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Mock Trial Objections

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Hearsay Perhaps the most common objection, Hearsay is an out of court statement being offered in court to prove the truth of the matter asserted. – PowerPoint PPT presentation

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Title: Mock Trial Objections


1
Mock Trial Objections
  • The basics of every objection allowed in the Mock
    Trial universe.

2
Questions calling for a Narrative answer/Narrating
  • Questions that are vague and allow for a long,
    drawn out answer are inappropriate
  • Ex.) Attorney Tell us what you know about the
    case.
  • When objecting, the attorney should stand and say
    Objection. This question calls for a narrative
    answer. or Objection. The witness is narrating.

3
Relevance
  • Relevant evidence is evidence presented that
    tends to prove or disprove any fact related to
    the case.
  • Ex.) Attorney What did you have for breakfast?
  • When objecting, the attorney should stand and say
    Objection. This question is irrelevant.

4
Character of the Witness
  • Character evidence is evidence that concerns some
    trait about the witness other than honesty or
    truthfulness.
  • Ex.) Attorney (crossing a lay witness) Miss, can
    you please explain to the court why you received
    a speeding ticket 5 months ago?
  • When objecting, the attorney should stand and say
    Objection. This question calls for improper
    character evidence.

5
Lack of Personal/Professional Knowledge
  • Questions that call for hearsay testimony or a
    lay witnesss opinion are inappropriate as they
    call for something that the witness has no
    knowledge of.
  • Ex.) Attorney Do you think that the driver was
    drunk at the time of the hit and run?
  • When objecting, the attorney should stand and say
    Objection. The witness does not have the
    personal knowledge to answer this question.

6
Leading Questions
  • Only allowed during cross-examination and when
    laying foundation, leading questions are
    questions that suggest the answer.
  • Attorney The money was under the hay bale,
    correct?
  • When objecting, the attorney should stand and say
    Objection. Counsel is leading the witness.

7
Beyond the Scope
  • Questions that cover information outside of what
    the crossing attorney/re-directing attorney
    brought up in questioning are considered beyond
    the scope.
  • When objecting, the attorney should stand and say
    Objection. Counsel is asking a question which is
    beyond the scope of my cross/re-direct
    examination.

8
Hearsay
  • Perhaps the most common objection, Hearsay is an
    out of court statement being offered in court to
    prove the truth of the matter asserted.
  • Ex.) Attorney Now Ms. Smith, you say that you
    heard your neighbor say that he was going to kill
    his wife?
  • When objecting, the attorney should stand and say
    Objection. This question calls for hearsay. or
    Objection. The witnesss answer is based on
    hearsay.
  • When objecting to hearsay, be ready for a fight
    as there are a plethora of ways to get around a
    hearsay objection.

9
Argumentative
  • Argumentative questioning is when the opposing
    attorney questions the witness roughly or in a
    harsh tone.
  • Ex.) Attorney You killed your wife!!
  • When objecting, the attorney should stand and say
    Objection. Counsel is being argumentative.

10
Badgering
  • Similar to argumentative questioning, badgering
    the witness is when the opposing attorney asks
    the same question several times in order to
    harass the witness, usually done in a harsh
    manner.
  • When objecting, the attorney should stand and say
    Objection. Counsel is badgering the witness.

11
Asked and Answered
  • Asked and answered is when a question that has
    already been asked and answered is being asked
    again. Most often, attorneys do this when they
    dont get the answer they wanted.
  • When objecting, the attorney should stand and say
    Objection. This question has already been asked
    and answered.

12
Assumes Facts Not in Evidence
  • Questions that assume facts not in evidence jump
    straight to the point without showing how they
    got there. In other words, they ask about facts
    that have not been shown to exist.
  • Ex.) Attorney (without proving there was a pie in
    the first place) You stole the pie, didnt you?
  • When objecting, the attorney should stand and say
    Objection. This question assumes facts not in
    evidence.

13
Lack of Foundation
  • Lack of foundation is an objection that arises
    when an attorney begins to question a witness
    about a certain subject without first proving
    that (s)he is qualified to answer questions about
    said subject.
  • Ex.) Attorney Can you tell the court a little
    about how the bomb was built?
  • When objecting, the attorney should stand and say
    Objection. Counsel has not laid the appropriate
    foundation.
  • NOTE The opposing party may ask for you to
    explain how the appropriate foundation has not
    been laid.

