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Top 5 Tips: Taking Depositions in a Post-Pandemic World

Attorney at Work

While much of the world stopped last year, depositions didn’t. Cases forged ahead and lawyers scrambled to establish new ways of taking depositions and handling proceedings that, for decades, had been routine. But if you follow these five tips, you’ll be ready to handle any deposition that comes your way in the post-pandemic world.

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How to Prepare for a Deposition in Italy

Optima Juris

When it comes to getting ready for a deposition in Italy, it’s always a good idea to take some steps to ensure that everything goes as smoothly as possible. Whether you’re planning to attend the deposition in person or remotely, you can do a few things to make the process easier and less stressful.

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Why Depositions Matter More

The Cloud Court Blog

“The deposition is the new trial.” – Jim Garrity, 10,000 Depositions Later podcast Jim Garrity, an employment attorney based in Florida, has produced scores of podcasts and published multiple books on the topic of depositions. And today, almost all testimony is in the form of deposition testimony for the reasons cited above.

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Cloud Court Announces Strategic Partnership with Hire Counsel

The Cloud Court Blog

Gibson, our testimony intelligence solution , is an intuitive complement to the litigation process. Mutual clients will enjoy deeper insights into witness testimony, greater continuity throughout the litigation process, and cost savings in large scale matters. Press release

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Felder: Part 1 of 4:  Court-Ordered Transcription of “Meet and Confer” Session

E-Discovery LLC

Next, the undersigned specifically directed the parties to identify a timetable for completion of all discovery, including taking any depositions. ( Regarding depositions, the undersigned cautioned Plaintiff that if she wanted to take any depositions, she was to communicate with the Defendant’s counsel about the same. (

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Is a “Composite” Video Admissible and Can a Police Officer “Narrate” It at Trial? – Part 1 of 2

E-Discovery LLC

These videos were admitted into evidence without objection and were contained in about 30 video exhibits. Importantly, the Court wrote that: “We do not interpret the rule to require a party to include their adversary’s version of the facts in their summary exhibit.” Second, attached as Exhibit 8 is a Digital Video Disc (“DVD”).

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Moneyballing Testimony: A Field Guide to Deposition Gorillas

The Cloud Court Blog

Over the years I’ve attended a lot of depositions. When the deposition is over, the people that were in the room often have a sort of inexplicable, Venn-type diagram of disparate recollections about what actually happened. But now, as my team has continued to study depositions, I've come to suspect that something else is at play here.