10,000 Depositions Later Podcast
From Jim Garrity, the country’s leading deposition expert, comes this podcast for hardcore litigators. The subject? Taking and defending depositions.Each episode is a one-topic, mini field guide, meant to educate and inform trial lawyers looking for world-class deposition strategies and tactics. Garrity includes a general discussion of the topic, specific insights and guidance, questions to ponder, and case citations to support his observations. They’re jam-packed with immediately useful advice...
Episodes (169)
Episode 118 -The (Relatively) Low Bar for Limiting the Non-Judicial Use of Depos...
10,000 Depositions Later Podcast
Episode 117 - Asked and Answered: How Many Times is Too Many?
10,000 Depositions Later Podcast
Episode 116 - ChatGPT and Depositions
10,000 Depositions Later Podcast
Episode 115 - Announcing Our 4th Edition Book Giveaway ($5,000 total value!)
10,000 Depositions Later Podcast
Episode 114 - Opting NOT to Reword an Allegedly Ambiguous Question
10,000 Depositions Later Podcast
Episode 113 - Instant Privilege Loss in Depositions
10,000 Depositions Later Podcast
Episode 112 -Lessons From The Front Lines: Plaintiffs Fined $100,000 For Arrangi...
10,000 Depositions Later Podcast
Episode 111 -Lessons From The Front Lines: Another Reason To Choose Your 30(b)(6...
10,000 Depositions Later Podcast
Episode 110 - "Are You Calling Them A Liar?"
10,000 Depositions Later Podcast
Episode 109 -Upping Your Background & Lighting Game in Videotaped Depositions of...
10,000 Depositions Later Podcast
Episode 108 - 32 Factors to Argue (For or Against) In Deposition Location Disput...
10,000 Depositions Later Podcast
Episode 107 - Do Your Non-Party Subpoenas List the Remote Location as “Zoom Vide...
10,000 Depositions Later Podcast
Episode 106 -A Killer Option for Choosing Potent 30(b)(6) Designees
10,000 Depositions Later Podcast
Episode 105 - Dealing with Deponents Who (For Now) Are Asserting a Fifth Amendme...
10,000 Depositions Later Podcast
Episode 104 - What to Do About Incomplete Answers Caused by Interrupting Examine...
10,000 Depositions Later Podcast
Episode 103 -Lessons From The Front Lines: What Will 317 “Don’t Knows,” and 196...
10,000 Depositions Later Podcast
Episode 102 - Lessons From The Front Lines: When Suspending Or Terminating A Dep...
10,000 Depositions Later Podcast
Episode 101 -When Are Responses & Objections Due to Document Requests Embedded i...
10,000 Depositions Later Podcast
Episode 100 -Can You Limit the Duration of an Opponent’s Deposition Before It Ev...
10,000 Depositions Later Podcast
Episode 99 -Does FRCP 30’s 7-Hour Limit Include Cross? What if the Direct Used t...
10,000 Depositions Later Podcast
Episode 98: "Have You Now Told Me Everything That Supports Your Claims/Defenses?...
10,000 Depositions Later Podcast
Episode 97 - Using Designated-Representative Depos When You Can't Depose An Apex...
10,000 Depositions Later Podcast
Episode 96 - Lessons from The Front Lines: Hit with A Dispositive Motion Before...
10,000 Depositions Later Podcast
Episode 95 - Handling Deponents With Severe Speech Impediments
10,000 Depositions Later Podcast
Episode 94 -What Five Things Should Litigators Be Doing More Of In Their Deposit...
10,000 Depositions Later Podcast
Episode 93 -Is There A "Best Place" to Sit When Questioning Deponents or Witness...
10,000 Depositions Later Podcast
Episode 92 - The Deponent is Taking Notes While Testifying. Can You Demand Them...
10,000 Depositions Later Podcast
Episode 91 - Remote Video Deponents on Cellphones
10,000 Depositions Later Podcast
Episode 90 - So What, Exactly is Impermissible "Coaching" During a Deposition?
10,000 Depositions Later Podcast
Episode 89 -Lessons from the Front Lines: An Appellate Court’s Ominous Comment t...
10,000 Depositions Later Podcast
Episode 88 -How to Avoid Being Taxed Costs for Videotaping When Your Opponent Al...
10,000 Depositions Later Podcast
Episode 87: Next-Day Certified Transcripts, Rough in an Hour, No Extra Charge: A...
10,000 Depositions Later Podcast
Episode 86 - A St. Patrick's Day "Thank You" to 50 Lucky Listeners
10,000 Depositions Later Podcast
Episode 85 - Can You Bluff Dishonest Deponents By Implying You Have Evidence tha...
10,000 Depositions Later Podcast
Episode 84 - Does the Rule of Sequestration Apply to Depositions?
10,000 Depositions Later Podcast
Episode 83 - Lessons from the Front Lines: Alex Jones' Lawyer in the Sandy Hook...
10,000 Depositions Later Podcast
Episode 82 - Testimonial Privileges: The Legislative Privilege
10,000 Depositions Later Podcast
Episode 81 - How (and Why) to Ask Deponents About Prior Sworn Testimony
10,000 Depositions Later Podcast
Episode 80 - Taking Depositions Before and After A Lawsuit
10,000 Depositions Later Podcast
Episode 79: An Email Is Not a Notice of Taking Deposition (But It Could Be)
10,000 Depositions Later Podcast
Episode 78: Lessons from the Front Lines: Why Google Couldn't Prevent the Apex D...
10,000 Depositions Later Podcast
Episode 77 - Listener Questions About Depositions by Written Questions
10,000 Depositions Later Podcast
Episode 76 - Demystifying Depositions by Written Questions
10,000 Depositions Later Podcast
Episode 75 - Lessons From The Front Lines: Never Let Opponents Control the Timin...
10,000 Depositions Later Podcast
Episode 74 - Can You Read the Entirety of an Adverse Party’s Depositions at Tria...
10,000 Depositions Later Podcast
Episode 73 - Lessons from the Front Lines: Lawyer Suspended 91 Days for Allegedl...
10,000 Depositions Later Podcast
Episode 72 - Set Your Depositions Unilaterally After Asking for Dates…How Many T...
10,000 Depositions Later Podcast
Episode 71 - Lessons from the Front Lines: A Plaintiff Escapes Sanctions for Usi...
10,000 Depositions Later Podcast
Episode 70 -Can Non-Record Lawyers Participate in the Depositions of their Non-P...
10,000 Depositions Later Podcast
Episode 69 - So, What About Standing (a/k/a Continuing or Running) Objections?
10,000 Depositions Later Podcast
