
Claude Skills by CaseMark
github.com/CaseMarkDrafts DD Form 254 Contract Security Classification Specifications for classified government contracts. Use when preparing security classification specs for prime contractors, subcontractors, SAP/SCI access, or facility clearance documentation per NISPOM (32 CFR Part 117) and DCSA regulations.
Cross-references a judge's decision, court opinion, or final order against one or more hearing/trial/deposition transcripts to verify whether the record supports each finding. Produces strict dual-citation blocks with document names, page/line references, and verbatim quotes from both sources. Use when preparing appellate review, post-trial motions, record discrepancy audits, or transcript-based fact checks of judicial findings.
Drafts a Deed in Lieu of Foreclosure Agreement for U.S. real estate transactions where a borrower voluntarily conveys property to a lender in full satisfaction of defaulted debt. Use when documenting a deed-in-lieu transaction during default, workout, or settlement phases of a secured real estate loan.
Drafts a recordable U.S. Deed of Gift for voluntary, no-consideration transfers of real or personal property. Enforces party identification, unambiguous property descriptions, jurisdiction-specific execution formalities, donative intent recitals, and recordability requirements. Trigger keywords: "deed of gift", "gift deed", "property gift", "donative transfer", "estate planning gift", "charitable gift conveyance".
Drafts combined Deed of Trust and Security Agreement instruments creating real property and UCC Article 9 personal property security interests for commercial financing. Use when drafting trust deeds, security agreements, commercial real estate financing documents, or combined real/personal property security instruments.
Drafts U.S. healthcare corrective action plans (CAPs / plans of correction) responding to survey deficiencies, audits, or inspections. Produces deficiency statements, root cause analysis, corrective actions, accountability assignments, timelines, monitoring, and validation aligned to CMS, Joint Commission, and state health department standards. Triggers on CAP, plan of correction, statement of deficiencies, survey findings, accreditation response, regulatory remediation, QAPI corrective action.
Drafts litigation-ready U.S. pre-suit demand letters that function as settlement instruments and defensible future exhibits. Enforces element-driven narratives, verified authority, damages methodology, and ethics guardrails. Use this skill when the user mentions demand letter, pre-suit demand, breach and cure notice, settlement demand, insurance policy-limits demand, Stowers demand, FDCPA collection letter, notice of intent to file, cease and desist demand for payment, or pre-litigation corre...
Compiles pre-suit and settlement demand packages for U.S. commercial litigation plaintiff matters. Assembles demand letter with chronological facts, liability theories, itemized damages, and indexed exhibits. Use when drafting pre-filing demand packages, settlement demand letters with exhibit bundles, or structured pre-litigation claim presentations.
Compiles pre-suit or pre-settlement demand packages for U.S. commercial litigation plaintiffs. Assembles demand letter, damages calculation, and exhibit set. Use when drafting demand packages, pre-litigation settlement demands, or breach-and-cure notices.
Generates a strategically sequenced deposition outline for examining a defendant's HR Manager in employment litigation, covering witness background, policy compliance, employment history, termination pretext testing, document authentication, and comparator analysis. Use when preparing HR manager deposition, employment discrimination discovery, wrongful termination deposition prep, or structuring employment case examination.
Generates behavioral coaching materials for deposition witnesses, covering the SHAQ method, golden rules, difficult question handling, composure techniques, and phrase scripts. Use when preparing a witness for deposition, running a witness prep session, or creating take-home coaching materials. Companion to deposition-witness-prep-session. Applies to U.S. federal and state civil litigation.
Produces litigation-grade U.S. deposition summaries with exact page-line citations, topical organization, and strategic analysis of admissions, inconsistencies, objections, and exhibits. Use when asked for deposition summaries, page-line or P&L citations, depo analysis, impeachment review, cross-exam prep, or motion-support summaries.
Guides strategy for apex witness depositions of C-suite executives and senior government officials. Covers asserting and overcoming the apex doctrine on both plaintiff and defense sides. Drafts motions to compel, protective orders, objection letters, examination outlines, and witness prep plans. Use when seeking or defending a deposition of a CEO, CFO, board member, agency head, or other apex witness.
