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Session Description
Responding to discovery, how to object, what may be privileged, what efforts must the responding party go to to collect docs not in its possession but that it could obtain with effort, when is discovery appropriate, use of a subpoena versus requests for production versus Rule 2004 examination, what is "off limits," mechanics of issuing and responding to subpoena, etc. Impacts all types of attorneys/cases: consumer, business, creditor, banks, etc. Although these are not "daily practice" issues for most of us, this would be a great "how to" program (with good materials) that attorneys could reference for years when the issues arise.
Target Audience
Other
First Name
David
Last Name
Cox
Email
david@coxlawgroup.com
Firm
Cox Law Group