Common Questions to Ask LX in the Chat Window:
A. Fact-Finding & Chronology
"Give me a timeline of all communications between John Smith and Jane Doe from June 1 to August 30, 2024." (Attach specific documents or Search without attaching documents)
"Where in the evidence does it mention 'Project Titan' or the 'acquisition'?" (Attach documents or Search without attaching documents)
"Show me every instance where witness Mark Chen claims he 'does not recall' or 'can't remember'." (Attach uploaded transcript or Deposely-transcribed transcript entries)
"Who are all the individuals mentioned in this deposition transcript of Sarah Jenkins?" (Attach uploaded transcript or Deposely-transcribed transcript entries)
"Pull all statements made by Dr. Evans regarding the patient's prognosis." (Attach documents, uploaded transcript or Deposely transcribed transcript entries, or Search without attaching documents)
B. Consistency & Contradiction
"Compare the deposition testimony of David Lee with his emails from May. Are there any contradictions?"(Attach either uploaded transcript or Deposely transcribed transcript entries with email documents)
"Find inconsistencies between the CEO's deposition and the company's official press releases." (Attach either uploaded transcript or Deposely transcribed transcript entries with documents)
"Did the witness's testimony contradict what they said in their initial written statement?" (Attach either uploaded transcript or Deposely transcribed transcript entries with documents)
"Help me find any inconsistencies between these transcripts." (Attach uploaded transcript or Deposely transcribed transcript entries)
C. Strategic Preparation
"Based on the evidence, what are the three weakest points in my client's testimony?" (Attach documents, uploaded transcript or Deposely transcribed transcript entries)
"Are there areas and questions I overlooked in these depositions?" (Attach uploaded transcript or Deposely transcribed transcript entries)
"Generate a list of likely questions opposing counsel will ask my witness, [Witness Name], based on these documents." (Attach documents)
"Summarize the opposing expert's main arguments and identify potential areas for cross-examination." (Attach documents)
