1-(202) 684-6756

Expert Witness : Paul Venizelos MD


Case Ernest Hickman vs. Ford Motor Company, et al.
Testimony Date February 14, 2003
Expert Type Pulmonary
Court State: Ohio County: Cuyahoga
Pages 101
Cost $150.00

OR

Trade us a transcript with expert testimony for this transcript

Click Here For Details

                                                                     1
               IN THE COURT OF COMMON PLEAS
                  OF CUYAHOGA COUNTY, OHIO
     
     ERNEST HICKMAN,
                 Plaintiff,
           vs.                            Case No.
     FORD MOTOR COMPANY,                  441465
     et al.,                   
                 Defendants.
     
                         ~ ~ ~ ~ ~
     
           Videotaped deposition of PAUL C. VENIZELOS, 
     M.D., 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 Paul 
     C. Venizelos, M.D., 15805 Puritas Avenue, Brook 
     Park, Ohio, on Friday, February 14, 2003, at 3:09 
     o'clock p.m.
                         ~ ~ ~ ~ ~
     
     
     

                                                                     2
 1   APPEARANCES:
 2   
 3         On behalf of the Plaintiff:
 4               Kelley & Ferraro, LLP, by
 5               JOHN M. MURPHY, 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:
12               Ford Motor Company, by
13               TIMOTHY J. KRANTZ, ESQ.
14               5600 Henry Ford Boulevard
15               General Service Building, 2nd Floor 
16               Brook Park, Ohio  44142
17               (216) 676-3897
18                         ----
19   
20   ALSO PRESENT:
21               Charles W. Kinkopf, Esq.
22               Nicholas G. ********, videographer 
23                         ----
24   
25   

                                                                     3
 1               MR. MURPHY:  Before we go on 
 2   videotape, this deposition is being taken 
 3   pursuant to notice and agreement of parties.  
 4   Waive any defects in notice or service?  
 5               MR. KRANTZ:  Yes, I do waive 
 6   defects in notice and service, just note for 
 7   the record that the deposition was scheduled 
 8   for 2, it's about 3:10 right now.  
 9               MR. MURPHY:  Well, the record is so 
10   noted.  Also, you waive the one-day filing 
11   requirement?  
12               MR.  KRANTZ:  Yes.
13               MR. M