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Record Nr. |
UNINA9910460591703321 |
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Autore |
Grimm Paul W. <1951-> |
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Titolo |
Discovery problems and their solutions / / Paul W. Grimm, Charles S. Fax, Paul Mark Sandler |
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Pubbl/distr/stampa |
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[Chicago, Illinois] : , : American Bar Association, , 2013 |
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©2013 |
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ISBN |
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Edizione |
[Third edition.] |
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Descrizione fisica |
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1 online resource (1145 p.) |
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Disciplina |
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Soggetti |
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Discovery (Law) - United States |
Electronic books. |
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Lingua di pubblicazione |
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Formato |
Materiale a stampa |
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Livello bibliografico |
Monografia |
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Note generali |
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"Defending Liberty Pursuing Justice." |
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Nota di bibliografia |
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Includes bibliographical references and index. |
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Nota di contenuto |
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Cover; Title Page; Copyright; Publisher's Note; Contents; Dedication; Foreword; Acknowledgments; About the Authors; Introduction; Section 1: Interrogatories, Document Requests, Requests for Admission, and Motions for Mental and Physical Examinations; Overview; 1. Framing Proper Interrogatories; 2. Interrogatories-Numerosity: Parts and Subparts; 3. Interrogatories-Propriety of Definitions and Instructions; 4. The Timing of Interrogatories and Requests for Production-How Soon Can You Ask, and When Is It Too Late?; 5. Interrogatories-Sufficiency of Objections |
6. Sufficiency and Supplementation of Interrogatory Answers7. Interrogatories-Use in Court; A. As Substantive Evidence; B. As Impeachment; 8. Document Requests-Numerosity, Propriety, Timing, and Sufficiency of Objections; 9. Discovery of Electronically Stored Information; 9A. Discovery of Social Network Evidence from a Former Employee; 10. Discovery of Witness Statements; 11. Privilege Logs; 12. Inadvertent Disclosure of Privileged Material; 13. Motions for Mental or Physical Examination; 14. Requests for Admission; Section 2: Depositions; Overview; 15. Notice of Deposition-Timing |
16. Taking a Deposition-The Basics17. Depositions-Making Procedural and Evidentiary Objections; 18. Asserting Privileges during Deposition; 19. Instructing a Witness Not to Answer a Question; 20. Misconduct by Counsel at a Deposition and during a Deposition Recess; 21. Video |
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Depositions; 22. Who May Attend a Deposition?; 23. Submission of Deposition Transcript to Witness for Review and Signature; 24. Compensation for Treating Physician's Deposition Preparation and Testimony; 25. Depositions of Corporations and Other Entities under Rule 30(b)(6) |
26. Discovery of Oral Communications and Privileged Documents Provided to a Witness27. Discovery of Jury Consultant and Focus Group Materials and Related Communications; 28. Ethical Considerations in Representing Your Corporate Client's Employees in Deposition; 29. Discovery of Foreign Citizens and Residents; 30. Use of Adverse Party's Deposition at Trial; 31. Use at Trial of Deposition of Unavailable Witness; 32. Use of Deposition for Impeachment at Trial; Section 3: Experts; Overview; 33. The Timing of an Expert Deposition; 34. Timing and Supplementation of Expert Disclosures |
35. Expert Disclosures-Treating Physician or Other Hybrid Fact/Expert Witness36. Taking an Expert's Deposition-The Basics; 37. Discovery of Oral Communications and Privileged Documents Shared with Expert; 38. Discovery of Facts Known or Opinions Held by Expert Not Expected to Testify at Trial; 39. Deposing Opposing Party's Former Expert in the Same Case; 40. Discovery of Draft Report by Testifying Expert; 41. Discovery and Daubert; 42. Reasonableness of Fees and Expenses Charged to Deposing Party by Adverse Expert; Section 4: Sanctions and Protective Orders; Overview |
43. Rule 26(a) Disclosures and Rule 37(c) Motion for Failure to Disclose, Misleading Disclosures, or Refusal to Admit |
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