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Ka0001
1 IN THE COURT OF COMMON PLEAS
2 OF CUYAHOGA COUNTY, OHIO
3
4 ~~~~~~~~~~~~~~~~~~~~
5
6 RUSSELL KAKOS, et al.,
7
8 Plaintiffs,
9
10 vs. Case No. CV 05 558257
11
12 JOSEPH SCHOENBERGER, M.D., et al.,
13
14 Defendants.
15
16 ~~~~~~~~~~~~~~~~~~~~
17 Deposition of
18 JOHN P. CONOMY, M.D.
19
December 22, 2006
20 10:13 a.m.
21 Taken at:
The Office of John P. Conomy, Neurologist
22 27629 Chagrin Boulevard, Suite 205
Beachwood, Ohio
23
24
25 Jill A. Kulewsky, Notary Public
0002
1 APPEARANCES:
2
3 On behalf of the Plaintiffs:
4 Weisman, Kennedy & Berris Co.,
5 L.P.A., by:
6 RICHARD J. BERRIS, ESQ.
7 1600 Midland Building
8 Cleveland, Ohio 44115
9 (216) 781-1111
10 Rberris@weismanlaw.com
11
12 On behalf of the Defendant Elyria Memorial
13 Hospital:
14 Reminger & Reminger, by:
15 MICHAEL P. MURPHY, ESQ.
16 1400 Landmark Office Tower
17 Cleveland, Ohio 44115
18 (216) 687-1311
19 Mmurphy@reminger.com
20
21
22
23
24
25
0003
1 APPEARANCES, Continued:
2
3 On behalf of the Defendant Joseph
4 Schoenberger, M.D.:
5 Mannion & Gray Co., LPA, by:
6 TODD A. GRAY, ESQ.
7 1301 East 9th Street, Suite 1625
8 Cleveland, Ohio 44114
9 (216) 344-9422
10 Tgray@manniongray.com
11
12 On behalf of the Defendant Vagesh
13 Hampole, M.D. (via phone):
14 Bonezzi, Switzer, Murphy, Polito &
15 Hupp, Co., L.P.A., by:
16 BRET C. PERRY, ESQ.
17 1400 Leader Building
18 Cleveland, Ohio 44114-1491
19 (216) 875-2056
20 Bperry@bsmph.com
21
22
23
24
25
0004
1 I N D E X
2
3 CROSS-EXAMINATION OF 5 6
4 JOHN P. CONOMY, MD.
5 BY MR. GRAY
6 CROSS-EXAMINATION OF 95 13
7 JOHN P. CONOMY, M.D.
8 BY MR. MURPHY
9 RECROSS-EXAMINATION OF 100 16
10 JOHN P. CONOMY, M.D.
11 BY MR. MURPHY
12
13
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17
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24
25
0005
1 JOHN P. CONOMY, M.D., of lawful
2 age, called for examination, as provided by the
3 Ohio Rules of Civil Procedure, being by me
4 first duly sworn, as hereinafter certified,
5 deposed and said as follows:
6 CROSS-EXAMINATION OF JOHN P. CONOMY, MD.
7 BY MR. GRAY:
8 Q. Good morning, Dr. Conomy.
9 A. Good morning.
10 Q. My name is Todd Gray, we met 10:13:19
11 before, and I represent Dr. Schoenberger in
12 this case in the Kakos matter. I just asked
13 you off the record if you -- well, first of
14 all, could you state your full name for the
15 record, please? 10:13:31
16 A. My name is John Conomy.
17 Q. I just asked you for a CV a moment
18 ago off the record. You indicated you would
19 have no problem e-mailing it to me later?
20 A. No, if you would be kind enough to 10:13:41
21 leave your e-mail address with my secretary, I
22 at any time shall be delighted to send you an
23 up-to-date CV.
24 Q. Great. I have a CV from
25 approximately two to three years ago, would 10:13:54
0006
1 that be fairly reliable?
2 A. Well, yes, it would be fairly
3 reliable. Where did you get it?
4 Q. I got it from another case I was
5 involved in. 10:14:03
6 A. You know, there must be a market
7 for that type of stuff. I wonder if people get
8 them from the internet.
9 Q. Actually, we get a lot of
10 information about you from the internet. Maybe 10:14:13
11 some will be useful, maybe some won't, but I do
12 have a CV from another case that you handed to
13 me personally and --
14 A. Well, it's current as of whenever
15 the date on there is and it's accurate to that 10:14:24
16 point. I don't think there's been any major
17 changes since 2003. Maybe some additional
18 publications and lectures and that sort of
19 thing, but I don't think there's been any major
20 changes in it. 10:14:38
21 Q. Great. You're still
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