After identifying a jurors' biases you can construct your case around their beliefs and what they want to know
best practices for guiding your clients through the storm
with practical advice on what works—and what to avoid
The “old rules” of cross don’t work on professional witnesses
and adapting your line of questioning to take advantage of unexpected responses
30(b)(6): Dealing with Pushback, Objections, & Obstruction - On Demand CLE LMS After identifying a jurors' biasesIts been said that there are as many examples of obstruction as there are lawyers who have taken a deposition. Every plaintiffs lawyer who has taken a deposition has run into the overzealous delay tactics, objections, comments, and threats meant to interfere with your inquiries that defense counsel so often employ. Even simple requests such as, Please tell us what happened, can result in senseless objections. In this 60 minute presentation, Mark