AGREED BUNDLE OF DOCUMENTS. The parties should confer and as far as possible agree upon the relevant documents. As a general rule, they should only include substantive pleadings, expert reports which have been served or are intended to be relied upon and evidentiary documentation, but only if it is critical to an important point or issue in dispute. • The agreed bundle should be emailed to xxxx@xxxxxxxxxxxxxxxxxx.xxx.xx or a hard copy delivered to me at level 13, 000 Xxxxxxxxx Xx Sydney or DX 803 Sydney.
Appears in 2 contracts
Samples: Mediation Agreement, Mediation Agreement
AGREED BUNDLE OF DOCUMENTS. The parties should confer and as far as possible agree upon the relevant documents. As a general rule, they should only include substantive pleadings, expert reports which have been served or are intended to be relied upon and evidentiary documentation, but documentation only if it is critical to an important point or issue in disputedispute (this does not usually include tax returns). • The agreed bundle should be emailed to xxxx@xxxxxxxxxxxxxxxxxx.xxx.xx xxxx_xxxxxxxx@xxxxxxx.xxx or a hard copy delivered to me at level 13xxxxx 00, 000 Xxxxxxxxx Xx Sydney or DX 803 Sydney.
Appears in 1 contract
Samples: Mediation Protocol
AGREED BUNDLE OF DOCUMENTS. The parties should confer and as far as possible agree upon the relevant documents. As a general rule, they should only include substantive pleadings, expert reports which have been served or are intended to be relied upon and evidentiary documentation, but only if it is critical to an important point or issue in dispute. • The agreed bundle should be emailed to xxxx@xxxxxxxxxxxxxxxxxx.xxx.xx xxxx_xxxxxxxx@xxxxxxx.xxx or a hard copy delivered to me at level 13, 000 Xxxxxxxxx Xx Sydney or DX 803 Sydney.
Appears in 1 contract
Samples: Mediation Agreement