DOS and DON’TS of a 30(b)(6) Witness Deposition, Part Six
eDiscovery Daily
OCTOBER 3, 2019
The deponents need not have firsthand knowledge of the events in question, but if they do not the corporation must provide them with the information necessary to provide “complete, knowledgeable, and binding answers on behalf of the corporation.”. 07–00071 SPK–KSC, 2008 WL 4907865, at *4 (D.Haw.2008). Jordan Enterprises, 277 F.R.D.
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