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EDiscovery Best Practices: Preparing Your 30(b)(6) Witnesses

When it comes to questions and potential issues that the receiving Party may have about the discovery process of the producing party, one of the most common and direct methods for conducting "discovery about the discovery" is a deposition under Federal Rule 30(b)(6). This rule enables a party to serve a deposition notice on the entity involved in the litigation rather than an individual. The



This post first appeared on My Paralegal Place, please read the originial post: here

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EDiscovery Best Practices: Preparing Your 30(b)(6) Witnesses

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