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or their attorney's behalf, after the filing of defendants' responses to these interrogatories or <br /> requests, which information is within the scope of any interrogatories or requests set forth herein, <br /> such additional information or supplemental response shall be promptly furnished to the third- <br /> party defendant pursuant to Colo.R.Civ.P. 26(e). <br /> In producing the documents requested herein, defendants shall furnish all documents in <br /> their possession, control or accessible to defendants, or in the possession, control or accessible to <br /> defendants' attorneys, investigators, representatives, agents, employees or anyone acting in their <br /> or their attorney's behalf,unless any document is claimed to be privileged from discovery. <br /> This request for production is continuing. In the event any documents come into <br /> defendants' possession, control or become accessible to defendants, or come into the possession, <br /> control or become accessible to defendants' attorneys, investigators, representatives, agents, <br /> employees or anyone acting in their or their attorney's behalf after the filing of defendants' <br /> responses to these requests for production, which documents are within the scope of any request <br /> for production, said additional documents shall be furnished to the attorneys for the third-parry <br /> defendant promptly pursuant to Colo.R.Civ.P. 26(e). <br /> For each interrogatory, request for production or request for admission to which the <br /> defendants object based on a claim of privilege, the objection should state the basis on which <br /> privilege is claimed, and if the objection is to a request for production, it should identify the <br /> document(s) which are withheld pursuant to the privilege. <br /> 6 <br />