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It’s All in the Documents: Using 30(b)(6) Depositions for Discovery - On Demand CLE

Mark R. Kosieradzki
$100.00

Format

Description

The truth is in the documents. Yet responses to document requests are often littered with objections and incomplete answers. Rule 30(b)(6) depositions can be used to identify important documents and create a bulletproof record to virtually ensure that you will win your motions to compel. 

Join Mark R. Kosieradzki, author of 30(b)(6): Deposing Corporations, Organizations & the Government, as he shows you how to craft your notice. In this presentation, Kosieradski will show you how to arm yourself with the law if your notice is challenged and use video clips of actual depositions to walk you through the steps for taking the deposition. 

Don’t miss your opportunity to learn how to use this 30(b)(6) deposition protocol to cut through the obstructive nonsense, neutralize objections before they happen, and get what you need.

Click here for Access Instructions for On Demand Programs.

Each user must register individually as they will need their own login to access the program and comply with CLE requirements.

Need accreditation in another jurisdiction? Fill out this form and note Course No. 240417D00. 

Shop all Continuing Legal Education videos for lawyers.

Author

Details

On Demand Program: 96 Minutes

Original Air Date: 04/17/2024

Accreditation

Approved and Pending Credits

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Accreditation Not Available



MO, VA



We will apply for accreditation in your state upon request. Please use the form at the bottom of the product description to request accreditation in your state.


Overall rating: 4.7391305 / 5 from 23 reviews.

AI Generated Review Summary

Summary topics

Review topics: ["explanation"].

Review highlights

Reviews

Meet and confer.

"What were your key takeaways from the program? Meet and confer and spreadsheet objections."

Robert L. (5/5)

All of it

"What were your key takeaways from the program? All of it Which topics did you find least valuable and why? none"

George C. (5/5)

Challenge objections

"What were your key takeaways from the program? Challenge objections and make the motion Which topics did you find least valuable and why? Privilege"

Stephen B. (5/5)

making a complete

"What were your key takeaways from the program? making a complete record in civil manner."

Paul S. (4/5)

Fight discovery

"What were your key takeaways from the program? Fight discovery obstruction Which topics did you find least valuable and why? NA"

Justin K. (5/5)

excellent explanation

"What were your key takeaways from the program? excellent explanation of not backing down and utilizing the 30(b)6 depo effectively"

Amanda H. (5/5)

How Do I View the Seminar I paid for?

"I never saw the credentials to view same. So I can't give you a better rating."

Paul P. (1/5)

Take a foundation depo

"What were your key takeaways from the program? Take a foundation depo about documents before asking for the documents in a RFP to avoid (or at least be better prepared for) spurious objections."

Geoffrey P. (5/5)

Take a 30(b)(6)

"What were your key takeaways from the program? Take a 30(b)(6) before sending the RFPs Which topics did you find least valuable and why? Q&A"

Candice B. (5/5)

Must file motions

"What were your key takeaways from the program? Must file motions to do our jobs. Which topics did you find least valuable and why? none. all was important."

James M. (5/5)

Q&A

It’s All in the Documents: Using 30(b)(6) Depositions for Discovery - On Demand CLE - Trial Guides
LMS

It’s All in the Documents: Using 30(b)(6) Depositions for Discovery - On Demand CLE

$100.00

The truth is in the documents. Yet responses to document requests are often littered with objections and incomplete answers. Rule 30(b)(6) depositions can be used to identify important documents and create a bulletproof record to virtually ensure that you will win your motions to compel. 

Join Mark R. Kosieradzki, author of 30(b)(6): Deposing Corporations, Organizations & the Government, as he shows you how to craft your notice. In this presentation, Kosieradski will show you how to arm yourself with the law if your notice is challenged and use video clips of actual depositions to walk you through the steps for taking the deposition. 

Don’t miss your opportunity to learn how to use this 30(b)(6) deposition protocol to cut through the obstructive nonsense, neutralize objections before they happen, and get what you need.

Click here for Access Instructions for On Demand Programs.

Each user must register individually as they will need their own login to access the program and comply with CLE requirements.

Need accreditation in another jurisdiction? Fill out this form and note Course No. 240417D00. 

Shop all Continuing Legal Education videos for lawyers.

Format

  • On Demand Program
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