Remove Depositions Remove Interrogatories Remove Trial Preparation
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CONSIDER A TRIAL CHECKLIST

Plaintiff Trial Lawyer Tips

Once one has a basic trial checklist it can be expanded and modified for specific kinds of cases. Separate checklists can also be created for different time stages pending trial by a series of trial preparation checklists. Index & make summary of relevant information for use at trial. Supplement if needed.

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Amendments to CR 26 and 30 Will Change Discovery and Deposition Practice

WA Bar News

1, 2024, codify procedure for depositions by remote means. That was always the rule if CR 33 (interrogatories) and CR 34 (requests for production) were read. DEPOSITIONS BY REMOTE MEANS Amendments to CR 30, addressing depositions by remote means, were proposed by the BJA Remote Proceedings Work Group and adopted effective Oct.

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Scheduling Orders Are Mandatory; Vital to Caseload Management; and, Enforced Even Where Parties Got Themselves Into a “Pickle” by Dilatory Efforts to Cooperate

E-Discovery LLC

The defendant did not answer the plaintiff’s interrogatories until mid-July…, and, after repeatedly failing to produce documents on promised dates, finally produced some documents in response to the plaintiff’s April requests in mid-August…. They have taken no depositions….

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