| Ethics in Context: Summer 2012 TOC |
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| Chapter 1: New York Rules of Professional Conduct |
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| Chapter 2: The Legal Profession and Conflicts: Ain't No Mountain High Enough? |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 3: In-House Counsel As Whistleblower: A Rat with a Remedy? |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 4: Documents and Lawyers: Oil and Water? |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 5: With Apologies to the Jackson Five: One Bad Apple Can Spoil the Whole Bunch! |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 6: Caveat Corporate Litigator: The First Circuit Sets Back the Attorney Work Product Doctrine |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 7: Thus Spake Zarathustra (And Other Cautionary Tales for Lawyers) |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 8: Just When Lawyers Thought It Was Safe to Go Back Into the Water |
C. Evan Stewart ~ Zuckerman Spaeder LLP
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| Chapter 9: Ethics and Issues Relating to Attorney Work Product and Federal Rule of Evidence 502 |
David S. Versfelt ~ K&L Gates LLP
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| Chapter 10: Appendix |
David S. Versfelt ~ K&L Gates LLP
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| Chapter 11: Ethics and In-House Corporate Counsel |
Carole L. Basri ~ Adjunct Professor, University of Pennsylvania Law School, Corporate Lawyering Group, LLC
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| Chapter 12: The Ethical Difficulties of Court-Ordered Inspections of Social Networking Accounts |
Stephen D. Brody ~ O'Melveny & Myers LLP
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| Chapter 13: Model Rule for the Lawyer As Third-Party Neutral |
Helena Tavares Erickson ~ Senior Vice President, International Institute for Conflict Prevention & Resolution
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| Chapter 14: Conflicts of Interest, What Are They, and Must They All Be Disclosed? |
Robert B. Davidson ~ Arbitrator, Mediator, and Executive Director, JAMS Arbitration Practice
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| Chapter 15: The Attorney-Client Privilege and Internal Investigations: Privilege Issues in Structuring an Investigation and Interviewing Witnesses |
Mary Beth Hogan ~ Debevoise & Plimpton
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 16: "The Perils and Possibilities of the Joint Defense Agreement" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 17: "Disclosure of Internal Corporate Deliberations" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 18: "Attorney-Client Privilege and Issues for Corporate Counsel" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 19: "Investigations Foreign and Domestic: Choice-Of-Law and Discovery" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 20: "Dealing with Former Employees in Internal Investigations" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 21: "Privacy in the Workplace: An Oxymoron?" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 22: "Attorney Consultation in Presence of Spouse: Preserving Privilege" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 23: "Should Corporations Self-Report Wrongdoing?" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 24: "Whistleblower Reforms in Dodd-Frank Act" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 25: "The Origins of 'Upjohn' Warnings" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 26: "Preserving Privilege Over Internal Investigations in Derivative Litigation" |
Andrew J. Ceresney ~ Co-Director, Division of Enforcement, U.S. Securities and Exchange Commission
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| Chapter 27: Index to Ethics in Context: Summer 2012 |
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