UTBMS Litigation Code Set Revised 2007

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UTBMS Litigation Code Set Revised 2007 The American Bar Association (ABA) and the Association of Corporate Counsel (ACC) facilitated the creation of a series of task based code sets to cover the major classification of legal services, including a specific UTBMS Litigation Task Code Set in 1995. Neither association officially endorsed or took ownership as such for the code sets. No umbrella management/professional development organization was created. UTBMS is digital based making it ideal for e-billing. It has become synonymous with LEDES supported e-billing applications. Insurance defense litigation has emerged as the dominant user of with task based billing systems. Insurers and insurance defense firms, although supportive of its methodology, had criticisms about task gaps in code phases and ambiguity in the wording of existing tasks. A core group of stakeholders in insurance defense representative of insurers and insurance defense firms created an ad hoc UTBMS Insurance Update Initiative. A survey was conducted among insurers. A series of qualitative teleconference interviews were held with a select group of insurance defense lawyers representative of major insurer panel firms during the fall of 2005. A symposium was held in January, 2006. A series of meetings was convened. Unanimous consensus was reached on the following: Resolution We do not intend to re-invent UTBMS. We wish to enhance the current system to better respond to litigation management needs. We have identified these opportunities to do so. 1. Practice Specific Codes. We are not interested in designing multiple code sets, simply to address nuances of various legal specialties. The litigation community is best served by one agreed upon code that is modified to reflect current needs. 2. Litigation Codes. The current litigation phases and tasks have been unilaterally modified by users to support their litigation management guidelines and to improve budgeting capabilities. We will adopt a lessons learned approach and develop one improved code set that supports uniformity in use and application. 3. Clarification. We will identify opportunities for consistent application and definition of existing tasks and additions of new tasks that demonstrate added value. We are not seeking a single correct way to apply or interpret the codes. Rather, we can understand the variant uses of each task and will develop a set of definitions and instructions to support each variant. 4. Education - There is a need to establish a set of tools to inform and educate law firm timekeepers, billing administrators and clients in the practical use of UTBMS. We will design a set of informational tools to educate UTBMS users. 1

UTBMS Litigation Code Set Update Initiative UTBMS Litigation Code Set Revised 2007 Ad Hoc Committee Members MARK PUCCIO Co- Chair BOB PEAHL Co -Chair JOHN G. KELLY Co - Facilitator BOB MULLEN Co - Facilitator ALEX JIVAN TIM PITKA DAN MCLAUGHLIN ROBERT FORD TONY CAMPO ARLENE ZALAYET KATT DAVIDSON TERESA STANGE IRENA DJUKIC ROB MINTZ MICHAEL AYLWARD ED MORRIS BOB GRAVES MICHAEL TOOMEY MARYANN WRIGHT BRUCE SIMBERG PAUL TENAGLIO PETE MILLER Tom Minnick John McGann Michael Boutot Patrick Greiten Peter Hitson George Woolverton ZURICH AIG LITIGATION MANAGEMENT REPORT ALLEGIENT SYSTEMS BOTTOMLINE TECHNOLOGIES FARMERS WILSON ELSER WILSON ELSER LEWIS BRISBOIS BOYLE MORRISSEY LIBERTY UTICA NATIONAL FOWLER WHITE BOGGS BANKER CNA INSURANCE WALLACE SAUNDERS MORRISON MAHONEY FARMERS CHUBB CLAUSEN MILLER CONROY SIMBERG CONROY SIMBERG MARSHALL DENNEHEY MARSHALL DENNEHEY CNA INSURANCE ONE BEACON ESQUIRE THE HARTFORD THE HARTFORD Stockwell, Harris, Woolverton, Meuhl 2

UTBMS Litigation Code Set Revised 2007 (L100 s) Case Assessment, Development and Administration L110 Fact Investigation/Development All actions to investigate, understand the facts of matter Interview of client personnel/potential witnesses Review of documents Work with an investigator Legal research for initial case assessment purposes Communication for Fact Investigation L120 Analysis/Strategy Thinking, Strategizing, and Planning for a case Discussions/Writings/Meetings on case strategy Preparation/ of Litigation Plan Communication on case strategy L130 Experts/Consultants. Research-Interviewing Working with Experts/Consultants Developing Expert/Consultant Reports Communication with Expert/Consultants L140 Document/File Management. File organization/administration for database construction/management L150 Budgeting Develop/Edit/Correspondence for Budget L160 Settlement/Non Binding ADR- Activities directed specifically to settlement. Planning/Participation in Settlement Discussions Conferences Implement Settlement Pursuing Mediation Travel to/from Mediation Attend Mediation Pre-litigation Demand Letters Research Settlement Communication regarding Settlement/Mediation/ADR 3

