That said, they haven't all learned yet, so the above tips are certainly worth trying whenever you review
electronic documents during discovery.
Not exact matches
Upon separation from employment with the Company or on demand by the Company
during my employment, I will immediately deliver to the Company, and will not keep in my possession, recreate, or deliver to anyone else, any and all Company property, including, but not limited to, Company Confidential Information, Associated Third Party Confidential Information, as well as all devices and equipment belonging to the Company (including computers, handheld
electronic devices, telephone equipment, and other
electronic devices), Company credit cards, records, data, notes, notebooks, reports, files, proposals, lists, correspondence, specifications, drawings, blueprints, sketches, materials, photographs, charts, any other
documents and property, and reproductions of any and all of the aforementioned items that were developed by me pursuant to my employment with the Company, obtained by me in connection with my employment with the Company, or otherwise belonging to the Company, its successors, or assigns, including, without limitation, those records maintained pursuant to Section 3.C.
As part of Kaiser Permanente's clinical practice to inquire about Exercise as a Vital Sign, the patients» self - reported physical activity was
documented in their
electronic health record
during routine clinical visits along with other vital signs such as blood pressure.
As part of clinical practice, patients are asked about their level of physical activity
during routine outpatient visits and their responses
documented in their
electronic health record.
Access
during the Settling Defendants» office hours to inspect and copy, or at the option of the United States, to require Settling Defendants to provide to the United States hard copy or
electronic copies of all books, ledgers, accounts, records, data, and
documents in the possession, custody, or control of Settling Defendants, relating to any matters contained in this Final Judgment; and
Rep. Smith directed Dr. Shukla to preserve «all e-mail,
electronic documents, and data» since January 2009 that «can be reasonably anticipated to be subject to a request for production by the committee»
during an investigation.
However, this bias is consistent with previous studies
documenting the impact of the widespread conversion to
electronic sensors in the USHCN
during the last 25 years because the majority of poor exposure sites were subject to this instrument change.
Massive data growth rates result in an increase in the amount of
electronic documents being generated, which are used
during litigations.
Electronic documents will be collected from various sources, depending upon the information that was shared
during the custodial interviews, as well as any discussions with the IT staff.
It is likely that the vast majority of
documents obtained
during a search will be
electronic.
«Lawyers who send
documents in
electronic form to opposing counsel have a duty to exercise reasonable care to ensure that metadata containing confidential information protected by the attorney client privilege and the work product doctrine is not disclosed
during the transmission process.»
Principle 9:
During the discovery process parties should agree to or, if necessary, seek judicial direction on measures to protect privileges, privacy, trade secrets and other confidential information relating to the production of
electronic documents and data.
In complex, large - scale litigation and regulatory investigations, the volume of
electronic data is too large to manually sort, organize and review (also called objective coders, database coders, legal coders, or litigation coders) review and code
documents, files and other data so that the litigation team can more easily search and retrieve information
during the course of the case or project.
TERIS, founded in 1996, provides a streamlined suite of litigation support services which increase efficiency and lower expenditures
during the litigation process including
Document Imaging,
Electronic Discovery, Forensic Investigation, Information Governance Consulting, Litigation Copy and Printing, Forensic Consulting, Litigation Preparedness...
(8) On the regular polling day, the poll clerk shall prepare, at intervals of no less than 30 minutes, using the prescribed form and as directed by the Chief Electoral Officer, a
document permitting the identification of every elector who
during that interval has voted or forfeited his or her right to vote, other than electors who registered on that day and, on request, provide it to a candidate or a candidate's representative or provide it in an
electronic format to a registered party.
During Pillay's tenure, the CCLA challenged the Personal Information Protection and
Electronic Documents Act, fought to end segregation in prisons by challenging the Corrections and Conditional Release Act and demanded more state accountability.
Examples of Instructional Assistant work activities are preparing materials for classes, serving meals and snacks to young students, cleaning tables and whiteboards, setting up
electronic equipment, maintaining records, photocopying
documents, scoring tests, answering to student inquiries, enforcing classroom rules, and supervising children
during recreational activities.
During clinical skills, students will be
documenting using both the paper chart and the
electronic health record.
During these clinical skills, students will be
documenting using both the paper chart and the
electronic health record to be prepared for both opportunities in the health care facility.