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DEPOSITION OUTLINE OF A MEDICAL MALPRACTRICE DEFENSE EXPERT

Plaintiff Trial Lawyer Tips

There are a volume of available ideas and outlines for the discovery deposition of a medical malpractice expert including advice to not take the deposition at all in some circumstances. FULL DETAILS 5 HOW MANY PAST DEPOSITIONS GIVEN? a. HOW TO BE AN EXPERT WITNESS b. MALPRACTICE IN GENERAL 8.

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Non-Testifying Consultant Subject to Discovery Where Testifying Expert Relied on Consultant’s Work

E-Discovery LLC

Plaintiffs did not disclose the identity of the consultant or the work performed; however, it came out in Dr. Singers deposition. Tesla moved to compel the whole ball of wax identity, a deposition, all documents and communications, invoices, etc. 26(a)(2) governs discovery of expert testimony. Fed.R.Civ.P.

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Stop reading depo transcripts! Please welcome Gibson.

The Cloud Court Blog

It’s official: Gibson ™ is our peak Testimony Intelligence solution. It began as a series of reports combined into a dashboard that provided insights about deposition transcripts. We say that it helps you with "Moneyballing" litigation by optimizing every iota of testimony data and performance data to drive better results.

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Jacqueline Schafer on Writing Briefs at the Speed of AI: How ClearBrief is Transforming Legal Drafting

3 Geeks and a Law Blog

And it is your mission, to take this giant jumble of, you know, there, there’s all sorts of different types of documents, there’s emails, there’s, depending on if it’s a real estate case, lease agreements, there might be transcripts, depositions, expert testimony, and you have to weave it together into something coherent, and credible.

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