(L200 s)pre-trial Pleadings and Motions Covers all pleadings and pretrial motions and procedures other than Discovery L210 Pleadings Drafting/Editing Pleading Reviewing/Answering Complaints Counter-claims and third party complaints Motions to dismiss/strike Jurisdictional motions Research for Pleadings L220 Preliminary Injunctions/Provisional Remedies Developing/Discussing strategy for remedies Preparing motions/affidavits/briefs Reviewing opponent s papers Preparing for court hearing Travel to and from court hearings Attending court hearing Preparing witnesses for the hearing Effectuating the remedy Research for Preliminary Injunctions/ Provisional Remedies L230 Court Mandated Conferences. Preparing for hearing required by court order or procedural rules Travel to/from Court Ordered Conferences Attending hearing required by court order or procedural rules L240 Dispositive Motions Develop strategy Legal Research for Dispositive Motions Motions for complete or partial summary judgment Prepare Affidavits Reviewing opponent s pleadings Defensive motions Preparing for/attending hearing Travel to and from hearing L250 Other Written Motions/Submissions. Developing all motions other than dispositive, pleadings, and discovery Responding to all motions other than dispositive, pleadings, and discovery Arguing all motions other than dispositive, pleadings, and discovery Research for Other Written Motions/Submissions L260 Class Action Certification and Notice Proceedings unique to class action litigation and derivative suits such as class certification and notice. 4

(L300 s)discovery L310 Written Discovery /Interrogatories Developing/Responding/Objecting to Interrogatories Request to admit Summarize Interrogatories/admissions received L320 Document Production Developing, responding, objecting to, and negotiating document request. Identifying/Reviewing documents for production Identifying/Reviewing documents for privilege Prepare/Draft Request to Produce Prepare/Draft response for Request to Produce Prepare/Draft Notice of NNP (Notice of Non-Party Production) Prepare/Draft Subpoena/Authorizations Obtain non-subpoenaed documents (ie. tax returns, work comp, disability, court files) Review/Summarize Subpoenaed Documents L330 Depositions Preparing Deposition notices and subpoenas Communicating with opposing/other party s counsel on scheduling and logistics Planning and preparing to take the deposition Discussing deposition strategy Preparing witnesses Reviewing documents for deposition preparation Attending depositions Travel to and from Drafting deposition summaries L340 Expert Discovery Preparing expert discovery notices Communicating with expert discovery on scheduling and logistics Discussing expert strategy Preparation and consultation with expert Reviewing Expert documents/records and/or films review Drafting expert summaries Independent Medical Examination (IME) L350 Discovery Motions Developing/Responding to/arguing motions that arise from discovery Protective Order Process L360 Discovery On-Site Inspections Travel To & From Site Inspections Attend Site Inspection 5

(L400 s)trial Preparation and Trial L410 Fact Witnesses. Preparing for examination of non-expert witness Preparing for cross-examination on non-expert witness L420 Expert Witnesses. Preparing for examination of expert witness Preparing for cross examination of expert witness L430 Written Motions/Submissions. Developing written motions during prep for trial/ and trial Preparing for Motions in Limine Preparing/Reviewing Jury Instructions Responding to written motions during prep for trial/ and trial Arguing written motions during prep for trial/ and trial Developing/Reviewing written pre-trial/trial filings Witness lists/ Proposed findings of fact/conclusions of law Trial briefs L440 Trial Preparation and Support. Preparing for trial Preparing Opening/Closing Arguments Establishing off-site support office Identifying documents/evidence for use at trial Preparing demonstrative materials and exhibits Deposition abstracts/indexing/summarization Mock Trials/Focus Groups/Jury Research Travel to/ from Trial Preparation L450 Trial and Hearing Attendance. Appearing at trial Appearing at trial related hearings Appearing at court-mandated conferences Travel to & from Trial & Hearing Communication regarding trial progression L460 Post-Trial Motions/Submissions. Developing/Responding/Arguing post-verdict matters Research Post Trial Motions and Submissions Travel to/from L470 Enforcement Enforcing judgments Collecting judgments Filings for stay pending appeal 6

(L500 s)appeal L510 Appellate Proceedings/Motions Practice Research Appellate Issues Prepare/review motions/other filings Draft Response to motions/other filings Arguing motions/other filings Attend Motion Hearing Travel to and from Motion Hearing Prepare Notice of Appeal Designating Appellate Record Extraordinary Writs/Appellate Proceedings Review responses to Appellate Petition Prepare responses to Appellate Petition Prepare Petition Appendix L520 Appellate Briefs. Research appellate brief Preparing appellate brief Reviewing opposing party appellate brief Review Record L530 Oral Argument. Preparing for Oral Argument Arguing an appeal Travel to and from Appeals Communication with Client/Opposing counsel/co-counsel Prepare Appellate Record 7

ACTIVITY CODES A100 ACTIVITIES A101 Plan and prepare for A102 Research A103 Draft/Revise A104 Review/Analyze A105 Communicate (in firm) A106 Communicate (with client) A107 Communicate (other outside counsel) A108 Communicate (other external) A109 Appear for/attend A110 Manage data/files A111 Other A112 Travel EXPENSE CODES E100 EXPENSES E101 Copying E102 Outside Printing E103 Word Processing E104 Facsimile E105 Telephone E106 On Line Research E107 Delivery Services/Messengers E108 Postage E109 Local Travel E110 Out of Town Travel E111 Meals E112 Court Fees E113 Subpoena Fees E114 Witness Fees E115 Deposition Transcripts E116 Trial Transcripts E117 Trial Exhibits E118 Litigation Support Vendors E119 Experts E120 Private Investigators E121 Arbitrators/Mediators E122 Local Counsel E123 Other Professionals E124 Other 8