Chapter 11: Making Effective Use Of Plaintiff's Deposition

 

Once you have identified the potential weaknesses in a plaintiff’s case, and have armed yourself with some basic discovery, the plaintiff’s deposition should be designed not as a “discovery tool,” but as an opportunity to reinforce known weaknesses and, where possible, supplement the argument for, or perhaps even confirm, your client's innocence. 

Here too, during our years of experience, we have developed a very thorough and comprehensive approach to these depositions.  Although we would love to share the intimate knowledge we have gained by virtue of litigating a vast array of food-borne illness matters, we would rather ask, in this instance, that you simply give us a call. 

For more information, please contact Shawn K. Stevens directly at stevens@gasswebermullins.com.

 

Copyright 2009 by Shawn K. Stevens