posted by admin on Feb 1
31
1 Q You do know the difference between a
2 deceleration and bradycardia, don’t you?
3 A No. What do you mean?
4 Q A deceleration, as you’ve testified in many Read the rest of this entry »
posted by admin on Feb 1
31
1 Q You do know the difference between a
2 deceleration and bradycardia, don’t you?
3 A No. What do you mean?
4 Q A deceleration, as you’ve testified in many Read the rest of this entry »
posted by admin on Feb 1
26
1 to that question?
2 A I would say — I would say that most of
3 those six hours were occupied with thought about this
4 general question. Read the rest of this entry »
posted by admin on Feb 1
21
1 Q Do you use the K.K.stationery
2 when you write your reports?
3 A Yeah.
4 Q Who types up your reports, sir?
5 A I generally do. It depends if — if I’ve
6 seen a patient, and it’s, you know, an official — part Read the rest of this entry »
posted by admin on Feb 1
16
1 A Yeah, I’ve testified on that on numerous
2 occasions, sure.
3 Q Oh, okay. Can you list for me any of those
4 numerous occasions where you’ve testified that the Read the rest of this entry »
posted by admin on Feb 1
11
1 Q – list for me the other material you were
2 sent to review in connection with this case.
3 A Okay. I got a report from Dr. G.. A Read the rest of this entry »
posted by admin on Feb 1
6
1 deposition of Dr. H., deposition of Dr. P.. I
2 looked at brain images. I looked at ultrasound from
3 September 15th. I looked at MRI scan from September
4 18th. I looked at ultrasound from September 21st, an
5 ultrasound from September 27th. I looked at ultrasound
6 from October 10th. I looked at a CT scan from March Read the rest of this entry »
posted by admin on Feb 1
1
1 IN THE COURT OF COMMON PLEAS
LORAIN COUNTY, OHIO
2
3 T.L.G., Minor *
by her parent and next
4 friend, D.K.G., * Case No.
Plaintiffs
5 * Read the rest of this entry »
posted by admin on Jan 14
3 IN THE CIRCUIT COURT FOR MONTGOMERY COUNTY
MARYLAND
4 —————————————-X
________, a Minor
5 by her parents and next friends,
________ and ________,
6 et al.,
7 Plaintiffs,
8
-against- No. 206890
9
10 ________ ADVENTIST HOSPITAL, INC.,
________, M.D., et al.,
11
Defendants.
12 —————————————-X
13 .. .. Broadway
Port Jefferson, New York
14
January 25, 2001
15 1:30 p.m.
16
17
18 DEPOSITION of ________, M.D.,
19 an Expert Witness herein, taken by the
20 Plaintiffs, pursuant to Notice, held at the
21 above-noted time and place before a Notary
22 Public of the State of New York.
23
24
25
ALLIANCE REPORTING SERVICE, INC. * (516) 741-7585
< !–nextpage–>
1
2
A P P E A R A N C E S:
3
4 JANET, WILLOUGHBY & GERSHON, LLC
Attorneys for Plaintiffs
5 Executive Center at Hooks Lane
Eight Reservoir Circle – Suite 200
6 Baltimore, Maryland 21208
7 BY: ZEV T. GERSHON, ESQ.
(Via Speakerphone)
8
9
EPSTEIN, BECKER & GREEN, P.C.
10 Attorneys for Defendant – ________
Adventist Hospital, Inc.
11 1227 25th Street, N.W.
Washington, D.C. 20037-1156
12
BY: JOANNA JESPERSON, ESQ., of Counsel
13 (Via Speakerphone)
14
15 ARMSTRONG, DONOHUE, CEPPOS & VAUGHAN, ESQS.
Attorneys for Defendant – ________, M.D.
16 204 Monroe Street – Suite 101
Rockville, Maryland 20850
17
BY: KENNETH ARMSTRONG, ESQ.
18 (Via Speakerphone)
19
20 DeCARO, DORAN, SICILIANO, GALLAGHER &
DeBLASIS, LLP
21 Attorneys for Defendant – Adventist Preferred
Nursing
22 4601 Forbes Boulevard – Suite 200
P.O. Box 40
23 Lanham, Maryland 20703-0040
24 BY: MARY-LEE MILLER, ESQ., of Counsel
(Via Speakerphone)
25
ALLIANCE REPORTING SERVICE, INC. * (516) 741-7585