A distinguishing characteristic of international arbitration hearings is that witness testimony is most often presented in writing in advance of the hearing, with the result that the witness portion ...
When preparing for trial testimony, often the focus is on what opposing counsel is going to do. You prepare for cross, naturally enough, because that is an adversarial moment. But my own view is that ...
When testifying, there are some situations where a “less is more” rule applies. In a deposition, for example, you don’t want to aid the other side, and will often prefer conciseness. However, when ...
Although the Rules of Evidence are complex, they are manageable—and, in many instances, call for an exhilarating game of "chess" with your adversary. Next, subsection (b) of N.J.R.E. 611 guides the ...