The Sham Affidavit Doctrine in Texas, 66 Tex. B.J. 962 (Dec. 2003)
What Do Jurors Say About Trial Lawyers?, 68 Tex. B.J. 152 (Feb. 2005)
Why Can't Lawyers Preserve Objections?, 69 Tex. B.J. 316 (April 2006)
Texas Voir Dire: The Rules Have Changed, 69 Tex. B.J. 512 (June 2006)
Practical Issues When Litigating the Trans-Border Dispute in Texas, 70 Tex. B. J. 130 (Feb. 2007)
Parol Evidence in Breach of Contract cases, 39 The Advocate, State Bar Litigation Section Report 44 (Summer 2007)
What Are the 10 Hardest Questions?, 39 The Advocate, State Bar Litigation Section Report 79 (Summer 2007)
Show It, Don't Just Say It!, 40 The Advocate, State Bar Litigation Section Report 107 (Fall 2007)
Make Your Briefs Graphic, 41 The Advocate, State Bar Litigation Section Report 80 (Winter 2007)
Close the Gates, 43 The Advocate, State Bar Litigation Section Report 70 (Summer 2008)
Paid Or Incurred An Enigma Shrouded in a Puzzle, 71 Tex. B. J. 812 (November 2008)
Folklore and Myths, 44 The Advocate, State Bar Litigation Section Report 153 (Fall 2008)
The Oral Hearing, 45 The Advocate, State Bar Litigation Section Report 134 (Winter 2008)
The Bench Trial: It Really is Different, 47 The Advocate, State Bar Litigation Section Report 92 (Summer 2009)
Randy Wilson, "Legal Lessons for the Next Generation," 38 Texas Lawyer, Vol. 25, p 39 (Dec. 21, 2009) ("Reprinted with permission from the (Dec. 21, 2009) edition of Texas Lawyer (c) 2009 ALM Properties, LLC. All rights reserved. Further duplication without permission is prohibited.")
Impeaching With a Prior Deposition. 48 The Advocate, State Bar Litigation Section Report 113 (Fall 2009)Voir Dire Checklist (Personal Injury Case). 49 The Advocate, State Bar Litigation Section Report 73 (Winter 2009)