Assembles and organizes documents for deposition preparation, producing a document inventory, exhibit list, impeachment index, and gap analysis. Use before building a deposition outline for any deponent type (fact witness, party, corporate rep/30(b)(6), expert) in US federal or state litigation.
Supplies claim-specific deposition frameworks for employment litigation (discrimination, harassment, retaliation, wrongful termination, wage/hour). Triggers when preparing or conducting depositions in employment cases under Title VII, ADA, ADEA, FLSA, or state equivalents. Use alongside @deposition-preparation.
Guides the FRCP 30(e) errata sheet process — submitting corrections for your witness and challenging improper opposing corrections. Covers change permissibility, jurisdictional splits, errata formatting, motions to strike, and impeachment use. Use when reviewing a deposition transcript for corrections, responding to an opposing errata sheet, or preparing cross-examination on changed testimony.
Drafts deposition-ready impeachment sequences using the Commit–Credit–Confront (CCC) method. Use this skill when the user mentions impeachment preparation, prior inconsistent statements, Commit-Credit-Confront, CCC method, deposition cross-examination, FRE 613, witness contradictions, impeachment scripts, prior testimony conflicts, or asks for help building impeachment sequences. Also trigger when the user references creating transcript clips for summary judgment, preparing confrontation ques...
Provides IP-specific deposition examination frameworks for patent, trademark, copyright, and trade secret cases. Covers inventor, infringer, licensing, and expert witnesses with question maps for claim construction, prior art, willfulness, Georgia-Pacific factors, likelihood of confusion, and trade secret identification. Use when preparing IP litigation depositions alongside @deposition-preparation and @deposition-expert-witness.
Supplements general deposition preparation with IP-specific examination frameworks for patent, trademark, copyright, and trade secret cases. Covers witness strategies for inventors, accused infringers, licensing witnesses, and experts. Use alongside @deposition-preparation and @deposition-expert-witness when planning IP depositions, drafting outlines, or analyzing witness strategy.
Drafts federal civil deposition notices (FRCP 30(b)(1), 30(b)(6)) and Rule 45 subpoenas for testimony and/or documents. Use when the user mentions deposition notice, 30(b)(1), 30(b)(6), Rule 45, subpoena, subpoena duces tecum, nonparty deposition, Schedule A, AO 88A/88B, 30(b)(6) topic lists, witness fee tenders, Rule 45(c) location limits, or pre-service notice requirements. Also trigger for "I need to depose someone" or "draft a subpoena for documents."
Drafts U.S. deposition notices (party, non-party subpoena, Rule 30(b)(6)), cover letters, scheduling letters, and proofs of service. Use when preparing or serving deposition notices or subpoenas in federal or state court. Triggers: deposition notice, notice of deposition, 30(b)(6), corporate representative, subpoena, subpoena duces tecum, AO 88A, witness fee, proof of service, scheduling letter.
Provides a quick reference for deposition objections under FRCP 30(c)(2), including form objections, substantive objections, waiver rules, and the three exclusive grounds for instructing a witness not to answer. Use when preparing for depositions, assisting during live depositions, conducting witness prep, or analyzing deposition transcripts for objection issues.
Provides deposition objection reference under FRCP 30(c)(2) covering form objections, substantive objections, instructions not to answer, and strategy for taking and defending depositions. Use when preparing for depositions, making or responding to objections during testimony, defending witnesses, handling 30(b)(6) corporate representative depositions, or drafting deposition-related motions.
Creates strategically organized deposition outlines for examining HR managers in employment litigation. Covers hiring practices, personnel files, complaint investigations, termination procedures, comparative treatment, policy compliance, and impeachment preparation. Use when deposing an employer's HR representative or preparing for HR manager examination.
