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A Cautious Reminder When Responding to a Rule 19-a Statement of Material Facts on a Motion for Summary Judgment

The Proof Is in the Note: Commercial Division Holds a Heter Iska Is Not Outside Proof for Purposes of Summary Judgment in Lieu of Complaint

A Deposition Wake Up Call: Commercial Division Strikes Pleading for Repeated Failure to Appear for a Deposition

Return to Sender: Commercial Division Issues Warning Regarding the Fatal Consequences of a “Short Return Date”

Rattling the Attorney-Client Privilege Cage – A Lesson in Avoiding Waiver of Privilege under the Common-Interest Doctrine

Check Your Clauses: An Interesting Tale of the Missing Forum Selection Clause

Altering a Confession of Judgment? Think Again!

What’s Your Contribution? A Cautionary Tale Surrounding Third-Party Complaints
