Discovery Practice, Ninth Edition gives you hard-nosed, trial-tested guidance through all the intricacies of what to do, whether to do it, and how to do it -- at every stage of the discovery process. Turn to this trusted guide for thorough, up-to-date clarification of: Insurance discoverability Discovery abuse -- its penalties and sanctions Confidentiality and discovery of trade secrets Use of experts Use of investigation files Use of witness statements Protective orders Invoking Rule 29 powers Tapes and telephones depositions Using the Manual for Complex Litigation Foreign discovery Discovery in administrative hearings Discovery in arbitration. Plus detailed coverage of such cutting edge areas as e-mail depositions and FOIA proceedings. Appendices include ready to adapt sample forms. Now, with all the practice tips and valuable strategies packed into Discovery Practice, you can Facilitate early and thorough disclosure of information Quickly determine a core of undisputed facts Intensively promote and pursue a negotiated settlement. Discovery Practice, Ninth Edition gives you hard-nosed, trial-tested guidance through all the intricacies of what to do, whet
Featuring partners from some of the nations leading law firms, these experts guide the reader through the process of implementing an e-discovery strategy, as they discuss the importance of protecting electronic information, considering e ...
38 South Shropshire District Council v Amos [1986] 1 W.L.R. 1271; Schering Corporation v Cipla Ltd, The Times, December 2, 2004, Ch.D; Pearson Education Ltd v Prentice Hall India ...
Pearson,. 35. F.R.D.. 20. (D.D.C.. 1964). relevant evidence of defendants' policies). Roesberg v. Johns-Manville Corp., 85. 15 Cannata v. Wyndham Worldwide Corp., 2012 US. Dist. LEXIS 20625, at *10— *12(D. Nev. Feb. 17,2012).
Anton Piller Orders
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Obtaining Discovery: Initiating and Responding to Discovery Procedures : Here's how and when to Do it
Obtaining Discovery: November 2014: Initiatinf and Responding to Discovery Procedures
5:9.10 FRAUD Generally. . . . . 1:8.18[9] Attorney-client privilege, exception to . . . . . 1:2.06[2]; 3:2.26[1][c] Burden of proof. . . . . 1:6.14[1] Complaint, requirement for particularity in pleading of fraud in Generally.
Civil Discovery
Softbound - New, softbound print book.