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What to do When the Deponent Refuses to Answer

When Do I Have to Bring a Motion to Compel Written Discovery?

Rule of Court Changes for Remote Depositions

“You Harm Your Client’s Interest When You Craft or Transmit Evasive Discovery Responses”

Does the 45-Day Rule Apply when no Privilege Log was Served?

WHEN YOU GET BOMBARDED WITH DISCOVERY…

What Lawyers are Getting Wrong in Virtual Depositions

Rebuttal Expert Witnesses—Do you know how to use them?
