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When You Need to Win - In-House Edition - Actively participate in company witness depositions
When You Need to Win - Find the arguments you believe in
Big Thinkers
When You Need to Win - Treat the judge's questions like a gift
When You Need to Win - Don't give the jury all the details in opening
When You Need to Win - In-House Counsel - Empower and obligate outside counsel to prepare thecompany witness
When You Need to Win - Chase down the evasive witness (Part 2)
When You Need to Win - In-House Counsel Edition - Don't hide from the media with a "No Comment" strategy
Matt Levin on how to turn back time
When You Need to Win - Don't chase the squirrel
When You Need to Win - In-House Counsel Edition - The company witness deposition is the first day of trial
When You Need to Win - Chase down the evasive witness (Part 1)
Laura Salerno Owens on how to outflank an army
Chad Colton on how to turn on a dime
When You Need to Win - Follow the Golden Rule of video depositions
When you need to win - Have a backup plan for the end of your direct and cross examinations
When You Need to Win - Don't overuse deposition clips in opening statement
When You Need to Win - In-House Counsel - Make sure outside counsel prepares opening statement early
When You Need to Win - In-House Counsel Edition - Develop trial themes early
When You Need to Win - In-House Counsel Edition - Use outside counsel to manage internal communications

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