![]()
| ||||||||||||||||||
|
0001
1 COMMONWEALTH OF PENNSYLVANIA
BUREAU OF LABOR AND INDUSTRY
2 DEPARTMENT OF WORKERS' COMPENSATION
- - -
3 NEKIE TURTULLI :
CLAIMANT :
4 v. : NO. 2517856
SOAP MANAGEMENT :
5 GROUP, INC. :
DEFENDANT :
6
- - -
7 JUNE 22, 2004
- - -
8
9 Oral deposition of MARC
10 COHEN, D.C. taken pursuant to notice,
11 was held at Oxford Rehabilitation Center,
12 903 Oxford Avenue, Philadelphia,
13 Pennsylvania 19111, commencing at 1:51
14 p.m. on the above date, before Stanley D.
15 Krevitz, Jr., a court reporter and notary
16 public in the Commonwealth of
17 Pennsylvania.
18
19
20
21 - - -
22 ESQUIRE DEPOSITION SERVICES
1880 John F. Kennedy Boulevard
23 15th Floor
Philadelphia, Pennsylvania 19103
24 (215) 988-9191
0002
1 APPEARANCES:
2
SIDNEY I. LEABMAN & ASSOCIATES,
3 P.C.
BY: MICHAEL T. LEABMAN, ESQUIRE
4 1608 Walnut Street
Suite 800
5 Philadelphia, Pennsylvania 19103
(215) 732-0900
6 Representing the Claimant
7
8
9 BERMAN & VOSS
BY: SANDRA L. VOSS, ESQUIRE
10 355 W. Lancaster Avenue
Suite 201
11 Haverford, Pennsylvania 19041
(610) 649-9733
12 Representing the Defendant
13
14
15 - - -
16
17
18
19
20
21
22
23
24
0003
1
- - -
2 I N D E X
- - -
3
WITNESS: PAGE
4
MARC COHEN, D.C.
5
6 VOIR DIRE TESTIMONY:
7 By Mr. Leabman: 5, 19
8 By Ms. Voss: 10
9
TESTIMONY:
10
By Mr. Leabman: 20
11
By Ms. Voss: 39
12
13
14
15
16 - - -
E X H I B I T S
17 - - -
18 NO. DESCRIPTION PAGE
19 Cohen-1 Curriculum Vitae 5
20
21
22
23
24
0004
1
- - -
2 DEPOSITION SUPPORT INDEX
3 - - -
4
5 Direction to Witness Not to Answer
6 Page Line Page Line Page Line
7 None
8
9
10 Request for Production of Documents
11 Page Line Page Line Page Line
12 None
13
14
15 Stipulations
16 Page Line Page Line Page Line
17 None
18
19
20 Question Marked
21 Page Line Page Line Page Line
22 None
23
24
0005
1 - - -
2 (Cohen-1 was marked for
3 identification.)
4 - - -
5 MARC COHEN, D.C., after
6 having been duly sworn, was
7 examined and testified as follows:
8 - - -
9 MR. LEABMAN: We're here in
10 the offices today of Dr. Marc
11 Cohen to take his deposition
12 regarding Nekie Turtulli versus
13 SOAP Management. Since this is a
14 trial deposition, I would ask that
15 all objections be placed on the
16 record so that the Judge can rule
17 on them later. If that's
18 agreeable with counsel?
19 MS. VOSS: Sure.
20 - - -
21 EXAMINATION
22 - - -
23 BY MR. LEABMAN:
24 Q. Doctor, could you please
0006
1 tell the Judge about your educational
2 background?
3 A. Sure. I graduated from
4 Albright College in, I forget it's been
5 so long, let's see, in 1982 with a
6 biology major. Then from there worked at
7 CHOP for a few months. And then went to
8 chiropractic school in Chicago, I
9 graduated with a Doctor of Chiropractic
10 Medicine degree in May of 1987. From
11 there worked for a physician for a short
12 duration doing exams before opening my
13 own practice, originally on Levick
14 Street, we've since moved to Tyson. I
15 also started the first division of
16 chiropractic medicine at Franklin Square
17 Hospital in Philadelphia, that later
18 became Cooper Hospital of Philadelphia, I
19 was the co-chair of the division of
20 chiropractic medicine there.
21 I was hired by originally
22 U.S. Healthcare as a medical director for
23 chiropractic s
| |||||||||||||||||
|
Copyright 2004 - 2008 CrossExam LLC All rights reserved.dmca | ||||||||||||||||||
|
| ||||||||||||||||||