How Taking Effective Depositions Led to a $20 Million Dollar Product Liability Settlement
Participants will Learn the Following:
- What witnesses are critical
- How to prepare for the "key" depositions - goal identification
- How we use the documents during deposition
- How to handle evasive witnesses in the deposition
- How to get the Court's help to handle evasive witnesses
- What are considered wins in a 30(b)(6) deposition
- What are "must haves" in a 30(b)(6) deposition
- Pitfalls and traps to expect from the defense at trial
- Drafting a bullet-proof 30(b)(6) notice
Ben and Charles will help the participants with their cases
Participants are encouraged to email Ben Cloward and Charles Allen at least 14 days before the workshop with details about their cases for the group to discuss
Ben's email:benjamin.cloward@gmail.com
Charles' email:callen@charlesallenlawfirm.com