How to Make Clear, Quick and Effective Objections
Podcast - A Checklist of Common Objections
It’s a common practice during a deposition for lawyers to assert legal objections to witness testimony but then allow the deposition to proceed. In fact, this practice is broadly encouraged. Depositions are wide-ranging...more
SCPA § 1404 requires that “at least two attesting witnesses must be produced before the court and examined before a written will is admitted to probate.” Very often, litigators think of examinations pursuant to SCPA § 1404 as...more
For those civil practitioners who don’t regularly practice in the Commercial Division – beware. The Unified Court System’s Advisory Committee on Civil Practice (the “Committee”) has proposed that nine (9) Commercial Division...more
This chart provides a quick reference regarding motions and objections that may be made immediately prior to, during, and immediately after trial to preserve issues for appellate review. ...more
Case Number: 1:12-cv-07994-PGG (Dkt. 97) - Lexos Media moved for an order prohibiting speaking objections in further depositions, and for fees and costs associated with a deposition. The court ordered that “speaking...more