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Obligations of the Hiring Lawyer

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This section is, I, I kind of want you to understand, um,

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what our obligations are to you, uh, when you agree

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to be an expert witness for us.

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All right? The first thing is,

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is I don't wanna set you up for failure.

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Um, by the time I've even reached out

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or called you, um, I'm pretty familiar with your background.

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I know where you probably went to college, I know

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where you went to medical school.

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I know where you did your residency, fellowship of app,

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you know, if applicable, I know where you're working

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or a large part of your work history,

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and I'm probably pretty familiar

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with publications if you've, if you've got publications.

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Um, so I have done a pretty good job of vetting you

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by the time I even reach out to you.

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And then at this point, you know, the conversation, if we,

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we get to the point of you're willing

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to do this and okay, yep.

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Um, we're then having a conversation about, alright,

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this is a specific area.

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Are you comfortable with that area?

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And feel you can, you know, opine. Um, okay. Yep. Yep.

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So I want you set up for success, not failure.

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I don't want going into this, the defense attorney

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to be able to, um, kind of, uh,

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chip away at any of your credentials.

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I want you solid, and I want you

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to feel comfortable in that regard.

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The next thing is, my job to do is to provide you with all

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I'm gonna underline relevant materials.

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So I oftentimes do cases that involve sometimes,

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you know, 4, 5, 6 different specialties in medicine.

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And I may have you on board for a very specific role.

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You don't need all of the oncologist records,

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or you don't need all of these things.

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Now, if there's something there that you want, you say, Hey,

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you know, Kelly, I, you know,

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as I'm looking at this, it'd be helpful.

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Well, by all means I'm gonna get it for you.

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Um, but for the most part, I'm kind

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of a gatekeeper in deciding who needs what.

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And then you let me know if there's something else

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that you need, or if you are not comfortable

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not having certain materials, in other words,

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you would feel more confident in your ability

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to render your opinions.

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If you had X material,

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then we're gonna talk about it and I'm gonna get it to you.

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So, um, understand that's out there.

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Understand that you're part of the process.

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Understand that you can request, um, certain things

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because I, you know, you are going

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to do the best job for me.

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When you feel really confident

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and comfortable in, in what I'm asking you

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to do in the opinions that I'm asking you to give, you know,

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to render during the case.

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Um, it is my job moving on to, to make sure,

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as we've talked about a little bit, that you are

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so well prepared for your deposition

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and for trial if we get that far.

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So, understand that

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a very small percentage of um,

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cases actually make it all the way to the trial process.

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A large percentage of cases make it

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to the deposition process.

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Uh, so it's a little bit different from the standpoint is,

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is you, you know, a much smaller room,

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there isn't a judge in the room.

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Uh, typically there's no jury there.

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You know, it's, uh, it is a more intimate setting

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where you're giving your opinions.

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Um, but you, you need

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to be well prepared for that process.

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And I will tell you unequivocally, in my experience,

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the vast majority of cases are won

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and loss during the discovery process,

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specifically the deposition process with experts.

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So it's not uncommon, uh, for me

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and for cases that I see to go in

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and have, you know, I'll present my experts

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and the defense will come in and take your deposition,

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and we get to a point then that the case settles within

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a week or two, uh, of that process.

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So just be aware that that happens, um, pretty frequently.

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So, depositions, I consider depositions to be

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the most important part

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of the litigation process personally.

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So they're that important,

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and you need to be very comfortable

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and well prepared for that process.

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And it's my job or your hiring lawyer's job

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to get you to that point.

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Um, you are going to, I'm, as I said, I'm gonna provide you

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with, in addition to all medical records

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and relevant facts as a physician, I'm also going

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to provide you with legal documents.

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And, um, you know, we get to the point in Colorado,

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we call them, um, uh,

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expert endorsements.

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And it's my job to, um, make sure that you have,

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and so when the defense attorney hires a radiologist

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to rebut your opinions,

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because I have to present your opinions first,

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and they go out and get their expert

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who rebuts your opinions, what I'm going to do then

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is provide you with their expert's opinions at, so

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that you can then come back

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and provide a rebuttal to that if it's appropriate.

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So you're going to get all

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that information, and it's my job.

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You're not, you know, to get that to you.

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So you're not doing this in a vacuum.

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You understand the lay of the land, the process,

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what's going on, you know, everybody's, you know, role and,

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and, and agenda if you will, moving forward.

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And then finally, it's my job to promptly pay you.

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I mean, you have a right to be paid for this.

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And, um, you know, I, I think it's important

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and accurate, uh, to pay you promptly and you should be.

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And then there's, you know, avenues to respond if, if

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that doesn't happen, which sometimes lawyers out there, um,

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you know, have a problem with, have issues with that,

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and it's not acceptable.

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It's not appropriate. So you can,

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if it's a new lawyer you that you're working with that, uh,

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you've never worked with before,

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you may require a retainer upfront.

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Most of my experts will say, oh, Kelly,

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bill me at the end, or do whatever.

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They're gonna get paid and they know it.

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Some will say, well, you know, let's, let's get you

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to the opinion phase.

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We'll bill you for all of your hours

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and then, you know, bill on a periodic basis going forward,

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like after your deposition,

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after your expert endorsement as we prepare for trial.

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So that's one of our obligations to you

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and you should hold us to that.

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I'd like to, um, interrupt and make a few comments. Kel.

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Um, number one is relying on the lawyer

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to know what is relevant medical record that you need

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is fraught with potential problems.

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And when I do my expert witness work, particularly prior

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to deposition, particularly prior to, uh, testimony

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and trial, I want to see all of the information

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that is available because I want

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to make the decision about what's relevant or not.

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Kelly's outstanding at what she does,

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but she may not know that the EKG strip

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may influence my interpretation of an MRI of the brain.

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Uh, she may not see that

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because of her, uh, medical knowledge compared to what you

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as a subspecialist medical knowledge might be.

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The second thing I will say to you is that by

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and large my experience is that defense attorneys

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pay much later than plaintiff attorneys

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because they have to go

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through the medical insurance company, um,

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the malpractice insurance company generally

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to get you the money.

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So my experience is expect delays,

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particularly on the defense side.

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The plaintiff's side is a little more motivated

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to get you on board

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and to make you happy, uh, than the, uh,

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medical insurance company.

Report

Faculty

David M Yousem, MD, MBA

Professor of Radiology, Vice Chairman and Associate Dean

Johns Hopkins University

Majid Aziz Khan, MD, MBBS

Director, Non-Vascular Spine Intervention

Johns Hopkins University

Mahla Radmard, MD

Postdoctoral Research Fellow

Johns Hopkins University School of Medicine

Kelly P. Yousem, JD

Plaintiff’s Attorney

Tags

Non-Clinical