We all know what to do when we've been given an outline for a witness exam, but what should we be doing to prepare for the redirect (or recross) where there either isn't an outline or where the outline isn't all that useful? I recommend that you shadow what the other hot seater is pulling up and put those exhibits into a notebook or workbook. That way, if your attorney wants you to pull up something that was discussed on cross, you have it at the ready for redirect.
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