Rule 45 Notice to Counsel

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I don't have any experience with this issue.
You first have to give notice to the other party that you're going to
subpoena WF, wait 7 days, then subpoena WF and give it 30 days to comply.
Given that there is essentially 37 days there, that seems reasonable to me.
My style would be to immediately notify the opposing party via email that I
intend to subpoena WF, then once the subpoena is ready, send opposing
counsel a written, 7 day notice. This way, it feels like more than 7 days
notice even though technically it's only 7 days.
Sincerely,
*Michael Avanesian, Esq. *
Avanesian Law firm
101 N. Brand Blvd, PH 1920
Glendale, CA 91203
Office: 818.276.2477
Fax: 818.208.4550
On Mon, Jan 19, 2015 at 7:01 PM, 'Gerald McNally' gm@mcesq.com [cdcbaa] wrote:
>
>
> I am preparing a third-party subpoena to Wells Fargo Bank, but FRCP Rule
> 45(a)(4) requires notice to all the parties. But it doesnt say how much
> notice. Does anyone have experience with this issue? Is 7 days notice
> reasonable?
>
>
>
> Gerry
>
>
>
> [image: McNally Bus Card Smaller]
>
>
>
> Gerald McNally
>
> McNally & Associates, P.C.
>
> 517 East Wilson Ave., Ste 104
>
> Glendale, CA 91206
>
> 818.507.5100
>
> Fax: 818.507.5001
>
>
>
> Notice to Recipient: This email is meant for only the intended recipient
> of the transmission and may be a communication privileged by law. If you
> received this email in error, and review, use, dissemination, distribution
> or copying of this email is strictly prohibited. Please notify us
> immediately of the error by return email and please delete this message and
> any and all duplicates of this message from your system. Thank you in
> advance for your cooperation.
>
>
>
> *IRS Circular 230 Disclosure: In order to comply with the requirements
> imposed by the Internal Revenue Service, we inform you that any U.S. tax
> advice contained in this communication (including any attachments) is not
> intended to be used, and cannot be used, for the purpose of (i) avoiding
> penalties under the Internal Revenue code or (ii) promoting, marketing or
> recommending to another party any transaction or matter addressed herein.*
>
>
>
>
>
I don't have any experience with this issue.ty that you're going to subpoena WF, wait 7 days, then subpoena WF and give it 30 days to comply. Given that there is essentially 37 days there, that seems reasonable to me.My style would be to immediately notify the opposing party via email that I intend to subpoena WF, then once the subpoena is ready, send opposing counsel a written, 7 day notice. This way, it feels like more than 7 days notice even though technically it's only 7 days.Sincerely,Michael Avanesian, Esq.Avanesian Law firm101 N. Brand Blvd,PH 1920Glendale, CA 91203Office: 818.276.2477Fax: 818.208.4550
On Mon, Jan 19, 2015 at 7:01 PM, 'Gerald McNally' gm@mcesq.com [cdcbaa] <cdcbaa@yahoogroups.com> wrote:
I am preparing a third-party subpoena to Wells Fargo Bank, but FRCP Rule 45(a)(4) requires notice to all the parties. But it doesnt say how much notice. Does anyone have experience with this issue? Is 7 days notice reasonable?GerryGerald McNallyMcNally & Associates, P.C.517 East Wilson Ave., Ste 104Glendale, CA 91206818.507.5100Fax: 818.507.5001Notice to Recipient: This email is meant for only the intended recipient of the transmission and may be a communication privileged by law. If you received this email in error, and review, use, dissemination, distribution or copying of this email is strictly prohibited. Please notify us immediately of the error by return email and please delete this message and any and all duplicates of this message from your system. Thank you in advance for your cooperation.IRS Circular 230 Disclosure: In order to comply with the requirements imposed by the Internal Revenue Service, we inform you that any U.S. tax advice contained in this communication (including any attachments) is not intended to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.
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Yahoo Bot
Posts: 22904
Joined: Sun Oct 18, 2020 11:38 pm


I am preparing a third-party subpoena to Wells Fargo Bank, but FRCP Rule
45(a)(4) requires notice to all the parties. But it doesn't say how much
notice. Does anyone have experience with this issue? Is 7 days notice
reasonable?
Gerry
Gerald McNally
McNally & Associates, P.C.
517 East Wilson Ave., Ste 104
Glendale, CA 91206
818.507.5100
Fax: 818.507.5001
Notice to Recipient: This email is meant for only the intended recipient of
the transmission and may be a communication privileged by law. If you
received this email in error, and review, use, dissemination, distribution
or copying of this email is strictly prohibited. Please notify us
immediately of the error by return email and please delete this message and
any and all duplicates of this message from your system. Thank you in
advance for your cooperation.
IRS Circular 230 Disclosure: In order to comply with the requirements
imposed by the Internal Revenue Service, we inform you that any U.S. tax
advice contained in this communication (including any attachments) is not
intended to be used, and cannot be used, for the purpose of (i) avoiding
penalties under the Internal Revenue code or (ii) promoting, marketing or
recommending to another party any transaction or matter addressed herein.

The post was migrated from Yahoo.
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