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state of Ohio,
) SS:
2 County of Cuyahoga.
3 - - -
4 IN THE COURT OF COMMON PLEAS
5 - - -
6 LILLIE 14AE BEWLEY,
7 Plaintiff,
8 Vs. No. 78 983,997
9 LUTHERAN MEDXCAL CENTER,
10 Defendant.
12 Deposition of VICTOR doWOLFE, M.D.,
13 witness herein, called by Defondant as upon
14 examination under the Statutto as provided
15 by the Ohio Rules of Civil Procedure, bofore
16 Karen Chontos, a Registored Professional
17 Reporter and Notary Public within and for
18 the State of Ohio, on Friday, November 7,
19 1980, at the offices of Victor C. dowolfe, M.D
20 Clevoland Clinic Foundation, 9500 Euclid
21 Avenue, Cleveland, Ohio.
22
23
24
25
I APPEARANCES: 2
2
3 Fred Weisman
and
4 Richard J. Berris,
Weisman, Goldberg & Weisman Co., L.P.A
5
On behalf of the Plaintiff;
6
7
Albert Rhoa,
8 Rhoa, Follen, Rawlin
& Johnson, Co., L.P.A.,
9
On behalf of the Defendant.
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
P R 0 C E E D I N G S 3
2 MR. RHOA: Doctor, as I
3 introduced myself to you earlier, I'm
4 Al Rhoa. I'm representing the Hospi-
5 tal which has been sued for a goodly
6 sum of money in this lawsuit, which I
7 think you're somewhat familiar with.
8 I'm qoing to ask you questions
9 regarding an opinion which you gave
10 MR. WEISMAN: Let the record
11 show an objection to the editorial by
12 Counsel.
13 MR. RIIOA: (Continuing)
14 -- Counsel for the Plaintiff on
15 March 19th of 19BO after you reviewed
16 some documents and other material
17 reqarding Lillie Mae Bewley.
18 If I should ask you a question
19 wbich is confusing, please tell me.
20 I'm not as erudite as might be, and,
21 possibly, I may ask you a question
22 that doesn't make sense. If so, just
23 tell me and I'll try to rephrase it.
24 I'd appreciate your help along that
25 line.
I VICTOR G. deWOLPE, M.D., 4
2 witness herein, called by Defendant as
3 for examination under the Statute as
4 provided by the Ohio Rules of Civil
5 Procedure, having been first duly sworn,
6 as hereinafter certified, was examined
7 and testified as follows:
8 EXAMINATION OF VICTOR G. deWOLFE, M.D.
9 BY MR. RHOA:
10 QL Have you ever testified as an expert before,
11 Doctor?
12 A. Yes.
13
How many times have you?
14 A. Oh
15 Roughly.
16 A. A number of times.
17 Have you ever testified as an expert for
18 Mr. Weisman prior to this case?
19 A. No.
20 Now, would you tell me your full name and
21 your home address, please?
22 A. Victor G. dewolfe. 2800 Van Aken Boulevard,
23 Cleveland.
24 QL Your office address?
25 A. 9500 Euclid Avenue, Cleveland.
I QL You're connected with the Cleveland Clinic?
2 A. Yes.
3 Q. How long have you been connected with the
4 Cleveland Clinic, Doctor?
5 A.
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