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Is a “Composite” Video Admissible and Can a Police Officer “Narrate” It at Trial? – Part 1 of 2

E-Discovery LLC

These videos were admitted into evidence without objection and were contained in about 30 video exhibits. Over objection, Lieutenant McDonald testified that he focused on one of the suspects who wore distinctive attire. The court admitted the composite video over objection. State, 261 Md. 499 (2024). at 533-34. “We

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Unopposed Motion to Seal Court Records

E-Discovery LLC

Plaintiff Boblitt moved for leave to file specific exhibits under seal. The exhibits supported his opposition to a motion of defendant BP for a protective order. While it is not clear to me, it appears that the exhibits were primarily expert reports in other litigation. BP raised other issues. and 105.11. ” Id.

Exhibits 130
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A Request to File a Privilege Log Under Seal Was Denied

E-Discovery LLC

21, 2024), the court wrote: “Before the Court are a litany of motions to seal exhibits to contemporaneously filed briefing on discovery disputes.” The Sazerac court granted a number of those motions; however, it denied the motion to seal a privilege log that had been filed as an exhibit. explain the procedure.

Exhibits 130
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Amendments to CR 26 and 30 Will Change Discovery and Deposition Practice

WA Bar News

1 The amendments to CR 26 affect objections, supplementation, and disclosure of experts. In response to the objection this might increase costs and introduce ambiguity, the Work Group determined most parties already ask for supplementation, so there is no net increase in work. General objections shall not be made.

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Diving Back Into Conferences: Ways to Brush Up Your Form

Attorney at Work

Establish your objectives. Visit the exhibit hall. Create a target list of people you’d like to reach out to in advance or see when you’re there. Send notes to some people. Let them know you will be there and are anxious to catch up. What do you hope to accomplish at the conference? Use social media. Follow-Up After Conferences.

Subpoenas 283
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Do You Have to Ask an Opponent for a Privilege Log?

E-Discovery LLC

There were several other discovery disputes and the parties submitted emails, exhibits, and a declaration. c)(2) contentions, in reviewing the briefs and exhibits, it is evident that the communication issues addressed in the court’s January 11, 2024 order have not been resolved. Plaintiffs argued that Fed.R.Civ.P.

Discovery 130
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Three Types of Protective Orders – Requirements to Seal Court Record

E-Discovery LLC

addresses sealing of filed documents: Any motion seeking the sealing of pleadings, motions, exhibits, or other documents to be filed in the Court record shall include (a) proposed reasons supported by specific factual representations to justify the sealing and (b) an explanation why alternatives to sealing would not provide sufficient protection.

Discovery 130