Trial Advocacy
- Drafting Interrogatories
- Responding to Interrogatories
- Preparing for Your First Summary Judgement Hearing
- Dealing with Difficult Opposing Counsel Before Trial
- Presenting an effective opening argument
- How to conduct effective voir dire
- Preparing and delivering an effective closing argument to a jury
- Your first motion for summary judgment from the court's perspective
- Trial Witness Preparation
- Preparing a Witness
- Defending Your Deposition Witness
- Checklist for Obtaining Documents from Third Parties
- Identifying and Retaining an Expert Witness
- Taking an Expert Deposition
- Drafting a Complaint
- Arguing Your First Motion
- Tips for Taking an Out-of-State Deposition
- Handling Your First Appeal
- An Overview for Preparing to Take Your First Deposition
- Defending Your First Deposition
- Tasks to Complete After Your First Deposition
- Considerations for Making a Record for Appeal
- Effective Cross-Examination
- Preparing a Fact Witness to take the Stand
- Case Evaluation 101: Developing a Roadmap for Litigation
- Trying the Case: An Appellate Perspective


