26 ( a ) mandatory disclosures by precluding a party that failed to make them from using ...
Page xx
... unless the ground ( s ) for the objection could have been obviated if stated at that time . RULE 33 : INTERROGATORIES TO PARTIES Rule 33 ( a ) provides for the issuance of interrogatories . There may not be more than 25 interrogatories ...
... unless the ground ( s ) for the objection could have been obviated if stated at that time . RULE 33 : INTERROGATORIES TO PARTIES Rule 33 ( a ) provides for the issuance of interrogatories . There may not be more than 25 interrogatories ...
Page xxi
... unless it has already been produced or made available for inspection . A matter is deemed admitted unless a response to the request is served within 30 days , subject to an agreement or order modifying the time limit . When an objection ...
... unless it has already been produced or made available for inspection . A matter is deemed admitted unless a response to the request is served within 30 days , subject to an agreement or order modifying the time limit . When an objection ...
Page xxii
... unless the court determines that the opposing party's non- disclosure , response or objection was substantially justified or that other circumstances make an award of expenses unjust . Rule 37 ( a ) ( 3 ) contains the extremely ...
... unless the court determines that the opposing party's non- disclosure , response or objection was substantially justified or that other circumstances make an award of expenses unjust . Rule 37 ( a ) ( 3 ) contains the extremely ...
Contents
V | 1 |
VII | 5 |
IX | 13 |
X | 18 |
XI | 21 |
XII | 24 |
XIII | 31 |
XIV | 36 |
XLII | 160 |
XLIII | 163 |
XLIV | 167 |
XLV | 171 |
XLVI | 172 |
XLVII | 176 |
XLVIII | 181 |
XLIX | 185 |
XV | 37 |
XVI | 39 |
XVII | 44 |
XVIII | 56 |
XIX | 62 |
XX | 65 |
XXI | 73 |
XXII | 79 |
XXIII | 83 |
XXIV | 87 |
XXVI | 90 |
XXVII | 92 |
XXVIII | 99 |
XXIX | 105 |
XXX | 108 |
XXXI | 114 |
XXXII | 117 |
XXXIII | 122 |
XXXIV | 126 |
XXXV | 131 |
XXXVI | 139 |
XXXVII | 142 |
XXXIX | 147 |
XL | 149 |
XLI | 156 |
Other editions - View all
Discovery Problems and Their Solutions Paul W. Grimm,Charles S. Fax,Paul Mark Sandler No preview available - 2013 |
Common terms and phrases
2d Cir 5th Cir admission adverse party answer asserted attorney attorney-client privilege burdensome C.D. Cal Civil Procedure client conference Corp court order court rule defendant's defense counsel deponent designated disclosed disclosure discovery disputes discovery plan discovery requests District Court docu document request electronic discovery electronic information evidence examination expense expert witness facts failure faith Federal Rules fees filed a motion identify impeachment impose interrogatories issue lawyer letters rogatory litigation materials matter ment motion to compel N.D. Ill notice objections obtain opinion party seeking party's permit person plaintiff plaintiff's counsel prepared pretrial producing party protective order question reasonable records relevant requesting party requests for production responding party Rule 34 Rules of Civil sanctions scheduling scope served Snack Attack specific spoliation of evidence Standard stipulation subdivision subpoena Supp supra testify tion trial UBS Warburg unless waived waiver work-product work-product doctrine