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In mediation, the audience is the person with settlement authority, not the neutral mediator. A mediation opening statement should increase the adversary's litigation risk, present a credible and likable client, and focus on demonstrating potential doubts about the adversary's ability to win.
Good afternoon, my name is _______________ and I am serving as your mediator today. ... Are you here in good faith? ... Both the mediation agreement and the resulting settlement agreement, if any, are not confidential. ... ____ INTRODUCE yourself and (if applicable) your co-mediator.
Provide a concise summary of the facts and claims. The mediator will not have the patience or need to read an appellate brief. Avoid prose but use headings and bullet points to organize the section, and to summarize the claims, defenses and background about the parties.
I'm (Mediator's Name) and this is (Mediator's Name). We will be serving as your Mediators. You may call us by our first names; how would you like us to address you? The purpose of our meeting is to help you work out an understanding acceptable to both of you to resolve the situation that has been developing for you.
A: Generally speaking, professional mediation statements should include the names of all parties involved in the dispute resolution process, their respective goals for the process, any additional information relevant to the resolution process, and a clear description of how any disputes or disagreements should be ...