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Case: Theresa Walker v. The Salvation Army , Inc.
Testimony Date: March 31, 1982
Expert Witness: A. Brian Little MD
Expert Type: Obstetrics / Gynecology
Court: State: Ohio County: Cuyahoga
Pages: 89

	                 State of Ohio,
                                        Ss:
            2   County of Cuyahoga.

            3

            4              IN THE COURT OF  COMMOI

            5                        - - -

            6   THERESA WALKER, a minor,
                etc., at al,


                               Plaintiffs,

                      VS.                        Case No. 018177
            9
                THE SALVATION ARMY, INC.,        JUdge Harry Hanna
           1 0  et al,

                               Defendants.
           1 2                      - - -
           13             DEPOSITION OF A. BRIAN LITTLE, M.D.
           14               WEDNESDAY, MARCH 31, 1982
           1 5                      - - -
           16         The deposition of A. Brian Little, M.D., called
           17   by the plaintiffs herein, pursuant to the Ohio
           18   Rules of Civil Procedurep taken before re,
           19   Sidney Gantverg, Registered Profession@'kl Reporter and
           20   Notary Public in and for the State of Ohio, by
           21   agreement of counsel and without notice or other
           22   legal formality, at University Hospitals, Cleveland,
           23   Ohio, beginning at 2:30 P.M., on the day and date
           24   above set forth.
           25
                                 M@ @erg & Hodge

                                        prof   @S
                                     750 @ Bu"w
                                         , Ohio 44114

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                                               Morse, Gantverg & Hodge
                                                Re@ed Frotessional Reporters
                                                    750 @ Buil&ng

                                                                      3

                                 A. BRIAN LITTLE, N.D.
            2
                 called by the PlaintLffs, pursuant to the Ohio
            3
                 Rules of Civil Procedure, having been first duly
            4
                 sworn, as heroinafter certified, was ex4kmined and
            5
                 deposed an followg:
            6
                                    EXANINATION
            7
                 BY MR.  WEISMAN:
            8
                 OL    State your name and address, please?
            9
                       My naike is A. Brian Little.
           10
                       My address is 28621 -FKicMQ"t@.

                 Cleveland Heights.
           12
                 OL    Your specialty is obstetrics?
           13
                       Obstetrics and gynecology.
           14
                 OL    How lonq have you been in that specialty?
           15    L     For 28 years, 27 years.
           16    Q.    Doctor, you have a CV, don't you, printed out,
           17    one that has all your publications, and what not?
           18
                 L     Yes.
           19                 MR. WEISMAN:      Would you be kind
           20          enough, counsel, to let me have a copy of
           21          that, up-to-date, with all publications,
           22          at cetera?  In that agreeable?
           23                 MR. KALUR:       I don't know if I will
           24          b* kind anough, but I will probably do it.
           25

                                 Morse, Gantverg & Hodge
                                  Registemd Professional Reporters
                                     75o @ Building
                                    CL-wland Ohio 44114

                                                                        4


            1           If he has it and it's here, and I can acquire



            2           it, you may have it.



            3    Q.     Doctor, you do have it here?



            4    &      Yes.



            5    ol     Is it readily available from your secretary?



            6    A.     I don't know at the moment, but I will get it



            7    for you when we are done.



            8    0      Doctor, what is your position at University



            9    Hospitals?




           10    &      I am Director of Obstetrics and Gynecology.



           11    QL     Hov long have you been in tha
	 

 


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