14
Speculation
  • Closely tied to Lack of Personal Knowledge,
    speculative questions ask a witness to testify to
    the motives, intentions, or reasons behind the
    actions of another without knowledge of said
    motives, intentions, or reasons.
  • Ex.) Attorney Why do you think he did it?
  • When objecting, the attorney should stand and say
    Objection. This question calls for speculation.

15
Unresponsive
  • The attorney directing or crossing a witness may
    object if the witness does not directly respond
    to the questions put to him/her. Witnesses may
    also be unresponsive if their testimony goes
    beyond what is asked.
  • When objecting, the attorney (who should already
    be standing) should say Objection. The witness
    is being/has become unresponsive.

16
Unfair Extrapolation
  • Unfair extrapolation is when a witness includes
    testimony that was not originally included in the
    case materials and this testimony can potentially
    affect the trials outcome.
  • When objecting, the attorney should stand and say
    Objection. The witness is unfairly
    extrapolating. or Objection. The witnesss
    testimony is going beyond the information
    provided in the case materials.
  • NOTE This objection should only be made if the
    extra information has a profound impact on the
    trial.

17
Something to remember with objections in Mock
Trial
  • Most of the time in Mock Trial, attorney will say
    Objection followed by just the objection. They
    then offer a brief explanation.
  • Ex.) Objection, assumes facts not in evidence.
    There is no evidence that my client knew this
    Mrs. Smith that opposing counsel is referring to.

18
Read the following excerpt from the affidavit of
Rankin Bass carefully, then decide on the
appropriate objections for the upcoming scenarios.
  • On one occasion, I overheard a man who was
    selling home-made pastries at the market telling
    his wife that the reason no one was purchasing
    their goods was because the Spree Party made them
    outcasts. He said that he thought the Spree had
    spies coming to the Knave Party organization
    meeting that reported who was in attendance. He
    felt that it was not just a coincidence that his
    business declined shortly after he started going
    to the meetings. In my opinion, his pastries were
    not very good. Maybe that had something to do
    with his lack of customers.

19
  • Directing Attorney Rankin, how did you know this
    pastry salesmans political affiliation?
  • Rankin Well apart from hearing him say he was a
    Knave, he had a sign saying I Hate Oprah Xram!
    (the ruler at the time), who was a Spree, and
    after someone walked by and claimed they were a
    Spree, he threw a pastry at them.
  • Crossing Attorney Objection. ________

20
  • Crossing Attorney Objection. Unfair
    extrapolation.

21
  • Crossing Attorney Now, Miss Bass, what color
    were these pastries?
  • Directing Attorney Objection. Relevance.

ANSWER
22
  • Directing Attorney Objection.
  • Relevance.

23
  • Crossing Attorney You said this man was selling
    home-made pastries?
  • Rankin Yes.
  • Crossing Attorney He sold pastries?
  • Rankin Yes, home-made.
  • Crossing Attorney So, he was a pastry salesman?
  • Directing Attorney Objection. Asked and answered.

ANSWER
24
  • Crossing Attorney You said this man was selling
    home-made pastries?
  • Rankin Yes.
  • Crossing Attorney He sold pastries?
  • Rankin Yes, home-made.
  • Crossing Attorney So, he was a pastry salesman?
  • Directing Attorney Objection.
  • Asked and answered.

25
  • Crossing Attorney Do you think this pastry
    salesman was a Unabomber?
  • Directing Attorney Objection. Speculation.

ANSWER
26
  • Crossing Attorney Do you think this pastry
    salesman was a Unabomber?
  • Directing Attorney Objection.

  • Speculation.

27
  • Crossing Attorney How can you say his pastries
    were not good!? Are you familiar with the
    Freedonian customs and food choices?
  • Directing Attorney Objection. Argumentative.

ANSWER
28
  • Crossing Attorney How can you say his pastries
    were not good!? Are you familiar with the
    Freedonian customs and food choices?
  • Directing Attorney Objection.

  • Argumentative.

29
  • Crossing Attorney Miss Bass, what was this
    pastry salesmans financial situation?
  • Directing Attorney Objection. Lack of Personal
    Knowledge.

ANSWER
30
  • Crossing Attorney Miss Bass, what was this
    pastry salesmans financial situation?
  • Directing Attorney Objection.
  • Lack of Personal
    Knowledge.

31
  • Directing Attorney Miss Bass, lets go back a
    little to something we forgot to talk about my
    first time around questioning you
  • Crossing Attorney Objection. Beyond the scope.

