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Expert Witness : Howard Tucker MD


Case Samual Wormsley v. Kaiser Hospital
Testimony Date July 09, 1985
Expert Type Neurology
Court State: Ohio County: Cuyahoga
Pages 79
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I TN THE COURT OF COMMON PLEAS

2 CUYAHOGA COUNTY, QHTQ

3 SAMUEL M. WORMSLEY,
III, et al.,
4
Plaintiffs,
5
_vs- CASE NO, 051,155
6
KAISER ROSPITAL,
7 et al.,

8 Defendants.

9 - - - -

10 Deposition of HOWARD J. TUCKER, M.D., taken

11 as if upon cross-examination before Ralph A.

12 Cebron, a Registered Professional Reporter and

13 Notary Public within and for the State of Ohio,

14 at the Mt. Sinai Medical Building, 26900 Cedar

is Road, Beachwood# Ohio# at 5:15 p.m. on Tuesday,

16 July 9, 1985, pursuant to notice and/or

17 stipulations of counsel, on behalf of the

18 Defendants in this cause.

19 - - - -

2 0
MEHLER & HAGESTROM, INC.
21 Registered Professional Reporters
550 Engineers Building
22 Cleveland, Ohio 44114
(216) 621-4984
2 3

24

25

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I APPEARANCES:

2 Eric Kennedy, Esq.
Weisman, Goldberg & Weisman Co., L.P.A.
3 540 Leader Building
Cleveland, Ohio 44114
4 (216) 781-1111,

5 On behalf of the Plaintiffs;

6 Burt J. Fultone Esq
Beverly A. Harris, ;sq.
7 Gallagher, Sharp, Pulton & Norman
Sixth Ploor Bulkley Building
8 Cleveland, Ohio 44115
(216) 241-5310r
9
On behalf of the Defendants.
10

11

12

1 3

14

is

16

17

1 8

1 9

2 0

2 1

2 2

2 3

2 4

2 5



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1 HOWARD J_ TnrKRR, 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 duly swornp
5 as hereinafter certified# deposed and said as
6 follows:
7 CROSS-EXAMTNATTON OF HOWARD T- T KER.  M-D.
8 RY MS- HARRIS:
9 MS. HARRIS: Would you let the record
10 show that this is the deposition of Howard
11 Tucker, M.D. and the the deposition is taken by
12 agreement of counsel.
13 Is that correct?
14 MR. KENNEDY: Yes.
is MS. HARRISi It's the discovery
16 deposition.
17 Doctor, did you receive a subpoena for your
18 attendance at the deposition today?
19 A. You know, I don't have one in my chart but Mr.
20 Kennedy tells me I got one.
21 Q. In that subpoena -- did you see it?
22 A. I didn't see it, peculiarly enough.
23 Q. Did Mr. Kennedy, indicate to your doctor, that
24 you were asked to bring certain records with you
25 to the deposition?

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1 A. He told me that last evening, yes.
2 Q. Did you bring those records today?
3 A. No.
4 Q. Is there a reason why you did not bring those
5 recordar doctor?
6 A. Wellp I can think of a couple.
7 Q. Can you tell me what they were?
8 A. Surely.
9 MS. HARRIS: Pir