Three quick and easy tips to help trial lawyers make timely objections that get sustained. Don’t let improper evidence get admitted during direct examination or cross-examination because you didn’t object quickly enough. Don’t let your opponent ask improper questions during jury selection because you didn’t know how to object. And don’t let your opponent abuse opening statement or closing argument because you don’t know what’s objectionable.
For more quick tips to help with your objections, check out “Objections at a Glance“