ANSWER
32
  • Directing Attorney Miss Bass, lets go back a
    little to something we forgot to talk about my
    first time around questioning you
  • Crossing Attorney Objection.
  • Beyond
    the scope.

33
  • Rankin Well, let me start from the
    beginning(talks for 1 minute)
  • Crossing Attorney Objection. Narrative.

ANSWER
34
  • Rankin Well, let me start from the
    beginning(talks for 1 minute)
  • Crossing Attorney Objection.

  • Narrative.

35
  • Crossing Attorney Miss Bass, do you have a
    criminal record?
  • Rankin No.
  • Crossing Attorney But I have here that youve
    been busted for speeding, and it looks like you
    received a ticket.
  • Directing Attorney Objection. _____________

36
  • Crossing Attorney Miss Bass, do you have a
    criminal record?
  • Rankin No.
  • Crossing Attorney But I have here that youve
    been busted for speeding, and it looks like you
    received a ticket.
  • Directing Attorney Objection.
  • This question calls for improper character
    evidence.

37
  • Crossing Attorney Miss Bass, this pastry
    salesman allegedly attended Knave meetings?
  • Rankin Of course he sold pastries.
  • Crossing Attorney But he did attend Knave
    meetings?
  • Rankin Well, yes and no. I heard him say
    something, but I cant really tell for sure.
  • Crossing Attorney So is that a yes or a no?
  • Rankin Well
  • Crossing Attorney Objection. Unresponsive.
  • (Usually the attorney does not say objection
    for this.)

ANSWER
38
  • Crossing Attorney Miss Bass, this pastry
    salesman allegedly attended Knave meetings?
  • Rankin Of course he sold pastries.
  • Crossing Attorney But he did attend Knave
    meetings?
  • Rankin Well, yes and no. I heard him say
    something, but I cant really tell for sure.
  • Crossing Attorney So is that a yes or a no?
  • Rankin Well
  • Crossing Attorney Objection.
  • Unresponsive.
  • (Usually the attorney does not say objection
    for this.)

39
  • Directing Attorney And what, if anything, did
    this salesman say?
  • Crossing Attorney Objection. Hearsay.

ANSWER
40
  • Directing Attorney And what, if anything, did
    this salesman say?
  • Crossing Attorney Objection.

  • Hearsay.

41
  • Crossing Attorney Miss Bass, what hand did you
    hold the gun in?
  • Directing Attorney Objection! Assumes facts not
    in evidence.

ANSWER
42
  • Crossing Attorney Miss Bass, what hand did you
    hold the gun in?
  • Directing Attorney Objection!
  • Assumes facts not
    in evidence.

43
  • Directing Attorney (1st Question) Miss Bass,
    will you please tell the court about the incident
    concerning the pastry salesman.
  • Crossing Attorney Objection. Lack of foundation.

ANSWER
44
  • Directing Attorney (1st Question) Miss Bass,
    will you please tell the court about the incident
    concerning the pastry salesman.
  • Crossing Attorney Objection. Lack of foundation.

45
  • Crossing Attorney You heard this pastry salesman
    say business had gone down?
  • Rankin Yes.
  • Crossing Attorney Youre telling me that you
    heard him say his business had gone down?
  • Rankin Yes.
  • Crossing Attorney How can you be sure of this?
    Were you part of his business?
  • Directing Attorney Objection. Badgering.

ANSWER
46
  • Crossing Attorney You heard this pastry salesman
    say business had gone down?
  • Rankin Yes.
  • Crossing Attorney Youre telling me that you
    heard him say his business had gone down?
  • Rankin Yes.
  • Crossing Attorney How can you be sure of this?
    Were you part of his business?
  • Directing Attorney Objection.

  • Badgering.

47
  • Directing Attorney Rankin, you said the pastries
    tasted bad, right?
  • Crossing Attorney Objection. Leading.

ANSWER
48
  • Directing Attorney Rankin, you said the pastries
    tasted bad, right?
  • Crossing Attorney Objection.
  • Leading.

49
One final note
  • Keep in mind that the vast majority of objections
    in the Mock Trial universe will not be even close
    to this easy or clear cut. Most objections can be
    overlapped. Other things may seem objectionable
    when in actuality they are not.
  • Keep practicing the objections and hopefully you
    will have them mastered by the time the
    competition comes around.
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