A proactive approach to the plaintiff’s deposition Take advantage of the plaintiff’s deposition to showcase the humanity of your client – so the defense sees it, too Alexis Gamliel From Issue: 2019 October
Preparing your client to give a deposition that helps your case Deposition is the opportunity for the client to “market” his case to the defense Gary RothEric Scott Ritigstein From Issue: 2014 October
Videotape depositions: Take one! One picture is worth a thousand words: A new view on depositions Jeffrey Huron From Issue: 2008 September
The treating doctor’s deposition Why you should video record the depo, how to get it done and get it admitted Daniel DeSantis From Issue: 2022 May
The Know Nothing Party Taking depositions of the “persons most knowledgeable” Miles B. Cooper From Issue: 2020 February
Preparing the plaintiff to be deposed in the automobile case The defense basically asks the same old innocent sounding questions. Beware the traps Steven P. Goldberg From Issue: 2014 May
Dressing your client for success at deposition and trial “You never get a second chance to make a first impression” Debra Bogaards From Issue: 2017 January
Witness communication: Give yourself and your client an edge at depo and trial Show your witness how she will look and sound to a jury David Illig From Issue: 2009 March
The plaintiff’s deposition in medical malpractice Your plaintiff needs to be prepared for questions related to three common defenses Shirley Watkins From Issue: 2011 April
She who prepares, wins Here are several suggestions when and how to prepare for your next deposition to put you in the best position for either settlement or trial Karen StromeyerWilliam Veen From Issue: 2009 May
Portions of this trial were previously recorded Using video depositions at trial Miles B. Cooper From Issue: 2015 March