Business and Finance Articles
1581:
When an Expert Witness Cannot Mount an Offensive during Trial Testimony, the Best Tactic is a Strong Defense
More than just general guidelines, I suggest particular explanations and advice for professional responses to lawyer questions during trial testimony. I also suggest particular examples of some common situations that can occur.
1582:
How Attorneys Use 'Learned Treatises' to Uncover Contradictions during Expert Testimony
Discover the destructive effects of testimonial contradictions. No, it’s not just about saying two conflicting things during one testimonial outing. An attorney can quote something you said or wrote in a book, an short article, even a speech. Discover here about what possibilities exist for attorneys finding contradictions between your testimony and your previous statements.
1583:
What are the Most Common Attacks on an Expert Witness during Cross Examination?
Figure out here about the nature of attorney attacks on your qualifications, your credentials, and your credibility. There are often weaknesses somewhere in your years of expertise. discover about the possibilities that may be exploited during testimonial questioning so you can most effectively prepare explanations where necessary.
1584:
How Does a Thorough Attorney Prepare for Cross Examination Attacks on Expert Witnesses?
Martial artists are advised how to attack and defend. As an expert witness, you are not allowed to verbally attack a questioning attorney, so your best defense is knowing the how’s, when’s, what’s and why’s of their verbal attacks on you. Those ‘attacks’ on you are not always obvious, but they bear understanding and preparation. Read on to discover how to recognize them and how to deal with them.
1585:
How to Best Use Demonstrative Exhibits During Trial Testimony
It’s one thing to decide what to prepare for use as a demonstrative exhibit during trial testimony. It’s another thing, and the subject of this short article, to know how to effectively use those exhibits to enhance your presentation and help to make the points you want with the jurors, in support of your opinions.
1586:
My Favorite 'Words to the Wise' for Wonderful Witness Relations with Jurors
You don’t give expert witness testimony in a vacuum. You want and need the jury to initial understand and then agree with what you have to say. Here are my most practical suggestions for behavior, strategy, and verbiage for getting the jury to accept, believe, and rely on what you are saying.
1587:
Connecting With the Jury as an Expert Witness
Most of us want to win games that we play. As an expert witness, there are psychological as well as physical and mental games you can play to help you win approval from the jury and achievement with your opinion presentations. Read here to learn what those are.
1588:
General and Particular Techniques for Answering Questions during Trial Testimony
If you were a juror, what would you expect and want from an expert witness giving testimony for you? This article gives my best experiential guidance on how to talk to a jury in ways that you might want to hear and that they surely should get from you.
1589:
Comprehending the Main Phases of Trial Testimony
Learn the key portions of a trial. Distinguish between voir dire, direct examination, cross examination, and the occasional additional phase known as re-direct examination.
1590:
Some Things to Think About in the Final Days Before Trial Testimony
This short article presents a set of very particular suggestions for the last days preceding your trial testimony as an expert witness. Additionally, it offers advice on airline travel, clothing factors, and pre-trial discussions with your retaining attorney.
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