Remove 06
Remove 2013 Remove 2018 Remove Education Remove IT
article thumbnail

DOS and DON’TS of a 30(b)(6) Witness Deposition, Part Five

eDiscovery Daily

DKC 06-0866 (D. 2d 1171 (2013). As mentioned previously, strategic timing of the deposition can help streamline the issues and avoid future claims that discovery sought against the organization is a fishing expedition. Do not agree to a question-by-question or objection-by-objection format. & Exch. Comm’n v. Comm’n v.

article thumbnail

Chronicle of a Records Manager: Controlling the Chaos of Disaster Response and Recovery

ARMA International

I have been a member of the OAR staff at the ANO since March 2013. In 2018, I became the Senior Processing Archivist/Records Analyst. I knew from previous education and training that documenting damage before moving or addressing anything was critical. Background. I began as a Processing Archivist/Records Analyst. It was grim.