The experienced litigator knows that the examination before trial of both the adverse witness and his or her own client can make or break the case in court. The experienced litigator knows not to depose a witness merely to learn what that witness has to say, but seize upon that opportunity to prepare for and use what that witness will say at trial to his or her advantage.
Table of Contents | Available after Purchase |
Front Pages | Available after Purchase |
Purpose of an EBT - Richard Engelberg | Available after Purchase |
Preparation - Yours - Patricia Ciccarelli | Available after Purchase |
Preparation - Yours - Christopher McGrath | Available after Purchase |
Preparation of the Witness - Thomas Cunningham | Available after Purchase |
Objections-Friend of Foe - Emilio Grillo | Available after Purchase |
Conducting the Deposiiton - Jeffrey Anderson | Available after Purchase |
Conducting the Depoition - James LiCalzi | Available after Purchase |
Defending the Deposition - Robert Modica - Eugene Sarfoh - John Comerford | Available after Purchase |
Demonstration of an examination Before Trial - Robert Doyle - Seth Weinberg - Kelly Philips | Available after Purchase |
Demonstration of a Defendant's EBT - Craig Small | Available after Purchase |
After the Examination Before Trial - Christopher Guetti | Available after Purchase |
After the Examination Before Trial - Craig Small | Available after Purchase |
Appendix - Jeffrey Present | Available after Purchase |