Can I record my own deposition?

Can I record my own deposition?

The answer is yes. You can record your own deposition video as a lawyer. However, you will need to be familiar with the equipment that you’ll need to use, the rules and regulations governing deposition videos, and have basic video editing skills so that you can produce the finished product.

Can you give a deposition over the phone?

(a) Taking depositions Any party may take an oral deposition by telephone, videoconference, or other remote electronic means, provided: (1) Notice is served with the notice of deposition or the subpoena; (2) That party makes all arrangements for any other party to participate in the deposition in an equivalent manner.

Can an attorney videotape a deposition?

There is No Statutory Authority for Videotaping Opposing Counsel. As has been shown above, the statute only explicitly allows a party to record the “testimony by audio or video technology.” Since counsel is not giving testimony, then counsel cannot be videotaped.

Are depositions videotaped?

California law allows litigants to use the deposition of their opponent for any purpose during trial. Without videotape of your opponent’s deposition, you have nothing but a cold, lifeless transcript to read the jurors to sleep. The videotape not only gives jurors something to hear, but also something to see.

Can you refuse a deposition in Florida?

If you refuse after being ordered by the court to give a deposition, you would likely be found in contempt of court, leading to dire consequences.

Who can attend a deposition Florida?

If you cannot come to an agreement, move for the protective order pursuant to Florida Rule of Civil Procedure 1.280(c). In summation, all parties have the right to be present at all depositions.

What questions are asked in a deposition?

Deposition Preparation Questions

  • How did you prepare for this deposition?
  • Have you spoken to anyone other than your counsel about this case?
  • What, specifically was discussed?
  • What documents pertaining to the case have you reviewed?
  • Did you meet with counsel for the other side prior to this deposition?