The greatest fear is the fear of the unknown. This is why it is important to prepare witnesses prior to depositions.
Before a deposition, you’ll have your client read documents and complete a mock Q&A. She will feel confident until she arrives at opposing counsel’s office and is ushered into a room with ten people in suits, a camera pointed at the “hot seat,” a “typewriter,” and a videographer invading her personal space to “mike” her up. Accordingly, there are six items (beyond substantive prep) that you should tell a first-time deponent: