Instead of going into a mediation like it’s “déjà vu,” try to think about it as “vuja de.” In other words, it won’t be the same as it has been before…

Preparing Your Witnesses for Court - A Guide for Litigators - Live at Your Desk - Learn Live
MBL Seminars | 3 CPD hoursConducting an Emergency Arbitration - The Requirements & Considerations - Learn Live
MBL Seminars | 1.5 CPD hoursDrafting Skeleton Arguments - Hints & Tips Live At Your Desk - Learn Live
MBL Seminars | 3 CPD hours