Trial Guides – Using 30(b)(6) to Win Your Case

Question and Answer

What is Designee | Cross Examination | Expert WitnessesFaculty:Mr.?

Designee | Cross Examination | Expert WitnessesFaculty:Mr. is Archive: Category:Corporate.

How does Designee | Cross Examination | Expert WitnessesFaculty:Mr. Archive: Category:Corporate?

Archive: Category:Corporate Designee | Cross Examination | Expert WitnessesFaculty:Mr.

What is Mark Kosieradzki Esq.,?

Mark Kosieradzki Esq., is J.D., Esq.Duration:103 minutesFormat:Audio and Video Description Would you like a powerful tool in your cases against corporations, organizations, or governmental entities?.

How does Mark Kosieradzki Esq., like?

Mark Kosieradzki Esq., J.D., Esq.Duration:103 minutesFormat:Audio and Video Description Would you like a powerful tool in your cases against corporations, organizations, or governmental entities?

What is this video,?

this video, is In the nation’s leading author on 30(b)(6) depositions, Mark Kosieradzki, teaches you how to use these depositions to win your case..

How does this video, teaches?

In this video, the nation’s leading author on 30(b)(6) depositions, Mark Kosieradzki, teaches you how to use these depositions to win your case.

What is under two hours,?

under two hours, is In Kosieradzki introduces and expands upon the following key topics: When you can use 30(b)(6) Notice for the 30(b)(6) Using 30(b)(6) depositions against nonparties Using 30(b)(6) depositions to disprove the defendant’s claims and defenses Using 30(b)(6) depositions to prove spoliation 30(b)(2) document depositions Dealing with objections and refusals to answer Dealing with the 30(b)(6) deponent who knows nothing Why being the “most knowledgeable” isn’t enough for a 30(b)(6) deponent Sanctions for canceling a 30(b)(6) deposition This is not a dull lecture on civil procedure. This is how David takes on Goliath. This presentation will transform even a veteran trial Business and Salesyer’s practice..

How does under two hours, introduces?

In under two hours, Kosieradzki introduces and expands upon the following key topics: When you can use 30(b)(6) Notice for the 30(b)(6) Using 30(b)(6) depositions against nonparties Using 30(b)(6) depositions to disprove the defendant’s claims and defenses Using 30(b)(6) depositions to prove spoliation 30(b)(2) document depositions Dealing with objections and refusals to answer Dealing with the 30(b)(6) deponent who knows nothing Why being the “most knowledgeable” isn’t enough for a 30(b)(6) deponent Sanctions for canceling a 30(b)(6) deposition This is not a dull lecture on civil procedure. This is how David takes on Goliath. This presentation will transform even a veteran trial Business and Salesyer’s practice.

What is you?

you is Never again will allow a corporate designee to claim they “don’t know anything,” or sit helplessly during your opposing counsel’s endless objections, obstruction, and deposition cancellations..

How does you again will?

Never again will you allow a corporate designee to claim they “don’t know anything,” or sit helplessly during your opposing counsel’s endless objections, obstruction, and deposition cancellations.

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