Discovery Subpoena (NJ) | Practical Law

Discovery Subpoena (NJ) | Practical Law

A sample discovery subpoena that a party may use to command a non-party witness to appear and testify at a deposition (a subpoena ad testificandum) or produce documents or other evidence (a subpoena duces tecum) in cases pending in the New Jersey Superior Court, Law Division, Civil Part (including in Complex Business Litigation Program actions) or in non-foreclosure actions in the Chancery Division, General Equity Part. Counsel may use this Standard Document to command the deposition of non-parties, including an individual witness or a corporate representative (such as a named officer, director, managing agent, or employee) or to command non-parties to produce documents and other evidence for pretrial discovery. This Standard Document has integrated drafting notes with important explanations and drafting tips, including about noticing an in-person or virtual (remote) deposition and waiving the witness's appearance if counsel want the witness to only produce evidence and not testify.

Discovery Subpoena (NJ)

Practical Law Standard Document w-032-3364 (Approx. 19 pages)

Discovery Subpoena (NJ)

by Practical Law Litigation
MaintainedNew Jersey
A sample discovery subpoena that a party may use to command a non-party witness to appear and testify at a deposition (a subpoena ad testificandum) or produce documents or other evidence (a subpoena duces tecum) in cases pending in the New Jersey Superior Court, Law Division, Civil Part (including in Complex Business Litigation Program actions) or in non-foreclosure actions in the Chancery Division, General Equity Part. Counsel may use this Standard Document to command the deposition of non-parties, including an individual witness or a corporate representative (such as a named officer, director, managing agent, or employee) or to command non-parties to produce documents and other evidence for pretrial discovery. This Standard Document has integrated drafting notes with important explanations and drafting tips, including about noticing an in-person or virtual (remote) deposition and waiving the witness's appearance if counsel want the witness to only produce evidence and not testify.