Get Needed Corporate Information from the 30(b) (6) Representative
Evan Schaeffer at the Illinois Trial Practice Weblog suggests using corporate designee depositions to minimize wait time for corporate documents and information. Oftentimes, the defense counsel’s primary objective is to slow down the litigation process. Evan reminds us that we can skirt the obstructionists, by obtaining the information directly from the corporate designee that knows the most about the information.
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