101 Practice Series: Breaking Down the Basics
- A Default Judgment Roadmap
- Alien Tort Statute 101
- An Associate's Answer Checklist
- An Overview for Preparing to Take Your First Deposition
- An Overview of the Fair Debt Collection Practices Act
- Arguing Your First Motion
- Case Evaluation 101: Developing a Roadmap for Litigation
- Checklist for Drafting Document Requests
- Checklist for Obtaining Documents from Third Parties
- Cross-Examination
- Deadlines and Tips in Estate Administration and Estate Litigation
- Dealing with Difficult Opposing Counsel Before Trial
- Defending Your Deposition Witness
- Defending Your First Deposition
- Defending Your First Employment Discrimination Case
- Developing a Case Management Plan - Strategic Planning for Success
- Dispute Resolution In The Aftermath Of The U.S. Supreme Court’s Decisions In Dukes And Conception
- Document Requests: Discoverability of Testifying Expert Witness Opinion
- Don’t Get “Lost” – How to Prepare Yourself (and Your Client) for Mediation
- Drafting A Complaint
- Drafting Electronic Discovery Requests
- Drafting Interrogatories
- Dual Representations in Derivative Litigation: The Corporate Counsel’s Role in Managing the Corporation’s Conflicts of Interests
- E-Discovery: Shifting the Costs of Compliance
- Ethical Considerations When Your Company is Sued and One of Your Supervisor’s Is Named as a Co-Defendant
- Effective Cross-Examination of an Expert Witness
- Handling Your First Appeal
- How to Conduct Effective Voir Dire
- How To Remove A Case
- Identifying and Retaining an Expert Witness
- Indirect Patent Infringement
- It’s not only Rihanna and Chris: Purposeful Representation of your Domestic Violence Clients
- Junior Attorneys’ Primer for Working with Litigation Support Professionals
- May It Please The Court: Approaching Your First Appellate Oral Argument
- Non-Party Discovery in Arbitration: A Potential Trap for the Unwary
- Obtaining Your First Temporary Restraining Order and Injunction
- Organizing a Trial Folder
- Patent Infringement Motion to Stay
- Picking Your Battles: When to Take, or Walk Away From, an Employment Case
- Planning for Trial
- Pre-Bankruptcy Planning
- Preparing a Bill of Costs
- Preparing a Fact Witness to Take the Stand
- Preparing a Witness
- Preparing and Delivering an Effective Closing Argument to a Jury
- Preparing for a Markman Hearing - Part I
- Preparing for a Markman Hearing - Part II
- Preparing for Your First Summary Judgment Hearing
- Preparing Your Client For A Video Deposition
- Presenting An Effective Opening Argument
- Proof of Claims in Bankruptcy: Covering Your Client
- Releasing the Waters from the Gorge of East Texas: The Federal Circuit Discharges the Dam of Patent Litigation
- Responding to Document Requests
- Responding to Interrogatories
- Taking A Telephonic Deposition
- Taking an Expert Deposition
- Taking Your First Deposition
- Tasks to Complete After Your First Deposition
- The 2009 Family And Medical Leave Act Amendments - An Overview
- The Basics Of Commercial General Liability Policies
- The Carmack Amendment: The Most Important Thing to Know on Moving Day
- The Employment Discrimination Plaintiff's Deposition
- Through the Looking Glass: The Curious Interaction of Social Networks and Privacy Law
- Tips for Taking an Out-of-State Deposition
- Views from the Bench: Tips for Young Lawyers on How to Make a Good Impression
- What Do You Do When You Get A Call In The Middle of the Night From A Family Member Or Friend of A Potential Client Who Has Been Arrested?
- What You Need to Know about Legal Process Outsourcing and Legal Ethics
- What’s In Your Briefcase: Preparing for Your First Mediation
- Working With Experts
- Your Client, a Creditor, Has a Claim Against a Debtor in Bankruptcy
- Your First Motion for Summary Judgment from The Court's Perspective
- Your First Settlement Conference: Part 1
- Your First Settlement Conference: Part 2
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