Considerations for Effective Video Depositions
Conscientious preparation before deposition will help avoid the
inevitable pitfalls that occur when an ill-prepared witness
is confronted
with the challenge of a rigorous examination that is captured on videotape.
Here are some general guidelines for getting the most out of your videotaped
depositions.
On-Screen Time/Date
In addition to the obvious purpose – knowing when the deposition was
taken – there are other good reasons to make sure any deposition you take
has the time and date embedded. Adding seconds to the videotape (in
addition to hours and minutes) greatly facilitates the ability to edit tapes
efficiently, in that the time can then be synchronized to the court
reporter’s transcript to aid in finding specific points on the tape during
review and editing. Because capturing seconds may require the videographer
to bring special equipment, let him/her know your preference a day or so
before the deposition.
*Federal rules require a videographer to record the
date and the time of day of a deposition that will be used in federal court.
The rules governing depositions taken under the auspices of state courts
vary.
Individual Lavaliere Microphones
Every participant should be outfitted with a lavaliere microphone to
guarantee a proper audio track on the tape. The microphone on the camera or
a table microphone cannot be relied on to produce a quality audio track.
This means the videographer should have at least four microphones, in
addition to an omni-directional table microphone (to pick up “unmiked"
objections) and a mixer at every deposition. During the deposition, the
videographer should monitor the audio mix via headphones and make any
necessary adjustments.
Tape Formats
DV-CAM is the premium format for videotaping depositions, as this format
combines pristine quality and no generation loss with up to three hours of
recording time. SVHS and Hi 8 provide acceptable quality with ample running
time. While large-format MiniDV is an acceptable format, avoid consumer or
“prosumer” MiniDVs, as they are limited to 90 minutes of recording time,
which may result in having to take an excessive number of breaks during the
deposition to change tapes. Avoid VHS altogether, as it may degrade in
quality when copies are made.
Backdrops
If you are unsure whether your videographer routinely travels with a
flexible, solid color backdrop, it is the safe practice to specifically
request one. A backdrop eliminates distractions and standardizes the
deponent’s appearance (e.g., videotaping an opposing medical expert against
a neutral background, rather than in front of a wall boasting his academic
credentials).
Framing Composition
The frame should include a standard head and shoulders shot, with a
slightly larger surrounding area to provide perspective. While most
videographers with experience taping depositions will set up this way, do
not hesitate to ask to look through the viewing lens or check the monitor to
satisfy yourself that the picture is satisfactory. (This is even more
important if you are defending a deposition.) Inform the videographer of any
expectations regarding zooming in and zooming out when the witness is shown
a document or other materials. To avoid potential distractions for the
witness and the viewer, specifically ask the videographer to warn attendees
if extraneous materials (e.g., a laptop cover, newspapers, or a crossed leg)
drift into the frame during the course of the deposition.
Lighting
The videographer should carry a light kit to add “fill” light as needed.
Most of today’s cameras are extremely effective in low light, but a light
kit can help to fill in shadows if there is harsh overhead lighting. The
lighting set-up greatly impacts the way the witness is perceived; a simple,
soft key light generally enhances the witness’ appearance and harsh light
from above will cast shadows that may make the witness appear sinister or
angry. Check the monitor and make any lighting adjustments before beginning
the deposition.
Room Set-Up
The most common set-up is to shoot the length of the table, with the
videographer at one end and the witness at the other, and opposing counsel
on opposite sides of the table. Keep in mind that the closer the examining
attorney sits to the videographer, the better the shot of the witness.
Conversely, sitting closer to the witness will force him/her to turn an
undesirable side view to the camera. Jurors appreciate the opportunity to
assess a witness “head-on,” and tend to assign lower credibility ratings to
witnesses that deny them that opportunity.
Exhibits
Prior to starting the deposition, the parties should discuss with the
videographer any exhibits that may need to be shown on the tape. If there
are X-rays, a light box should be situated to the side of the witness.
Documents and pictures are easier to videotape if they are attached to rigid
card stock, as it is hard to hold and point to a document that is flopping
around. Exhibits should be steadied on the edge of the table to stabilize
them for camera framing. This makes it simple for the videographer to zoom
in to capture the exhibit.
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