Taking and Defending Depositions in Commercial CasesPractising Law Institute, 1993 - Actions and defenses |
Contents
Preparing a Client to Testify | 21 |
Preparing a NonParty Witness | 42 |
نه Preparing to Take and Taking the Deposition 97 | 51 |
Copyright | |
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action is pending admissible adversary adverse party alternate dispute resolution amended answer applicable appropriate asserted attorney circumstances Civil Procedure client Complex copy CPLR cross-examination defending lawyer deponent deposition testimony designated disclose discovery disputes dispositive motions DISTRICT COURT district judge documents Eastern District evidence expected to testify Expedited expert discovery expert is expected expert witness failure Federal Rules filed identify impeachment inspection interrogatories issues joinder letter rogatory limited magistrate judge Management Conference materials mediation medical malpractice motion non-party notice objection obtain officer opposing counsel otherwise party seeking discovery permit person plaintiff Practising Law Institute preparation prior privilege production protective order pursuant record relevant request response Rule 30 sanctions scheduling scope served settlement Southern District specific stipulation subdivision subject matter subpoena subpoena duces tecum taken taking the deposition tion transcript trial date unless the court videotape witness at trial witness's written questions York