Litigation Strategy: Prepare Every Case Like It’s Going to Trial—From Day One)

BLOG CONSULTING | EXHIBITS | PRESENTATIONS Litigation Strategy: Prepare Every Case Like It’s Going to Trial—From Day One) “Litigation is war. Cases are battles. If you’re not preparing for trial from the start, you’re already losing.”Too many litigators approach cases with a settlement-first mindset, treating trial as a remote possibility instead of an inevitability. But […]
How to Draft a Deposition Notice in California (and Avoid Costly Pitfalls)

BLOG CONSULTING | EXHIBITS | PRESENTATIONS How to Draft a Deposition Notice in California (and Avoid Costly Pitfalls) A deposition notice might seem like a simple procedural step, but drafting it incorrectly can be fatal to your case. A missing clause, improper notice, or failure to specify trial-use intent could mean that: You can’t use […]
The “No Snitching” Rule: All About Attorney-Client Privilege

BLOG CONSULTING | EXHIBITS | PRESENTATIONS The “No Snitching” Rule: All About Attorney-Client Privilege Okay, brace yourselves, people. After deciding if an insurer’s claims file is hotter than last week’s TikTok dance, the court plays “To Tell or Not To Tell” with the insurer. The insurer’s gotta invoke either the “No Snitching” Rule (aka attorney-client […]