See Credit Details Below
Overview
Why You Should Attend
Whether you’ve done one deposition or one hundred, you need to be prepared to handle the special situations that arise and know how to identify and exploit the opportunities that exist. This program covers a range of topics and scenarios that can challenge even the most seasoned litigators. Our faculty of experienced litigators and deposition experts will outline proven solutions to some of this craft’s thorniest challenges.
Come learn why attendees rated this course “the best CLE presentation I have seen” and “one of the best seminars I have attended.” Attendees praised the “seasoned, experienced attorneys” and raved that the seminar “contained practical and specific information that will be helpful in preparing depositions in the future.”
What You Will Learn
• Preparing (and not over-preparing) your witness
• Practical advice about dealing with the difficult deposition witness – whether that witness is yours or your adversary’s
• Constructive advice about dealing with difficult opposing counsel
• Seeking (or resisting) the deposition of Chief Executive Officer – implications of Apex
• Tactical use of Rule 30(b)(6) depositions
• Best practice tips for navigating remote depositions
Special Features
Earn up to 3.5 transitional Skills credits.
Who Should Attend
Litigators and in-house counsel of every level of experience will find this program valuable.
Lecture Topics [Total time 00:03:15]
Segments with an asterisk (*) are available only with the purchase of the entire program.
- Opening Remarks* [00:09:12]
Jennifer Hurley McGay - VIP Depositions and Rule 30(b)(6) Depositions [01:33:19]
Susan F. DiCicco, Rosemary Halligan, Jennifer Hurley McGay, Brian A. Katz - Specialized Deposition Skills [01:31:12]
Jennifer Hurley McGay, Brian A. Katz, Susan F. DiCicco, Rosemary Halligan
The purchase price of this Web Program includes the following articles from the Course Handbook available online:
- Complete Course Handbook
- Specialized Deposition Techniques 2021 (Substantive Outline) (March 24, 2021)
Jennifer Hurley McGay,Susan F. DiCicco,Rosemary Halligan,Brian A. Katz - Susan F. DiCicco and Stephen Scotch-Marmo, Consider Hearsay Issues Before a Rule 30(b)(6) Deposition (August 14, 2014)
Susan F. DiCicco
Whether you’ve done one deposition or one hundred, you need to be prepared to handle the special situations that arise and know how to identify and exploit the opportunities that exist. This program covers a range of topics and scenarios that can challenge even the most seasoned litigators. Our faculty of experienced litigators and deposition experts will outline proven solutions to some of this craft’s thorniest challenges.
Come learn why attendees rated this course “the best CLE presentation I have seen” and “one of the best seminars I have attended.” Attendees praised the “seasoned, experienced attorneys” and raved that the seminar “contained practical and specific information that will be helpful in preparing depositions in the future.”
What You Will Learn
• Preparing (and not over-preparing) your witness
• Practical advice about dealing with the difficult deposition witness – whether that witness is yours or your adversary’s
• Constructive advice about dealing with difficult opposing counsel
• Seeking (or resisting) the deposition of Chief Executive Officer – implications of Apex
• Tactical use of Rule 30(b)(6) depositions
• Best practice tips for navigating remote depositions
Special Features
Earn up to 3.5 transitional Skills credits.