The Direct Examination of the Plaintiff's Treating Physician
- Table of Contents
- VI Presenting Expert Opinions Based Upon Facts or Data Perceived by the Physician before Trial: Wilson V. Clark and Ill. R. Evid. 703
- III Using the Client's Statements to the Treating Physician Made for Purposes of Treatment and Diagnosis
- IV Countering the "pre-existing Condition" Defense - Ill. R. Evid. 803(7)
- VII Disclosing the Expert Witness
- V Questions Intended to Show the Absence of Medical Evidence of Pre-existing Condition Utilizing Ill. R. Evid. 803(7)
- XI Creating the Outline
- XIII Using the Language of the Jury Instructions
- XII Transitional Questions
- Caveat to Members of the Public
- About the Authors
- XIV Refreshing Recollection
- X Preparation for Evidence Deposition/trial Testimony
- IX When Plaintiff May Wish to Take Treating Physician's Discovery Deposition
- XV Anatomical Models
- I Introduction
- XVI Learning the Science
- Caveat to Lawyers
- II Purposes of Direct Examination of Plaintiff's Doctor
- XVII Conclusion
- VIII Preparing the Treating Physician for Discovery Deposition Testimony