So You're Going to Try Your First Case, 5th Edition


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So You're Going to Try Your First Case&Fifth Edition 
A Primer for Federal and State Jury Trials, Workers' Compensation Hearings, Fast Track Jury Trials, Mediations, Arbitrations, Supplemental Proceedings, and Grand Jury Appearances 
©2018
 
E. Warren Moise
 
Have you yet to try your first case, or has it been awhile since you've been in front of a jury? Are you an out-of-state lawyer getting ready to try a case in South Carolina? If so, here's good news for you! One of the South Carolina Bar's most popular and important books is now fully updated in a fifth edition! It includes a trial primer for state and federal courts, and from magistrate's court to general sessions. Even better, it includes new chapters about supplemental proceeding and what to expect when your client is called before a grand jury.
 
It couldn't come at a better time. Advocacy of South Carolina's trial lawyers is unsurpassed in the nation. But it's no exaggeration to say that trial practice itself is on the decline across America. Legal journals cite statistics showing the number of jury trials diminishing dramatically. Trial advocacy is no longer a required course in South Carolina's law schools. Because most cases settle, very few lawyers try jury trials anymore. In large firms, it's not uncommon for litigation associates and partners alike to practice law for a decade or more without ever trying a case to a verdict as lead counsel. Just as common are lawyers in smaller firms who shy away from the courthouse rather than having their own lack of courtroom skills exposed. Hundreds of new attorneys are graduating from law schools, and being unable to find work in traditional law firms, they must try cases without the benefit of advice from more-experienced partners.
 
Fortunately, trial procedure is not rocket science. However, until you learn the rules, a courtroom can be quite unnerving to new trial attorneys. If you have yet to try a jury trial, or haven't done so in a while, So You're Going to Try Your First Case . . . . (Fifth Edition) is for you! This book is designed to give lawyers the up-to-date procedural rules and insider knowledge they need to get through a federal or state jury trial in South Carolina. So You're Going to Try Your First Case . . . . is written by veteran trial attorney Warren Moise, recipient of the South Carolina Bar's first Trial and Appellate Advocacy Award. He was formerly an Adjunct Professor at USC Law School and Charleston Law School. So You're Going to Try Your First Case . . . . gives you strategy, tactics, and courtroom basics such as: How do I strike a jury? How do I make a Batson motion? What is an "offer of proof," and how do I make one? Which magic words do I use for directed verdict motions or for asking experts their opinions about causation (a.k.a the "most probable rule")? Should lawyers rise when jurors enter the courtroom? What can I say and not say?
 
This updated version includes an appendix, an index, and trial-related articles such as a roadmap about how to navigate the confusing pretrial procedure used in South Carolina's federal courts.
 
If you've never tried a jury trial, haven't done so recently, or are an out-of-state lawyer about to try a case in South Carolina - you need this book!
 
Table of Contents
Summary of Contents
 
PART I: Jury Trials
Chapter 1: The Judicial System in South Carolina
Chapter 2: Written and Unwritten Rules, Myths, and Truisms About the Courtroom
Chapter 3:  Case Strategy
Chapter 4:  Some Evidentiary Concepts and "Terms of Art" You Should Know, 
and the Primary Evidence Rules
Chapter 5: Where to Go When You're Scheduled to Be in Two Different Courts at the Same Time
Chapter 6:  Trial Rosters, Dockets, and Bar/Roster/Docket Meetings and Continuances/Protection
Chapter 7:  The Steps in a Jury Trial, and How to Try a Bifurcated Trial
Chapter 8:  Pretrial Preparation
Chapter 9:  How to Strike a Jury
Chapter 10: How to Act, How to Dress, and Where to Stand in the Courtroom
Chapter 11: Opening Statements and Closing Argument
Chapter 12: Direct- and Cross-Examination of Lay and Expert Witnesses
Chapter 13: To Sequester or Not to Sequester
Chapter 14: Admitting Trial Exhibits Into Evidence - The Basics
Chapter 15: Hearsay Made Easy (and a Word or Two About the Confrontation Clause)
Chapter 16:  Introducing a Criminal Conviction Into Evidence, and How to Make a Miller or Joseph Motion
Chapter 17: Typical Trial Motions
Chapter 18: How to Use a Deposition at Trial
 
Part II: Litigating in Other Tribunals 
Chapter 19: How to Try a Fast Track Jury Trial 
Chapter 20: Trying Cases in Magistrate's, Small Claims, and Municipal Courts 
Chapter 21: How to Represent Your Client at a Mediation and an Arbitration
Chapter 22: Supplemental Proceedings
Chapter 23: When You Client Is Called Before a Grand Jury
 
Appendices 
                A: Trial Guide 
                B: Client Pretrial Handout 
                C: Trial-Related Articles 
                D: Sample State Court Juror Strike Sheet 
                E: Recommended Publications 
                F: Checklist for Fast Track Jury Trials  
 

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