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What Types of Questions Can I Ask Deposely LX?

Written by Whitney Brittingham
Updated over a week ago

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)

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