Thank you! This is the best video regarding this topic, on laying the foudation for evidence. It's super CLEAR explanation, great examples, and super practical. Thank you again!!!!
Thanks! Very helpful. Two questions. (1) How would I get a copy of a paystub into evidence if my sponsoring witness is the employee and obtained it by printing it out from a database she has access to after inputting her credentials. (2) I hear a lot about using your exhibits when put into evidence. Say you simply got them in but didn't use them. How would the court say in a bench trial use that evidence if at all?
I have a question to anyone that can answer it---I have a fraudclosure filed against my property---I say fraudclosure, because the MORTGAGE they are trying to enforce is NOT signed by the true title holders of the property...the property is actually a joint owned property requiring the signatures of all the owners, the "mortgagor" that signed, was holding under a bad or "interloping" deed. Without getting into the details of the MASSIVE collusion involved, I want to be able to make the proper objection to keep the mortgage out of evidence, as it is invalid....I have raised the issue with specificity that the "mortgagor did not own the property" in the answer to their complaint--How would I prevent this invalid mortgage from being entered? --foundation? They cannot produce a chain of title to said mortgagor because he was defrauded, ---the seller did not have title...should they not have to prove title in the mortgagor before the "mortgage" can be entered into evidence?