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Expert Witness : Alvin Schonfeld DO


Case Victoria Murar vs. Republic Rubber, et al.
Testimony Date October 13, 2003
Expert Type Pulmonary
Court State: Ohio County: Mahoning
Pages 97
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                                                                     1
              IN THE COURT OF COMMON PLEAS
                 OF MAHONING COUNTY, OHIO
     
     
     VICTORIA MURAR,
                Plaintiff,
          vs.                         Case No.
     REPUBLIC RUBBER,                 02CV01968
     et al.,
                Defendants.
     
     
                        ~ ~ ~ ~ ~
                 Videotape deposition of ALVIN J.
     SCHONFELD, D.O., called for examination under
     the statute, taken before me, Denise M.
     Munguia, a Registered Merit Reporter and Notary
     Public in and for the State of Ohio, pursuant
     to notice and stipulations of counsel, at the
     offices of Kelley & Ferraro, LLP, 1901 Penton
     Media Building, 1300 East Ninth Street,
     Cleveland, Ohio, on Monday, October 13, 2003,
     at 10:46 o'clock p.m.
     
                        ~ ~ ~ ~ ~

                                                                     2
 1   APPEARANCES:
 2   
 3        On behalf of the Plaintiff:
 4              Kelley & Ferraro, LLP, by
 5               LORI ANN LUKA, ESQ.
 6              1901 Penton Media Building
 7              1300 East Ninth Street
 8              Cleveland, Ohio  44114
 9              (216) 575-0777
10   
11        On behalf of the Defendant Administrator,
12        Bureau of Workers' Compensation:
13              State of Ohio, Office of the
14              Attorney General, by
15              SCOTT JOHNSON, ESQ.
16              615 West Superior Avenue 11th Floor
17              Cleveland, Ohio  44113-1899
18              (216) 787-3030
19   
20   ALSO PRESENT:
21              Katie Joyce
22               Barbara Knapic, Esq.
23               Joe Ockuly
24               Steve Soltz, CLVS
25                         ----

                                                                     3
 1               MS. KNAPIC:  My name is Barbara
 2   Knapic and I am attending this deposition as an
 3   observer.  My attendance does not constitute a
 4   waiver of any affirmative defenses that have
 5   been raised previously on behalf of my client.
 6               MR. JOHNSON:  You done, Barb?
 7               MS. KNAPIC:  I'm finished, thank
 8   you.
 9               MR. JOHNSON:  Okay.  On behalf of
10   the administrator, a few things.  I'm just
11   essentially going to object to this deposition
12   going forward and that any testim