Some of the thorniest issues in pretrial discovery arise in connection with claims of attorney-client privilege for documentary evidence. The matter becomes further complicated when the documents at issue involve a corporate client. In this context, the recent decision of the Supreme Court, Monroe County, in Charter One Bank, F.S.B. v. Midtown Rochester, L.L.C.[1]� addresses issues of first impression under New York law as to both the scope of the corporate privilege and its potential waiver.
The ‘Charter One’ Case
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