Remove Education Remove Exhibits Remove Witnesses
article thumbnail

HOW TO PREPARE YOUR CLIENT FOR THEIR DEPOSITION by Lita Luvera

Plaintiff Trial Lawyer Tips

“By failing to prepare, you are preparing to fail” Benjamin Franklin In our office, my law partner and wife, Lita Barnett Luvera, legal responsibilities included preparing clients and witness for their deposition. The other lawyers relied upon her for the preparation and she was very good at it. This is a recipe for failure.

article thumbnail

Why Depositions Matter More

The Cloud Court Blog

of federal civil matters are resolved at trial[i] Litigators always depose witnesses before a trial – if there is a trial You will almost never depose a witness more than once – so you get one shot to take or defend that deposition well But why do depositions matter more? All because of the strength and weakness of witness testimony.

Insiders

Sign Up for our Newsletter

This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.

article thumbnail

Moneyballing Testimony: A Field Guide to Deposition Gorillas

The Cloud Court Blog

Not only as the taking and defending attorney, but also as a witness and as a client. On the flip side, I’d hear from a dejected corporate witness that thought things had gone horribly awry, only to read the transcript and conclude: “Hey, not so bad!” Or when certain types of exhibits are introduced? Sometimes they were right.

article thumbnail

Mastering Numbers in Legal Writing: A Complete Guide to Style & Formatting

Legal Writing Launch

Example: Eighteen witnesses testified. instead of 18 witnesses testified. versus The plaintiff now seeks to introduce its 21st exhibit. Board of Education , 347 U.S. Always Spell Out Numbers at the Beginning of Sentences: When a sentence starts with a number, spell it out regardless of its size. Example: See B rown v.

130
130
article thumbnail

Mitigating the Effect of Confirmation Bias During Jury Selection and Deliberation

Jury Analyst

We discussed how bias can lead to biased evaluations of evidence and witness testimony and the tendency to favor information that aligns with pre-existing beliefs during jury deliberations. The results can also inform oral voir dire strategies.

article thumbnail

Strategies to Mitigate the Effect of Confirmation Bias During Jury Selection and Deliberation

Jury Analyst

We discussed how bias can lead to biased evaluations of evidence and witness testimony, as well as the tendency to favor information that aligns with preexisting beliefs during jury deliberations. The results can also inform oral voir dire strategies.

article thumbnail

Strategies to Mitigate the Effect of Confirmation Bias During Jury Selection and Deliberation

Jury Analyst

We discussed how bias can lead to biased evaluations of evidence and witness testimony, as well as the tendency to favor information that aligns with preexisting beliefs during jury deliberations. The results can also inform oral voir dire strategies.