Home

Find Transcripts
Search Transcripts
Browse by Case Name
Browse by Expert Name
Browse by Expert Type
Product Pricing
Legal Topics
FAQ

Demo

REGISTER!

About Us
HELP!
Links
Privacy Policy

 


Get a FREE copy of this Transcript!
By clicking the "BUY NOW" button, you agree to our Transcript License Agreement
Cost: $150.00
Case: Russell Kakos v. Joseph Schoenberger, et al.
Testimony Date: December 22, 2006
Expert Witness: John Conomy MD
Expert Type: Neurology
Court: State: Ohio County: Cuyahoga County
Pages: 104

	 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   
14   
15   
16   
17   
18   
19   
20   
21   
22   
23   
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
	 

 


      Copyright 2004 - 2008 CrossExam LLC
      All rights reserved.
dmca