Produces a comprehensive deposition preparation package for taking or defending depositions in U.S. civil litigation. Use this skill whenever the user mentions deposition prep, depo outlines, witness examination planning, deposition strategy, cross-examination preparation, 30(b)(6) witness prep, expert deposition planning, impeachment materials, or asks for help preparing to take or defend any deposition. Also trigger when the user references FRCP 30, deposition notices, deposition exhibit st...
Generates deposition question sequences using six core examination techniques (Funnel, Boxing-In, Looping, Three C's impeachment, evasive witness handling, admission ladders). Use when preparing deposition outlines, building question sequences for specific topics, impeaching with prior inconsistent statements, or controlling evasive witnesses.
Drafts U.S. federal deposition notices and subpoenas under FRCP 30(b)(1), 30(b)(6), and 45. Trigger when the user needs a deposition notice, 30(b)(6) topic list, Rule 45 subpoena, subpoena duces tecum, or discovery enforcement package. Also trigger on mentions of AO 88A/88B, witness fees, motion to compel, or deposition scheduling.
Summarizes deposition transcripts with precise page:line citations. Supports sequential, topic-based, and strategic deep-analysis formats. Use when a user provides a deposition transcript and requests a summary, depo digest, testimony analysis, or impeachment identification.
Produces a topic-based U.S. deposition summary with page/line citations and a keyed exhibit index linking testimony to documents. Use when creating deposition digests, exhibit-linked summaries, key document indexes, or discovery testimony maps in commercial litigation.
Creates topic-based deposition summaries with exhibit-to-transcript citation mapping for U.S. commercial litigation. Use when a user provides a deposition transcript and requests a witness summary, deposition digest, exhibit index, cross-examination prep, or discovery-analysis packet.
Transforms deposition transcripts into topic-organized narrative memoranda with page-line citations, flagged admissions, contradictions, and credibility issues. Use when summarizing depositions, condensing transcripts for trial prep, or building case strategy during discovery or pre-trial phases.
Generates page-line deposition summaries from U.S. litigation transcripts with citation-anchored flagging for admissions, inconsistencies, objections, and exhibits. Trigger when summarizing depositions, preparing cross-examination outlines, identifying impeachment material, or building evidentiary records.
Generates topic-based deposition summaries for commercial litigation with exhibit cross-referencing. Produces a two-column table (page:line | neutral summary) with embedded exhibit citations. Use when summarizing depositions, creating deposition digests, indexing exhibits, or preparing witness testimony summaries during discovery.
Analyzes deposition transcripts to extract litigation work product including executive summaries, testimony indexes, admission compilations, impeachment maps, credibility assessments, motion/trial designations, and follow-up checklists. Use when reviewing a deposition for case strategy, summary judgment prep, trial prep, or post-deposition analysis. Triggers: deposition analysis, transcript review, testimony index, admissions, impeachment, trial designations.
Drafts a U.S. Depository Account Agreement governing the institution–depositor relationship for checking, savings, money market, and CD accounts. Enforces Regulation CC (funds availability), Regulation E (electronic fund transfers), Regulation DD (truth in savings), BSA/AML, PATRIOT Act, and OFAC. Embeds required disclosures, liability limits, error resolution, fee structures, and ownership provisions. Trigger keywords: "depository account agreement", "deposit account terms", "checking accoun...
Drafts U.S. commercial real estate owner-developer agreements covering scope, entitlements, schedule, pricing (fixed, GMP, cost-plus), change orders, payment and retainage, insurance, indemnity, IP, confidentiality, termination, and disputes. Use when user mentions "development agreement", "owner-developer agreement", "project development contract", "real estate development", "GMP", "cost-plus", "milestones", or "change orders".
Generates Bluebook-cited summaries of digital media law across copyright/IP, privacy/data protection, and content liability pillars. Trigger when tracking digital media law developments, advising platforms or creators, preparing regulatory updates, or researching Section 230, DMCA, GDPR/CCPA, or online speech frameworks.
Drafts U.S. bankruptcy DIP financing motions under 11 U.S.C. §§ 361-364, including superpriority claims, priming liens, and adequate protection. Use when preparing a DIP financing motion, Section 364(c)/(d) motion, priming lien motion, or emergency post-petition financing request.
