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Expert Witness : STANLEY POST MD


Case SHEENA TERRY v. KAISER FOUNDATION OF OHIO
Testimony Date November 17, 1992
Expert Type Obstetrics / Gynecology
Court State: Ohio County: Cuyahoga
Pages 124
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I State of Ohio,
2  SS:
3 County of Cuyahoga.)
4
5 - - -
6 IN THE COURT OF COMMON PLEAS
7 - - -
8 SHEENA TERRY, etc., et al.,)
9 Plaintiffs,
10 VS. Case No. 193206
11 KAISER FOUNDATION, et al., Judge Carl J. Character
12 Defendants.
13 - - -
14 DEPOSITION OF STANLEY POST, M.D.
15 Tuesday, November 17, 1992
16 - - -
17 The deposition of STANLEY POST, M.D., a witness,
18 called by counsel on behalf of the Plaintiffs for
19 examination under the Ohio Rules of Civil Procedure,
20 taken before me, Kristin A. Beutler, a Registered
21 Professional Reporter and Notary Public in and for
22 the State of Ohio, by agreement of counsel at the
23 offices of Stanley Post, M.D., 26300 Euclid Avenue,
24 Euclid, Ohio, commencing at 10:30 a.m., on the day
25 and date above set forth.
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1 APPEARANCES:

2 On behalf of the Plaintiffs:

3 RICHARD J. BERRIS, ESQ.
LAURENCE J. POWERS, ESQ.
4 Weisman, Goldberg & Weisman
1600 Midland Building
5 Cleveland, Ohio 44115

6 On behalf of the Defendants:

7 DONALD H. SWITZER, ESQ.
Weston, Hurd, Fallon, Paisley & Howley
8 25th Floor Terminal Tower
Cleveland, Ohio 44113
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1 STANLEY POST, M.D.
2 a witness herein, called by counsel on behalf
3 of the Plaintiffs for examination under the
4 Rules, having been first duly sworn, as
5 hereinafter certified, was deposed and said as
6 follows:
7 CROSS-EXAMINATION
8 BY MR.  BERRIS:
9 Q. State your full name.
10 A. Stanley Post.
11 Q. You're a physician, correct?
12 A. Yes.
13 Q. I am going to ask you some questions today
14 about your review of this matter involving
is Sheena Terry.
16 If any of my questions are not clear, or
17 you don't understand me, please let me know
18 and I'll rephrase the question for you, okay?
19 A. Yes.
20 Q. I will assume if you answered the question you
21 did so because you understood the question; is
22 that fair?
23 A. Yes.
24 Q. How many times have you had your deposition
25 taken?
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1 A. Probably 20, 25 times.
2 How many medical-legal matters have you
3 reviewed?
4 A. I'm only guessing, I don't have an accurate
5 record of it.
6 Q. Approximately?
7 A. Probably 70.
8 Q. Mostly for the defense?
9 A. Probably, I would say, 75 percent for the
10 defense.
11 Q. Name some plaintiffs' lawyers you've testified
1 2 for.
13 A. We have a whole list, if you'd like them.
14 Q.