Identifying 30(b)(6) Designees via Interrogatories
I see form interrogatories asking my client to identify prospective 30(b)(6) designees an annoyingly regular basis. Is this proper? No.
Read moreI see form interrogatories asking my client to identify prospective 30(b)(6) designees an annoyingly regular basis. Is this proper? No.
Read more“Ruel 34 does not require a party to create documents” is a favorite objection I see to requests for various
Read moreCan a party use discovery as a weapon to coerce a settlement? It happens, but is it appropriate? That question
Read moreSupplemental expert reports are another contentious topic. But when may they be properly issued? Colony Ins. Co. v. Colo. Cas.
Read moreSince the first two posts this month focused on experts, I chose to make October Expert Witness Month. Its like
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