Fifth Circuit Holds Lawyer Could Be Sanctioned Under 28 U.S.C. § 1927 For “Irrelevant Lines of Questioning” in Depositions

In Vaughan v. Lewisville Independent School Dist., No. 22-40057 (5th Cir. Mar. 9, 2023), the Fifth Circuit held that a plaintiff’s lawyer who asked four deponents about subject areas far afield of the dispute could be personally monetarily sanctioned for “unreasonable” and “vexatious” multipliction of the proceedings under 28 U.S.C. § 1927. “Frank Vaughan filedContinue reading “Fifth Circuit Holds Lawyer Could Be Sanctioned Under 28 U.S.C. § 1927 For “Irrelevant Lines of Questioning” in Depositions”