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1
1 IN THE COURT OF COMMON PLEAS
STARK COUNTY, OHIO
2
Case No 2003 CVO 0212
3
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4 DEPOSITION OF ALVIN J SCHONFELD, DO
5
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ALBERT DUCKWORTH,
6
Plaintiff,
7
v
8
THE TIMKEN COMPANY, et al,
9
Defendants
10
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The deposition of ALVIN J SCHONFELD, DO was
11 taken by the Plaintiff on June 10, 2003, at the Park
Hyatt Beaver Creek Resort and Spa, 136 East Thomas
12 Place, Beaver Creek, Colorado commencing at the hour of
9:32 am, before ROSANNE M STAHL, Certified Shorthand
13 Reporter and Notary Public within and for the State of
Colorado
14
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15 A P P E A R A N C E S
16 COREY W FROST, ESQ
KELLEY & FERRARO, LLP
17 1300 East Ninth Street, Suite 1901
Cleveland, OH 44114
18 Ph 216-575-0777
19 STEPHEN E MATASICH, ESQ
DAY, KETTERER, RALEY, WRIGHT & RYBOT, LTD
20 Millennium Centre, Suite 300
200 Market Avenue, North
21 PO Box 24213
Canton, Ohio 44701-4213
22 Ph 330-445-0173
23
24
25
2
1 INDEX
2 EXAMINATION BY PAGES
3 MR FROST (CREDENTIALS) 4 - 21
MR FROST 21 - 38
4 MR MATASICH 38 - 61
MR FROST 61 - 68
5 MR MATASICH 68 - 69
6 -----------------------------------------------------------
REPORTER'S CERTIFICATE 70
7
DEPONENT'S SIGNATURE PAGE and
8 CORRECTION SHEET ADDENDUM WAIVED
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9 EXHIBITS
10 DEPOSITION INITIAL
EXHIBIT REFERENCE BRIEF DESCRIPTION
11
4 36 01/24/00, B READ REPORT FOR
12 ALBERT DUCKWORTH BY DR
SCHONFELD
13
5 26 07/16/02 SPIROMETRY TEST
14 FOR ALBERT DUCKWORTH
15 6 23 07/16/02 MEDICAL HISTORY FOR
ALBERT DUCKWORTH
16
7 27 07/16/02 WRITTEN REPORT BY
17 DR SCHONFELD, PATIENT:
ALBERT DUCKWORTH
18
8 20 CURRICULUM VITAE OF ALVIN J
19 SCHONFELD, DO
20
21
22
23
24
25
3
1 (The following proceedings were not recorded on
2 the videotape at 9:32 am)
3 MR FROST: This morning, following the conclusion
4 of the deposition of Dr Shonfeld in Albright v Timken
5 Company, there was a discussion between counsel in which
6 it has been agreed, and I appreciate Mr Matasich's
7 Cooperation in this matter, to do -- or to use the
8 previously-recorded testimony of Dr Shonfeld in the
9 Albright v Timken matter as it relates expressly and
10 only to his credentials and experience as a preliminary
11 or precursory to the deposition in the matter of
12 Duckworth v The Timken Company
13 That wasn't very artful, but is that it
14 essentially, Mr Matasich?
15 MR MATASICH: That's correct And, of course,
16 our agreement is subject to our objections that were
17 noted during the course of that portion of the direct
18 examination
19 MR FROST: Very good
20 (The following excerpt of testimony of the
21 credentials of Dr Alvin Schonfeld, DO, was taken on
22 06/10/03, 7:32 am in the case of Albright v Timken,
23 2003 CVO 0216, and inserted into this transcript
24 pursuant to the above agreement)
25
4
1 ALVIN J SCHONFELD, DO,
2 the deponent herein, having been duly sworn, was
3 examined and testified as follows:
4 EXAMINATION
5 BY MR FROST:
6 Q Good morning, Doctor
7 A Good morning
8 Q I don't have my voice yet Would you introduce
9 yourself to the jury, please?
10 A My name is Alvin Schonfeld I'm a physician, and
11 I specialize in diseases of the lung
12 Q Could you tell the jury about your academic and
13 professional backgro
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