Production of Documents and Other Things
Author | Jennifer Duncan-Brice |
Pages | 71-128 |
22-1 (Rev. 12, 9/16)
Chapter 22
PRODUCTION OF DOCUMENTS AND
OTHER THINGS
QUICK VIEW
Definitions: A request for production of documents is a request by a party to inspect, sample, test, photograph
or copy documents or other tangible things in another party’s possession, custody or control. A party can
also request inspection of documents and other tangible items of a nonparty pursuant to a court order or by
means of deposition subpoena or an independent action for discovery.
Scope: Rules and techniques applicable to requesting documents, responding to a request, producing
documents, and compelling production. Discovery of medical records, public records, and computer records.
Objections to production requests, stipulations, and protective orders for confidential materials.
Strategies and Tactics:
Requester: Serve written requests for documents early. Draft requests that identify the requested items
with reasonable particularity. Use Definitions and Instructions sections to make the detailed requests more
concise, effective, clearer, and less objectionable.
Respondent: Work with the client to compile the responsive items. Segregate the items you will withhold
(e.g., non-responsive, privileged, confidential and trade-secret matter) from materials you will produce. To
avoid waiving objections to the request, timely serve a written response asserting all the objections you want
to preserve. If the request seeks confidential information, propose the parties enter into a Confidentiality
Agreement and consent to a protective order.
Statutes and Rules: SCR 214.
Related Topics: Presuit Activities, Ch 2; All Discovery, Ch 20; Requests for Admissions, Ch 26;
Interrogatories, Ch 25; Discovery Disputes, Ch 27; Depositions, Ch 23.
Forms: See digital access for the following forms:
• Form 20:20, Stipulation to Extend Discovery.
• Form 20:30, Stipulated Protective Order.
• Form 22:10, Request for Production.
• Form 27:110, Motion to Quash Subpoena for Deposition and for a Protective Order.
ILLINO IS PRE TRIAL PRACTICE 22-2
TABLE OF CONTENTS
I. Party Document Requests
A. General Points
§22:01 Introduction
§22:02 No Court Order Required
§22:03 Governing Rules
§22:04 “Request” Defined
§22:05 “Document” Defined
§22:06 Who Can Be Made Respondents
§22:07 Multi-Party Cases
§22:08 Scope of Requests
§22:09 No Limit on Number of Requests for Documents
§22:10 Production Does Not Make Items Admissible
B. Using Requests With Other Discovery Tools
§22:20 No Required Sequence
§22:21 Usually Document Requests Come First
§22:22 Authenticate Documents
§22:23 Identify Documents
§22:24 Follow Up With More Document Requests
C. Steps to Obtain Documents
1. PREPARE REQUESTS
a. Form
§22:30 Put Requests in Writing
§22:31 Informal Requests
b. Format
§22:40 Check Local Rules
§22:41 Caption
§22:42 Title
§22:43 Definitions Section
§22:44 Instructions Section
§22:45 “Privilege List” Instructions
§22:46 “Time, Place, and Manner” Instructions
§22:47 Signature
§22:48 Certificate of Service
c. Substance
i. General Points
§22:60 Goals and Strategies
§22:61 Consult Client
§22:62 Beware of “Boomerang” Requests
§22:63 Specify by Individual Item or Category
§22:64 Describe With Reasonable Particularity
22-3 PRODUC TION OF DOCUM ENTS AND OTHER THING S
(Rev. 12, 9/16)
§22:65 Avoid Compound Requests
§22:66 Individual-Item Requests
ii. By-Category Requests
§22:80 Purpose
§22:81 Too Broad
§22:82 Too Narrow
§22:83 Take the Middle Ground
2. SERVE AND FILE
§22:90 Earliest Time to Serve
§22:91 Latest Time to Serve
§22:92 Whom, What, and How to Serve
§22:93 Proof of Service
§22:94 No Filing
3. TRACK RESPONSE
§22:100 Calendar Response Deadline
§22:101 Post-Deadline Action
D. Responding to Request
1. INITIAL STEPS
§22:110 Review Request
§22:111 Calendar Dates and Deadlines
§22:112 Contact Client
§22:113 Contact Opposing Counsel
2. TIME TO RESPOND
§22:120 Deadline for Response
§22:121 Checking the Time to Respond
§22:122 Weekends and Holidays
§22:123 Extra Days if Request Served by Mail
§22:124 Service by FAX
§22:125 Court May Shorten or Extend Deadline
§22:126 Stipulation to Change Deadline
3. DUTY TO PRODUCE
§22:140 Possession and Control
§22:141 Not in Possession or Control
§22:142 Failure to Produce
§22:143 Documents That Need Not Be Produced
4. LOCATE, COLLECT, AND EXAMINE ITEMS
a. General Points
§22:150 Client’s Responsibilities
§22:151 Lawyer’s Responsibilities
§22:152 Educate Client
§22:153 Work With Client
§22:154 Select a “Point Person”
§22:155 Prevent Deliberate Destruction or Alteration
§22:156 Suspend Automatic Destruction Procedures
To continue reading
Request your trial