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IN THE COURT OF COMMON PLEAS
2 CUYAHOGA COUNTY
3 - - -
4 D JOHN TRAVIS, Executor of the
Estate of Thorvald Henrikson, Jr,
5
Plaintiff,
6
VS No 223034
7
LAKEWOOD HOSPITAL ASSOCIATION,
8 et al,
9 Defendants
10 - - -
11 Deposition of DAVID A DEHART, MD
12 Wednesday, August 10, 1994
13 - - -
14 The deposition of DAVID A DEHART, MD, called
as a witness by the plaintiff, pursuant to notice and
15 the PennBylvania Rules of Civil Procedure pertaining
to the taking of depositions, taken before me, the
16 undersigned, Jacquelyn P Grove, Notary Public in
and for the Commonwealth of Pennsylvania, at the
17 offices of David A DeHart, MD, Three Rivers
Physician Services, 735 William Pitt Way, Pittsburgh,
18 Pennsylvania 15238, commencing at 9:15 o'clock am,
the day and date above set forth
19
20
COMPUTER-AIDED TRANSCRIPTION BY
21 MORSE, GANTVERG & HODGE, INC
PITTSBURGH, PENNSYLVANIA
22 412-281-0189
23 - - -
24
25 OPir-,INIAL
2
1 APPEARANCES:
2 on behalf of the Plaintiff:
3 Wiseman, Goldberg & Wiseman:
Richard Berris, Esquire
4 1600 Midland Building
Cleveland, Ohio 44115
5
On behalf of the Defendant Dr Schmitt:
6
Jacobson, Maynard, TuBchman & Kalur:
7 Martin J Fallon, EBquire
1001 Lakeside Avenue, Suite 1600
8 Cleveland, Ohio 44114-1192
9 On behalf of the Defendant Lakewood Hospital:
10 Weston, Hurd, Fallon, PaiBley & Howley:
Stephen D Walters, Esquire
11 15th Floor, Terminal Tower
Cleveland, Ohio 44113-2241
12
13
I-N-D-E-X
14
EXAMINATION BY: PAGE:
15 -------------- ----
Mr Berris 3
16
Mr Fallon 38
17
Mr Berris 74
18
19
20
21
22
23
24
25
3
1 DAVID A DEHART, MD
2 called as a witness by the plaintiff, having been
3 first duly sworn, aB hereinafter certified, was
4 deposed and said as follows:
5 EXAMINATION
6 BY MR BERRIS:
7 Q State your full name?
8 A David Allen DeHart
9 Q And you're a physician; correct?
10 A That's correct
11 Q Doctor, I'm going to ask you some
12 quebtions today about your review of this matter
13 involving Mr Henrikson
14 If any of my questions are not clear and
15 you don't understand them, please let me know and I'll
16 rephrase the question for you
17 I believe you've given depositions in the
18 past?
19 A I have
20 Q Approximately how many times?
21 A 200
22 Q And under what circumstances have you
23 given that many depositions?
24 A
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