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I The State of Ohio,
SS:
2 County of Lake.
3
4 IN THE COURT OF COMMON PLEAS
5
6 Victor Bukky, Admr. of the
Estate of Victoria L. Bukky,
7
Plaintiff,
8
VS. No. 90-CV-001435
9
Lake Hospital Systems, et al,
10
Defendants.
11
12 - - - -
13
14 Deposition by telephone of ELI S. GANG, M.D., a
15 witness herein, called for cross-examination by the
16 Defendants, taken before Michelle A. Bishilany, a
17 Registered Professional Reporter and Notary Public
is within and for the State of Ohio, at the offices of
19 Weisman, Goldberg & Weisman, 1600 Midland Building,
20 Cleveland, Ohio, on Monday, the 13th day of July,
21 1992, at 5:00 p.m.
2 2
23 - - - -
2 4
HOLLAND & ASSOCIATES
25 (216)621-7786
2
I APPEARANCES:
2
3 Weisman, Goldberg & Weisman, by
Mr. R. Eric Kennedy,
4
On behalf of the Plaintiff;
5
6
7 Jacobson, Maynard, Tuschman & Kalur, by
Mr. David Sumner,
8
On behalf of the DefendantB.
9
10
11
12 - - - -
13
14
15
16
17
18
19
2 0
21
2 2
2 3
24
2 5
3
1 MR. KENNEDY: Could we have a
2 waiver of the fact that this court reporter
3 is not a notary in the state of California?
4 MR. SUMNER: Right.
5 MR. KENNEDY: And the
6 deposition is being taken pursuant to
7 agreement?
8 MR. SUMNER: We can have her
9 swear him in over the phone?
10 MR. KENNEDY: YeB.
11
12 ELI S. GANG, M.D.,
13 of lawful age, a witness herein, called for
14 cross-examination by the Defendants, being by me
15 first duly sworn, as hereinafter certified, deposed
16 and said as follows:
17 CROSS-EXAMINATION
18 BY MR. SUMNER:
19 Q. Doctor, could you state your full name,
20 please?
21 A. Yes. My name is Eli S. Gang, G-a-n-g.
22 Q. And what's your current professional address?
23 A. 414 North Camden Drive, Beverly HillB,
24 California, 90210 is the code.
25 Q. I understand that you are a cardiologist?
4
1 A. That's right.
2 Q. Are you boarded in that Bpecialty?
3 A. Yes.
4 Q. What centerb are you currently affiliated
5 with?
6 A. The two different centers I'm affiliated with
7 are Cedars-Sinai Medical Center in Los Angeles and
8 St. Vincent Medical Center in Los Angeles.
9 Q. Do you have a private practice away from
10 these centers?
11 A. Yes, I do.
12 Q. So you're on staff there but you're not an
13 employee at those hospitals?
14 A. That's correct.
15 Q. And I've been provided a copy of your
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