CCP § 2031.310. (a) (3) and objections which are without merit or too general.
Poor drafting of the discovery by you. I would send a request for admission of the genuiness of the email. Or, you could have made a Req for...
San Jose, CA
Car accident Lawyer at San Jose, CA
Practice Areas: Car Accidents, Personal Injury ... +2 more
Poor drafting of the discovery by you. I would send a request for admission of the genuiness of the email. Or, you could have made a Req for...
That language is common but not really necessary or binding. If a party was to try to introduce new info just discovered even after the trial...
The issue is whether the info you are seeking is relevant to the subject matter. If the lawsuit was by a tenant against a LL claiming damages for...
Not code compliant response. Meet and confer and request a code compliant respons and production. They must justify their objection. make sure you...
I would check with a lawyer who does defamation cases. Not sure this is a strong case, as it sounds like she is simply giving her opinion. Check...
Her name on the papers isnt determinative. Has she heard prior motions etc in your case? Did you stip to her hearing matters in the case already? I...
Your demand was deficient and may not have complied w/2031.030. They could have objected and jerked you around.
2031.320. You can also cite the obligation to produce as specified in 2031.280.
He will probably object as he did at depo. Then youd have to file a motion. Is the other case relevant to this case? Have you reviewed the court...
You can respond to the first 2 requests in their second set, and object to the rest. You can request the court permit more discovery. You can offer...