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15 Case management information (continued)                              Notes

             D3. Disclosure of electronic documents (multi-track cases only)
             If you are proposing that the claim be allocated to the m ulti-track:

             1.  Have you reached agreement, either using the Electronic Documents
               Questionnaire In Practice Direction 31B or otherwise, about the scope
               and extent of disclosure of electronic documents on each side?
             2.  If No, is such agreement likely?

             3.  If there is no agreement and no agreement is likely, what are the
               issues about disclosure of electronic documents which the court
               needs to address, and should they be dealt with at the Case
               Management Conference or at a separate hearing?









             D4. Disclosure of non-electronicdocuments (all cases)
             What directions are proposed for disclosure?












             For all multi-track cases, except personal Injury.
             Have you filed and served a disclosure report (Form N263)
             (see Civil Procedure Rules Part 31).

             Have you agreed a proposal in relation to disclosure that meets the
             overriding objective?
             If Yes, please ensure this is contained within the proposed directions
             attached and specify the draft order number. ____________________




             Experts

                                                                             There is 10 presumption that expert evidence is necessary, or
                                                                             that each party will be entitled to their own expert(s|.
                                                                             Therefore, the court requires a short explanation of your
                                                                             proposals with regard to expert evidence.
            Do you wish to use expert evidence at the trial or final hearing?

            Have you already copied any experts' report(s) to the other party(ies)?
            Do you consider the case suitable for a single joint expert in any field?










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