How to Make Clear, Quick and Effective Objections
Podcast - A Checklist of Common Objections
Depositions are expected in divorce or family law matters. All sorts of witnesses may be deposed. Depositions of the parties themselves are usually expected. Further, the deposition of third-party witnesses or expert...more
If you have been to a deposition, you have heard both improper questions and improper objections. Rarely, however, do court opinions or rules focus on whether counsel’s behavior violated the Rules of Professional Conduct. I...more
SCPA § 1404 requires that “at least two attesting witnesses must be produced before the court and examined before a written will is admitted to probate.” Very often, litigators think of examinations pursuant to SCPA § 1404 as...more
A deposition is one of the most useful discovery tools for trial attorneys. It is the only opportunity, prior to trial itself, where an attorney can question a witness about nearly everything he or she knows regarding the...more
Witness preparation is an accepted practice in the United States. Attorneys are not only expected to prepare witnesses for trials and depositions, but it is their professional responsibility as advocates for their clients to...more
Editor’s Note: Ok, we know, this is waaaay to long for a blog post. But this is just too good not to share! In our continuing effort to avoid re-inventing the wheel, getting the easy stuff down to checklists, and helping...more