Coming today to LitigationWorld: Most litigators are not foolish enough to walk into a deposition unprepared. But you can still end up botching the deposition because you didn't prepare properly. In this issue of LitigationWorld, lawyer and ediscovery blogger Joshua Gilliland provides best practices for both phases of a deposition — how to elicit the information you need during the deposition and how to review and annotate the resulting transcript for maximum benefit. Also, don't miss the LitigationWorld Pick of the Week for an explanation of how courts routinely botch the best evidence rule.
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