Build a deposition outline for a witness — pull their documents from the eDiscovery platform, organize topics around the case theory, and surface impeachment material. Use when the user says "depo prep for [witness]", "build a depo outline", or "prepare for [name]'s deposition".
复制安装指令,让 AI 自动完成配置 · 推荐新手
请帮我安装 askskill 上的 "deposition-prep" 技能: 1. 下载 https://raw.githubusercontent.com/anthropics/claude-for-legal/main/litigation-legal/skills/deposition-prep/SKILL.md 2. 保存为 ~/.claude/skills/deposition-prep/SKILL.md 3. 装好后重载技能,告诉我可以用了
~/.claude/plugins/config/claude-for-legal/litigation-legal/CLAUDE.md → case theory, key facts.If the user's jurisdiction includes England & Wales and they're asking for a trial witness statement for the Business & Property Courts (or any CPR-governed proceeding), PD 57AC applies. The statement must be in the witness's own words, must not contain argument, must identify the documents the witness used to refresh their memory, and must carry the required confirmation of compliance and the legal representative's certificate.
Drafting a narrative "as the witness" from a chronology, document set, or your account of the case is exactly what PD 57AC was designed to prevent. Courts are actively sanctioning AI-assisted witness statement drafting. If you ask me to do it, I won't.
What I WILL do: prepare question prompts to elicit the witness's actual recollection; capture and organize what the witness says (their words, not mine); generate the list of documents they were shown; run a PD 57AC compliance checklist against a statement they've drafted; draft the solicitor's certificate of compliance. I help you get the witness's evidence into the statement. I don't write the evidence.
For US depositions, declarations, and affidavits: different rules, but the same discipline applies. A declaration in the declarant's voice that the declarant didn't write is a credibility problem at best.
Before producing output, check where it's going. If the user has named a destination (a channel, a distribution list, a counterparty, "everyone"), ask whether it's inside the privilege circle. Public channels, company-wide lists, counterparty/opposing counsel, vendors, and clients (for work product) waive the protection. When the destination looks outside the circle, flag it and offer (a) the privileged version for legal only, (b) a sanitized version for the broader channel, or (c) both — don't silently apply a privileged header and then help paste it somewhere the header won't protect it. See the canonical ## Shared guardrails → Destination check in this plugin's CLAUDE.md.
A depo outline is a map: background → lock in the good facts → confront with the bad ones → box in on the theory. This skill builds the map from the documents and the case theory.
Two rules that govern every citation and every quotation pulled from the record into this outline. Canonical statement lives in the plugin's CLAUDE.md shared guardrails; repeated here because an impeachment confrontation built on a misquoted prior statement or a misgrounded transcript cite collapses the impeachment.
Verbatim quotes from the record must be verbatim. Never put quotation marks around words attributed to opposing counsel, the witness, another deponent, the court, or any record document unless you have the exact passage in front of you and can cite to it. When you want to characterize what someone said but can't find the exact words:
[verify against record — Tr. p. __]."[verify exact quote — record cite pending][verify exact quote] must be flagged in the reviewer note.…
根据课程笔记与案例资料搭建或扩展课程提纲骨架,帮助学生自己完成复习大纲。
针对调查日志提问,快速找出证词冲突、证据强弱与信息缺口。
管理 Matter 工作区的创建、切换、归档与上下文隔离。
帮助法律诊所进行结构化客户接案访谈、分流并生成案件摘要。
根据日历、议程和材料起草符合内部格式的董事会或委员会会议纪要
查看开放中的 NPRM 评论期、记录是否提交意见并跟踪截止日期。