Defending Depositions | 12 Tips and Tricks

Defending a deposition is important because it requires you to protect your client's testimony and your client's case. So in this lesson, we cover 12 tips and tricks to bulletproofing your client's upcoming deposition!
Check out the FREE Course on depositions!
lawventure.com/courses/
_____________________________________________________________________
TRIAL AD ACADEMY 🔥🔥
bit.ly/2svSR2h
This is an online course that will take you step-by-step through all of the stages of trial and will arm you with the tools needed to thrive under the pressure!
_____________________________________________________________________
** FREE Cheat sheet: 21 Trial Objection + BONUS: bit.ly/2ufpAXw
⭐⭐ The Objection Cheat Sheet has over 3,000 downloads! ⭐⭐
** FREE Mini E-book: 10-Step Formula for the Perfect Opening Statement: bit.ly/2uUCQ3X
If you have any questions, then please don't hesitate to ask! Be sure to subscribe and you can follow me at:
Law Venture: lawventure.com
Instagram: bit.ly/2Mz3neS
Twitter: bit.ly/2JKIBew
Facebook: bit.ly/2HU6L0o
Personal Website: JarrettStone.com
_____________________________________________________________________
Now the boring stuff:
This is not legal advice. This content and all of Law Venture's content is for informational purposes only. You should contact your attorney to obtain legal advice with respect to any particular issue or problem. Nothing here should be construed to form an attorney-client relationship of any kind.
Full disclaimer: bit.ly/2JjVjQT

Пікірлер: 14

  • @LawVenture
    @LawVenture2 жыл бұрын

    Here's the free deposition course: lawventure.com/courses/how-to-win-a-deposition/

  • @yeslegalofsandiegol.c.7160
    @yeslegalofsandiegol.c.7160 Жыл бұрын

    Just found your content and appreciate the time you are taking here. Thanks

  • @princessbearpoker
    @princessbearpoker4 ай бұрын

    So very glad I ventured over to your Channel! ❤

  • @angelop3203
    @angelop32033 ай бұрын

    Thanks

  • @tonycamaj4560
    @tonycamaj45608 ай бұрын

    Nice channel. Going through a custody battle/dissolution, any channel recommendations or other sources you may have? Thanks.

  • @truman368
    @truman3689 ай бұрын

    watching this before we do depositions in class with real court reporters

  • @Adehead
    @Adehead10 ай бұрын

    Im pro se may i object to questions? Do I need to answer if I have objected to a question?

  • @chrissyvine2159

    @chrissyvine2159

    9 ай бұрын

    Actually it's better to object via form because you don't want to give your opponent your strategy, instead say objection, form, this way you don't let the opponent know why you're objecting and you can explain later on why you objected as it's not important now and also you still have to answer the questions no matter how you object, only privilege you're not obligated to answer.

  • @briandtnguyen
    @briandtnguyen2 жыл бұрын

    What’s up Jarrett. Great video. Is filling out the notice of errata sheet for the depo transcript only a good idea for the stenographer’s mistakes? What if the client just got an answer wrong and wants to correct her answers? Had a depo recently for a personal injury case and opposing counsel was asking super detailed questions about treatment dates and treatment techniques and the whole time im thinking, “you already have these records counsel.” During one point, opposing counsel asked about her medical treatment for a previous car accident (preexisting injuries) and my the medical report showed that she only treated for a week (my client even reviewed this report prior to the depo) but my client - because of mental fatigue or not understanding the question - said that she treated that prior injury for a month. At the end of the depo, I made a judgment call to not ask any questions myself and instead instructed my client to write on the errata sheet, “I treated the 2018 injury for a week. My reason for changing my answer is that I realized that I remembered incorrectly after reviewing the medical report.” Curious to know what you would have done in that kind of situation.

  • @LawVenture

    @LawVenture

    2 жыл бұрын

    If I was in that situation, I probably would have left everything alone because I don't see the 1 week vs. one month being a major issue. I'm assuming that you don't think it's a big deal either since you didn't try to clarify at the deposition. I also think it's reasonable to assume that every witness will have some degree of memory loss so your client's confusion shouldn't discredit the client as a whole. At the end of the day, the records show what the records show. At trial, you could head off the issue by using the records to refresh your client's recollection and give your client the opportunity to explain the deposition confusion before the other side even has a chance to cross on it. This is why I try to coach my clients to defer to records and notes. For example, one defense tactic is asking the client to identify all diagnosis and injuries. Obviously, the client doesn't know all of the technical details so by referring to the records and then saying something along the lines of "I'm not a doctor, but based on my understanding..." That should help prevent the defense from trying to limit the scope of injuries to what the client testified to. Anyways, heading the issue off at trial is probably what you should do even if you used the errata sheet, which is why I wouldn't have bothered with the errata sheet.

  • @briandtnguyen

    @briandtnguyen

    2 жыл бұрын

    @@LawVenture thank you counsel. Good luck with all your cases. I hear that Texas is a tough jurisdiction for personal injury. Correct me if I’m wrong, but I heard that in Texas, there are all sorts of artificial barriers and obstructions for insurance bad faith litigation for plaintiffs’ lawyers. I can’t imagine that being too much fun. Haha

  • @LawVenture

    @LawVenture

    2 жыл бұрын

    @Brian Nguyen It's BRUTAL! Haha

  • @briandtnguyen

    @briandtnguyen

    2 жыл бұрын

    @@LawVenture you’re probably a better lawyer for it. If you ever open an office in CA, let me know and we can co-counsel on some cases and use the threat of insurance bad faith to get some huge verdicts for our PI clients.

  • @user-he2ph9qj2d
    @user-he2ph9qj2d2 ай бұрын

    I don't want to submit to a deposition--- would rather make a statement and remain silent to counter fivilious accusations.