Form of Discovery Documents
U.S. District Court for the Southern District of Ohio
U.S. District Court for the Southern District of Ohio
(a) Parties responding or objecting to discovery requests shall quote each such interrogatory or request in full immediately preceding the statement of any answer, response, or objection thereto. A privilege log shall list documents, electronically stored information, communications, or tangible things withheld in an organized and logical order and must contain sufficient information to enable an opposing party and the Court to evaluate the applicability of the claimed privilege or protection. 24 (b) The parties shall number each interrogatory, request, answer, response, or objection sequentially, regardless of the number of sets of interrogatories or requests, throughout the entire course of the action.
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