sample depo designation objections slot gampang sample depo designation objections by properly raising objections during the deposition, it is significantly more likely that you will be able to impeach the expert at trial some of the most useful objections to an expert witness include objection question based on assumptions
slot terbaik written objections regarding defects in the deposition notice (date, time, place, documents requested, etc ) must be served at least 3 days by personal service (or 4 days by other proper methods) before noticed deposition date; failure to timely object based on notice waives objection ccp § 2025 410 sample depo designation objections objections you can make in a deposition even though the same rules do not apply to depositions as to testimony given during a hearing or during a trial, attorneys can and do object to some sample depo designation objections
gates olympus designate only one 30(b)(6) witness the first thing to consider is whether to designate one or more witnesses for the 30(b)(6) deposition some noticing parties will strategically set out a great number of topics to force counsel to designate more than one 30(b)(6) wit ness counsel should be wary of this strategy because the noticing party's sample depo designation objections plaintiffs object to the use of any of mr smallwood's deposition at trial pursuant to federal rule of civil procedure 32(a) mr smallwood is not a party to this case and is not an unavailable witness under rule 32(a)(4) sample depo designation objections