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Rules of Court Litigation Strategies Rules of Civil Procedure

Goodell, DeVries, Leech & Dann, LLP

When Is an Appellate Rule Not a Rule?

Attorneys love rules. And our adversarial legal system functions best when both sides understand and follow common rules. So one Maryland appellate rule has always confounded me because it is routinely construed as meaning...more

Zelle  LLP

Minnesota’s Amended Rule 30.02 Embraces the Era of Remote Depositions

Zelle LLP on

Minnesota Rule of Civil Procedure 30.02 has been amended to expressly authorize parties to conduct depositions via remote technology and require a party seeking to take a deposition to elect between deposing in-person or...more

Furia Rubel Communications, Inc.

The Impact of Media and Technology on the Litigation Landscape with Sabrina Mizrachi, Deputy General Counsel at Estée Lauder

In this episode, Gina Rubel goes on record with Sabrina Mizrachi, who is the Vice President and Deputy General Counsel of Litigation and Global Product Regulatory at Estée Lauder. Sabrina provides regulatory guidance, manages...more

Esquire Deposition Solutions, LLC

How New Rules for Virtual Hearings Affect Remote Depositions as Well

The rapid transition to technology-enabled remote court hearings shows no signs of abating, with several state supreme courts proposing in recent weeks amendments to civil procedure rules that would standardize virtual...more

Farrell Fritz, P.C.

Commercial Litigation in New York State Courts, 5th Edition Chapter 39, “Practice Before the Commercial Division”: A Review

Farrell Fritz, P.C. on

As frequent readers of this blog are no doubt aware, the ten-volume practice treatise entitled Commercial Litigation in New York State Courts and edited by distinguished commercial practitioner Robert L. Haig (the “Haig...more

Farrell Fritz, P.C.

Rule Change Alert: Readability Is Key For Responsive Pleadings Under New Rule 6 (d)

Farrell Fritz, P.C. on

As practitioners and readers of this blog are aware, responsive pleadings are foundational documents prepared at the earliest stage of a litigation in which the responding party denies, admits, or states that she lacks...more

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