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Case: KAREN PEDID V. KAISER FOUNDATION OF OHIO
Testimony Date: September 06, 1995
Expert Witness: THOMAS J. ANTOS M.D.
Expert Type: Internal Medicine
Court: State: Ohio County: Cuyahoga
Pages: 77

	                               IN THE COURT OF COMMON PLEAS

                2              OF CUYAHOGA COUNTY, OHIO

                3

                4   KAREN PEDID, EXECUTRIX OF THE

                5   ESTATE OF JUDITH MARIE BUSH,

                6               Plaintiff,

                7         VS.                           Case No.

                8   KAISER FOUNDATION HEALTH PLAN       274917

                9   OF OHIO, et al.,

               10               Defendants.

               11

               12                     - - - - -

               13               Continued telephonic deposition of

               14   THOMAS J. ANTOS, M.D., called for examination

               15   under the statute, taken before me, Marlene

               16   Ebner, a Registered Professional Reporter and

               17   Notary Public in and for the State of Ohio,

               18   pursuant to notice and stipulations of counsel,

               19   at the offices of Porter, Wright, Morris &

               20   Arthur, 1700 Huntington Building, Cleveland,

               21   Ohio, on Wednesday, September 6, 199S, at 5:12

               22   o'clock  p.m.

               23                     - - - - -

               24                     VOLUME II

               2 5                  C(DPY

                                     CEFARATTI-RENNILLO
                     CLEVELAND (216)687-1161      AKRON (216)253-8119

                                                               2

               1  APPEARANCES:
               2
               3         On behalf of the Plaintiff:
               4               Weisman, Goldberg & Weisman
               5               Co., L.P.A., by
               6               MARILENA LENCEWICZ, ESQ.
               7               1600 Midland Building
               8               Cleveland,  Ohio  44115
               9               781-1111
              1 0
              11         On behalf of the  Defendants:
              12               Porter, Wright,  Morris  Arthur, by
              13               RICHARD M. MARKUS, ESQ.
              14               EZIO LISTATI, ESQ.
              15               1700 Huntington Building
              16               Cleveland,  Ohio  44115
              17               443-9000
              18                         ----
              19
              20
              21
              22
              2 3
              2 4
              25
                                    CEFARATTI-RENNILLO
                    CLEVELAND (216)687-1161     AKRON (216)253-8119

                                                                    3

                 1         THOMAS J. ANTOS, M.D., of lawful age,
                 2   called for examination,  as  provided  by  the  Ohio
                 3   Rules of  Civil  Procedure,  being  previously  duly
                 4   sworn, as hereinafter certified, deposed and said
                 5   as follows:
                 6         EXAMINATION OF THOMAS J. ANTOS, M.D.
                 7   BY MR.  MARKUS:
                 8         Q.     We can go on the record now.  Doctor,
                 9   do you understand that the oath you took for the
                 10  previous segment of this deposition still applies
                 11  now?
                 12        A.     I do understand that.
                 13        Q.     Thank you.  In preparation for the
                 14  deposition,  either the  previous  segment  or  this
                 15  segment, did you have occasion to consult
                 16  anything other than the records relating to this
                 17  patient?
                 1B        A.     Only  my  own  background,  experience,
                 19  and general  kind of experience I got from medical
                 20  school and medicine.  There is nothing that
                 21  would  --
                 22        Q.     Your voice is dropping again, sir.
                 23        A.     There is nothing of a specific nature
                 24  that  was involved.  Most of this particular case
                 25  had to do with something which from my
                                      CEFARATTI-RENNILLO
                      CLEVELAND (216)687-1161        AKRON (216)253-8119

                                                               4

               1   perspective is really medical school level,
               2   history/physical approach to headache.  It's  not
               3   something that you have to get into specialty

               4   journals or anything of that nature.
               5         Q.    Did you review or consult any
               6   materials to confirm any impressions or  thoughts
               7   you might have on this subject?
               8         A.    There were several articles that  I
               9   reviewed that would be a refresher kind of a
  
	 

 


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