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Expert Witness : Howard Tucker MD


Case JEANETTE BRIDGE v. AKRON GENERAL MEDICAL CENTER
Testimony Date May 21, 1986
Expert Type Neurology
Court State: Ohio County: Summit
Pages 59
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IN THE COURT OF COMMON PLEAS
,3W6,?4e_)

2 SUMMIT COUNTY, OHIO


3 - - -


4


5


6@ JEANETTE BRIDGE,

Administratrix of the

7 Estate of WILLIAM C.

BRIDGE, Deceased,

8

Plaintiff,

9

VS. Case No. CV 82 7 2203

101 JUDGE MORGAN

AKRON GENERAL MEDICAL

11 CENTER, et al.


12  Defendants.


13


14


15 ---


16 Deposition of HOWARD J. TUCKER, M.D., a


17 Witness herein, called by the Defendants for


181 cross-examination pursuant to the Rules of Civil


19@ Procedure, taken before me, the undersigned, Toni R.


201 Thompson, a Registered Professional Reporter and

1

21@ Notary Public in and for the State of Ohio, at the


221 offices of Howard J. Tucker, M.D., 26900 Cedar Road,

1

23 Beachwood, Ohio, on Wednesday, the 21st day of May,


24 1986, at 3:20 o'clock, p.m.


25 - - -






AKRON COURT REPORTERS, INC. CANTON

(216) 376-8100 (216) 452-2400

2

1 APPEARANCES:

2 on Behalf of the Plaintiff:

3@ Messrs.  Miller & Tolaro

BY: Charles R. Miller, Attorney at Law
5
and
6
Jeffrey H. Spiegler, Attorney at Law
7 623 West St. Clair
Cleveland, Ohio 44113

on Behalf of the Defendants Drs.  Narraway and
9 Friedman and Akron General Medical Center:

1 0 Messrs. Buckingham, Doolittle & Burroughs

11 BY, Gary A. Banas, Attorney at Law
3721 Whipple Avenue, N.W.
12 Canton, Ohio 44735

on Behalf of the Defendant Dr. Sokol:

14 Messrs.  Jacobson, Maynard, Tushman
Kalur
1 5
BY% Matthew P. Moriarity
16 14th Floor Erieview Plaza
Cleveland, Ohio 44113
1 7

1 8 -

1 9

2 0

2 1

2 2

2 3

2 4

2 5


AKRON COURT REPORTERS, INC. CANTON
(2 16 )452-2400

 3

1 HOWARD J. TUCKER, M.D.

2 of lawful age, a Witness herein, having been first

3@ duly sworn, as hereinafter certified, deposed and

4 said as follows:

5 CROSS-EXAMINATION

6 BY MR.  BANAS:

7 Q. Give us your name and professional address,

8 please.

9@ A. Howard Tucker, 26900 Cedar in Cleveland.

10 Q. Doctor, I have a copy of a report dated January

11 16, 1984 that you have written to Charles R. Miller.

12 I am not interested in going over it line by line.

13 My first question is: Are those your general

14 opinions in this case?

15 A. They are.

16 Q. Let me ask you some specific questions. I

17 represent Dr. Narraway.  Do you know who Dr. Narraway

18 is in this case?

1 9 A . Yes .

20@ Q. Do you have any opinions as to whether or not

211 Dr. Narraway fell below the standards of care of a

22@ reasonably prudent physician as he cared for Mr.

23 Bridge?

24 A. Yes, I do have an opinion.

25 Q. And yo