Use the skill in Claude
Paste a transcript, a records packet or a police report and get firm-quality work back in minutes. Someone still has to start it.

Ready-made skills that teach Claude how a PI firm works, from the first call to the verdict. Download one, upload it to Claude, and your team uses it today. Free, no signup.
Each skill is a folder of instructions Claude follows every time. Download it, upload it to Claude or drop it into Claude Code, and the next prompt uses it.
A complete intake form covering the incident, injuries, treatment, insurance and authorizations.
Turns the first call with a potential client into a screening memo.
An accept/decline memo covering liability, damages and the statute of limitations.
Drafts the contingency fee and retainer agreement.
A compliant authorization for releasing the client's medical records.
Checks that the sign-up packet is complete before the file moves on.
An evidence preservation demand with the evidence itemized.
A litigation hold covering physical evidence and electronic data.
Summarizes the police report and flags discrepancies.
Parties, narrative, witnesses and contributing factors from an incident report.
Key facts and credibility indicators from each witness statement.
Maps each negligence element to the evidence, and shows the gaps.
A dated, source-cited timeline of the case.
A page-cited treatment timeline built from the medical records.
Finds treatment gaps, missing providers and records still to request.
A narrative treatment summary ready for the demand package.
Checks billing codes against the medical records.
Turns ICD-10 and CPT codes into plain-English descriptions.
Standard-of-care breaches, causation and damages in one summary.
Specials and generals, calculated by multiplier and per diem.
Past and future wage loss, reduced to present value.
Wage history from tax returns and pay stubs.
Drafts the full pre-suit demand letter with sourced facts and a damages methodology.
A time-limited policy limits demand that sets up bad faith exposure.
Liability, injury chronology, itemized damages and settlement position.
Assembles the letter, damages calculation and indexed exhibits.
Coverage, limits and endorsements from the policy.
Claim file status and each side's position.
Summarizes reservation-of-rights and denial letters.
Leverage and risk analysis for settlement talks.
Offer and counteroffer history with a trial-risk evaluation.
A lien audit with payoff amounts.
Fees, costs, liens and the net to the client.
A PI release, including the California unknown-claims waiver.
Releases, payment terms and dismissal.
Confirmation letters after the case settles.
Drafts a negligence complaint pleading duty, breach, causation and damages for auto, premises and other PI claims.
Civil cover sheet, summons, service instructions, proof of service and a filing checklist.
A jury demand with the filing deadline, jury fee and waiver traps covered.
Plaintiff's interrogatories to the defendant, within numerical and subpart limits.
Numbered admission requests built from the case documents, including document authentication.
Builds responses to requests for production under California rules.
Verification pages for California interrogatory and production responses, with the perjury declaration.
A California-compliant privilege log for withheld or redacted documents.
Reconciles provider, wage and lien data against draft responses.
An issue-based memo with deficiency tracking.
Flags objections, evasions and inconsistencies in the other side's answers.
Logs the production and flags hot documents.
Checks the other side's responses are verified and on time.
Tracks deficient responses and meet-and-confer history, ready for a motion to compel.
A meet-and-confer letter on deficient discovery responses.
The motion, supporting declaration and proposed order.
The California separate statement for a motion to compel, in verbatim request-response format.
A records-only subpoena.
Deposition notices, subpoenas, scheduling letters and proofs of service.
Preparation for taking or defending a deposition.
Deposition outlines with damages and causation modules.
Question sequences using funnel, boxing-in, looping and other examination techniques.
Impeachment sequences using the commit, credit, confront method.
Notice topics, outlines and strategy for corporate representative depositions.
An objection reference for taking and defending depositions.
Corrects your witness's transcript and challenges improper changes by the other side.
Prepares your client for deposition over two sessions.
Take-home coaching materials that keep a deponent calm and on message.
A page-line summary flagging admissions, inconsistencies, objections and exhibits.
A topic-organized narrative memo of the transcript with page-line cites.
Maps admissions and impeachment material in a transcript.
Expert disclosures covering qualifications, opinions, methodology and compensation.
A plaintiff-side critique of the defense medical exam, with cross points.
Admissibility issues and cross-examination vulnerabilities in an expert report.
Outlines for taking or defending an expert deposition, built to test the methodology.
Finds inconsistencies, opinion shifts and credential problems across an expert's reports and testimony.
Finds the records the expert skipped.
A persuasive mediation statement covering liability, damages, medical evidence and settlement position.
A mediation brief that walks the mediator through facts, law, damages and litigation risk.
A complete summary judgment motion package for PI litigation.
Case theory, discovery plan and strategy across the whole litigation.
A pre-trial brief that frames the case theory and sets up evidentiary rulings.
A quick-reference trial summary of facts, issues, evidence, witnesses and strategy.
The pre-trial statement, including witness and exhibit lists.
Proposed jury instructions adapted to the jurisdiction's pattern instructions.
A verdict form covering liability, comparative fault and damages in a logical flow.
Cross-examination material organized by witness and theme, with pinpoint cites.
A post-trial memo on the verdict, damages, key rulings and next steps.
A writ of execution and levy instructions for collecting a money judgment.
A skill makes the person using Claude faster. Lawtte runs the same work on its own, on every call, at any hour.
Paste a transcript, a records packet or a police report and get firm-quality work back in minutes. Someone still has to start it.
Every skill depends on someone answering the phone, asking the right questions and writing them down. After hours and at lunch, nobody does.
Lawtte picks up every call, runs a PI intake, books the consultation and hands your team a finished summary. Set it up in about 10 minutes.

Bring a call your firm handles every week. We'll show how Lawtté answers it, captures the right information, completes the next step, and sends the result into your workflow.