A Practice Note explaining how to properly draft subpoenas and certain related discovery documents for use in Georgia civil litigation in a superior or state court. This Note outlines the key points to consider when drafting a subpoena for trial or hearing, a subpoena for the production of evidence at trial or hearing, a subpoena for deposition, a subpoena for the production of evidence at deposition, and a request for production of documents from a nonparty without deposition.