Deposition No-Show: Difference between revisions
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*ABA guide to depositions, includes no-show - [https://www.americanbar.org/groups/tort_trial_insurance_practice/committees/staff_counsel/unexpected-situations/#:~:text=If%20the%20defending%20attorney%20(or,State: | *ABA guide to depositions, includes no-show - [https://www.americanbar.org/groups/tort_trial_insurance_practice/committees/staff_counsel/unexpected-situations/#:~:text=If%20the%20defending%20attorney%20(or,State:] | ||
*[[Deposition]] |
Latest revision as of 18:30, 30 September 2024
Summary
- Wait and attempt contact up to 30 minutes, at which point you go on the record to document the no-show.
- Just cause does exist for no-show - [1]
Updating the Record - Summary
From [2]
When a deponent or attorney misses the proceeding, ask the court reporter to go on the record to document the occurrence. We recommend preparing a no-show deposition script for these circumstances. If you don’t have a script, make sure to note the following information:
- The names of all attorneys and their represented parties
- Names of all parties present
- The purpose of the deposition
- date and time of the scheduled deposition
- Description of attempts to contact the absent party/the method you used to contact them
- Description of the deponent’s proffered excuses for failing to appear (if any)
- Summary of your efforts to properly notice the deposition
Full Detail - No-Show Deposition Script
Here is more details - should write this up before depo. [3]. Or this [4].
Links
- ABA guide to depositions, includes no-show - [5]
- Deposition