My Photo

Search Illinois Trial Practice


My Other Weblog

Twitter Updates

    follow me on Twitter
    Blog powered by TypePad

    ccl

    ga

    « A Long-Awaited Illinois Supreme Court Ruling | Main | Organize Your Deposition Abstracts by Issue, Not by Page Number »

    August 19, 2005

    TrackBack

    TrackBack URL for this entry:
    http://www.typepad.com/services/trackback/6a00d8341c2d4b53ef00d8345362a953ef

    Listed below are links to weblogs that reference How to Introduce Exhibits at Trial:

    Comments

    durendale

    What do you do if your client has those copies of cancelled checks that banks issue now, rather than the actual checks? My client's bank destroys the original checks and gives her a sheet with 16 small copies to a page.

    Do I have to subpoena the actual checks or a bank employee to authenticate them?

    Aaron

    Are you trying to authenticate the information your client placed on the check, or the information that banks subsequently placed on the check while processing it? It seems like most of the time FRE 1003 and FRE 1004(1) (or the state equivalents) would allow admission of the copies through the client.

    Kelsea

    Thanks so much! I'm working on a Mock Trial case, and your info has been really helpful!

    Verify your Comment

    Previewing your Comment

    This is only a preview. Your comment has not yet been posted.

    Working...
    Your comment could not be posted. Error type:
    Your comment has been posted. Post another comment

    The letters and numbers you entered did not match the image. Please try again.

    As a final step before posting your comment, enter the letters and numbers you see in the image below. This prevents automated programs from posting comments.

    Having trouble reading this image? View an alternate.

    Working...

    Post a comment