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Case Study: Best Practices for Taking and Defending Discovery and Evidence Depositions of a Doctor

Learn about the top tips you need to remember when taking or defending a doctor’s deposition from both the Plaintiff’s and Defendant’s perspective. Walk through parts of actual deposition transcripts to see how those best practices are successfully implemented.
Credits: 0 General, 0 Diversity/Inclusion PR, 0 MH/SA PR, 1.5 Other PR
SKU: P2004-20E-05
$80.00 or 1.50 credits
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Faculty:


Francis J. Lynch, Wolter, Beeman, Lynch & Londrigan, Springfield
Theresa M. Powell, Heyl, Royster, Voelker & Allen, P.C., Springfield

Originally presented as part of Developing & Admitting Medical Evidence, available in its entirety as P2004-20U.

Faculty:


Francis J. Lynch, Wolter, Beeman, Lynch & Londrigan, Springfield
Theresa M. Powell, Heyl, Royster, Voelker & Allen, P.C., Springfield

Originally presented as part of Developing & Admitting Medical Evidence, available in its entirety as P2004-20U.

Products specifications
Program Date2/21/2020
Products specifications
Program Date2/21/2020
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