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Expert Witness : Howard Tucker MD


Case Dorothy Gaffney v. Deaconess Hospital
Testimony Date January 08, 1986
Expert Type Neurology
Court State: Ohio County: Cuyahoga
Pages 36
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S-1100
1 IN THE COURT OF COMMON PLEAS

2 CUYAHOGA COUNTY, OHIO

3 DOROTHY GAFFNEY, etc.,

4 Plaintif f ,
JUDGE MATIA
5 _vs- CASE NO. B6242

6 DEACONESS HOSPITAL,
et al .
7
Defendants.
8

9 - - - -

10 Deposition of HOWARD TUCKER, M.D., taken as it

11 upon cross-examination before Ralph A. Cebron, a

12 Registered Professional Reporter and Notary

13 Public within and for the State of Ohio, at the

14 offices of Howard Tucker, M.D., 26900 Cedar

15 Road, Beachwood, Ohio, at 4:30 p.m. on Friday,

16 January 8, 1986, pursuant to notice and/or

17 stipulations of counsel, on behalf of the

18 Defendants in this cause.

19 - - - -

20
MEHLER & HAGESTROM, TNC.
21 Registered Professional Reporters
650 Engineers Building
22 Cleveland, Ohio 44114
(216) 621-4984
23

24

25

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1 APPEARANCES:

2 John P. Gannon, Esq.
Sammon & Bolmeyer
3 1160 Rockefeller Building
Cleveland, Ohio 44114
4 (216) 781-7990,

5 On behalf of the Plaintiff;

6 Leslie J. Spisak, Esq.
Reminger & Reminger
7 Seventh Floor - 113 St. Clair Building
Cleveland, Ohio 44114
8 (216) 687-1311,

9 On behalE of Defendant
Deaconess Hospital;
I 0
Dale L. Kwarciany, Esq.
11 Jacobson, Maynard, Tuschman & Kalur
100 Erieview Plaza
12 Fourteenth Floor
Cleveland, Ohio 44114
13 (216) 621-5400,

14 On behalf of Defendants
Medical Emergency Services, Tnc.,
and Drs.  Hill and Thomas, and
Michael Barkoukis, M.D.


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1 HOWARD TUCKER, M.D., of lawful age,
2 called by the Defendants for the purpose of
3 cross-examination, as provided by the Rules of
4 Civil Procedure, being by me first dilly sworn,
5 as hereinafter certified, deposed and said as
6 f ol lows!
7 CROSS-EXAMINATION OF HOWARD TUCKER, M.D.
8 BY MR.  KWARCIANY:
9 MR. KWARCTANY: Let the record
10 reflect that we're here this afternoon to take
11 the discovery deposition of Dr. Howard Tucker
12 who has been identified by the plaintiffs as an
13 expert in this case; and that we are here
14 pursuant to Ohio Civil Rule 26(B)4 for the
15 purposes of taking the doctor's discovery
16 deposition; and furthermore we're here pursuant
17 to an agreement of counsel.
18 MR. GANNON: Sure. No problem.
19 Doctor, I represent Dr. Michael Barkoukis in
20 this particular case.  I'm going to ask you a
21 number of questions concerning the various
22 reports that you have written in this particular
23 case involving a patient by the name of Casey
24 Nowak. If at any time you don't understand the
25 questions that I ask you, let