Drafts a Directed Share Program (DSP) agreement governing share allocation and purchase by designated participants in a U.S. public offering or IPO. Covers eligibility, allocation methodology, pricing, settlement, lock-up, indemnification, and SEC/FINRA compliance. Use when preparing DSP documentation for underwritten public offerings, IPO directed share programs, or controlled share purchase programs for employees, directors, and business associates.
Drafts U.S. director indemnification agreements maximizing protection under state corporate law, with advancement of expenses and determination procedures. Use when drafting or updating a director indemnification agreement, onboarding directors, strengthening governance beyond bylaws, or coordinating with D&O coverage. Triggers: indemnification agreement, director advancement, corporate governance, D&O, DGCL 145.
Drafts indemnification agreements between corporations and directors covering expense advancement, indemnification determinations, D&O insurance coordination, and successor obligations. Use when drafting director indemnification agreements, expense advancement provisions, or D&O indemnity contracts.
Drafts Director and Officer (D&O) questionnaires for SEC disclosure compliance under Reg S-K Items 401, 402, 404, and 407. Covers biographical data, board service, conflicts of interest, related party transactions, legal proceedings, and beneficial ownership. Use when preparing annual proxy questionnaires, pre-IPO governance documentation, M&A due diligence packages, or independence assessments.
Drafts a U.S. bankruptcy adversary complaint under 11 U.S.C. §523 to determine non-dischargeability of debt. Use when a creditor, assignee, or subrogee needs a complaint for Bankruptcy Court with §523 theories (fraud, fiduciary defalcation, willful/malicious injury). Trigger when inputs include debtor case data, petition/§341 dates, transaction facts, and target §523 subsections.
Drafts and populates M&A disclosure schedules that except known items from representations and warranties in definitive agreements (merger, stock purchase, asset purchase). Use when drafting, reviewing, or negotiating disclosure schedules, reps and warranties exceptions, seller disclosures, or transaction closing schedules.
Drafts a Chapter 11 Disclosure Statement compliant with 11 U.S.C. § 1125 and FRBP 3016(b). Use when preparing the disclosure statement that accompanies a proposed reorganization plan, covering debtor background, class treatments, liquidation analysis, projections, risk factors, and voting procedures.
Drafts a combined Demand for Discovery and Bill of Particulars for U.S. criminal or civil litigation. Extracts case details, identifies underspecified allegations or evidence gaps, and produces numbered discovery requests paired with particularization demands. Use after initial pleadings or return date when charges or claims lack specificity, evidence is opaque, or trial-preparation disclosures are incomplete. Trigger keywords include discovery demand, bill of particulars, motion to compel, F...
Builds and maintains a litigation-grade discovery deficiency and meet-and-confer tracker for compulsion motion practice. Use this skill when the user mentions deficient discovery responses, motion to compel preparation, meet-and-confer tracking, FRCP 37 sanctions, discovery dispute charts, joint discovery letters, informal discovery conferences, deficiency logging, or California Separate Statements. Also trigger when the user references boilerplate objections, privilege log deficiencies, inco...
Drafts discovery dispute resolution letters documenting meet-and-confer efforts and unresolved issues in U.S. litigation. Use when drafting meet-and-confer letters, discovery conference follow-ups, or pre-motion to compel correspondence during the discovery phase.
Summarizes discovery documents (depositions, emails, contracts, interrogatories, medical/financial records) with Bates citations, impeachment flags, timeline extraction, and privilege alerts. Use when summarizing produced documents during discovery or pre-trial phases of U.S. commercial litigation.
Drafts Joint Discovery Plans and Proposed Scheduling Orders under FRCP 26(f) or state equivalents. Analyzes pleadings, court requirements, and case complexity to produce discovery timelines, ESI protocols, privilege procedures, and scheduling deadlines. Use when preparing Rule 26(f) reports, proposed scheduling orders, case management plans, or discovery frameworks after meet-and-confer.