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CARROLL, BURDICK &
McDonoucn LLP
Avtomiers atLaw
SAN FRANCISCO
Garrett Sanderson IIT, Bar No. 131026
gsanderson@cbmlaw.com
Peter H. Cruz, Bar No. 220850
peruz@cbmlaw.com
CARROLL, BURDICK & McDONOUGH LLP
Attorneys at Law
44 Montgomery Street, Suite 400
San Francisco, California 94104
Telephone: 415.989.5900
Facsimile: 415.989.0932
Attorneys for Defendant Volkswagen Group of
America, Inc,
ELECTRONICALLY
FILED
Superior Court of California,
County of San Francisco
JAN 07 2014
Clerk of the Court
BY: VANESSA WU
Deputy Clerk
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SAN FRANCISCO
HAROLD KOEPKE and NANCY KARIDIS-
KOEPKE,
Plaintiffs,
v.
FORD MOTOR COMPANY, et al.,
Defendants.
CBM-PRODUCTS\SF612996-1
Case No. CGC-13-276217
DECLARATION OF GARRETT SANDERSON IIT
IN.OPPOSITION TO PLAINTIFFS’ MOTION TO
QuasH DEPOSITION NOTICE (VOL. 2 OF 2 ~
Exuisits B-H)
Date: January 14, 2014
Time: 9:00 a.m.
Dept.: 503
Complaint Filed: December 3, 2013
Trial Date: None Set
Case No, CGC-13-276217
DECL. GARRETT SANDERSON IH IN OPP. TO PLFS’ MOTION TO QuASH DEPOSITION NOTICEEXHIBIT BDec, 6 2013 3:15PM BerrySBerry, & Professional Corp No 1724 Ff
BERRY & BERRY
APROFESSIONAL LAW CORPORATION PILL s peu
THLEPHONE (510) 250-0200 PETER R. GILBERT
BAX (510) 835-117, ‘LAURA E. PIZeTAK
wrinbemyaidbersy.com [BVANTHIA ME SeaROS
LAUZEN NW, PeEILES
faurap@bervandberry.com
Direct Tel: 510.250.0025
December 6, 2023
Via Facsimile
Carole M. Bosch
KAZAN MCCLAIN SATTERLEY, at al.
55. Harrison Street, Suite 400
Oakland, California 94607
Re: KOEPKE, HAROLD/ NANCY v. FORD MOTOR COMPANY, et al.
San Francisco Superlor Court No. CGC-13-276217
Dear Ms. Bosch:
We have been asked to meet and confer about the starting date and location for Mr.
Koepke's deposition pursuant to Section 7 of the $an Francisco Case Management Order. We
would like to know If December 19, 2013 at 10am, at Carroll, Burdick & McDonough's office,
located at 44 Montgomery Street in San Francisco, Is agreeable for this deposition. If so, we will
serve a deposition notice an Monday that includes document requests, Please get back to me
by 2:00 pm on Monday, December 9, 2013.
Thank you.
Very truly yours,
BERRY & BERRY
La zétak, Esq.
LEP:drm
M4538.A5B
MAILING ADDRESS. STREET ADDRSSS:
POST OFFICE BOX 16070 « OAKLAND, CA 94610 2930 LAKESHORE AVENUE OAKLAND, CA 94616-3614EXHIBIT CFrom: Carole Bosc, -CBosch@kazanlaw.com>
Date: December 7, 2013 3:11:35 PM PST
To: "laurap@berryandberry.com"
Ce: Joseph D. Satterley"
Subject: Koepke -- Plaintiff's deposition
Dear Laura:
We are in receipt of your letter of December 6, 2013 requesting that we produce Mr,
Koepke for deposition on December 19, 2013 at 10:00 a.m. Mr. Koepke is available on
this day and at this time for deposition, continuing on December 21-23. We request
that the deposition take place in our offices in Oakland and that defense counsel
videotape the proceedings. Further, as we recently filed the case on December 3, 2013
and have not yet had the opportunity to serve all defendants, we ask that you
personally serve all defendants on December 9 so notice is effective and alt defendants
appear at deposition. We will provide our service list first thing on Monday morning,
! will be out of the office on Monday December 9, so please cal! my cell phone if you
have any questions or concerns,
Carole
Carole M. Bosch
Attorney
Kazan, McClain, Satterley, Lyons, Greenwood & Oberman
Jack London Market
55 Harrison Street, Ste 400
Oakland, CA 94607
cbosch@kazanlaw.com
Phone: (510) 302-1200
Fax: (510) 835-4913
This email message is for the sole use of the intended recipient(s) and may
contain confidential and privileged information. Any unauthorized Teview, use,
disclosure or distribution is prohibited. If you are not the intended recipient,
please contact the sender by reply email and destroy all copies of the original
message. This Email is covered by the Electronic Communications Privacy Act,
18 U.S.C, Sections 2510-2521 and is legally privileged.
To reply to our email administrator directly, send an email to
postmaster@kazanlaw.com
KAZAN, McCLAIN, SATTERLEY, LYONS, GREENWOOD & OBERMAN
A Professional Law Corporation
http://www.kazanlaw.comEXHIBIT DA.B.C. MOBILE SYSTEMS, indv.
and as sii, parent, ac, and equitable
trustee of ASSOCIATED BRAKE
COMPANY and WESTERN STATES
BRAKE MANUFACTURING c/o
Agent; David B, Slater
45 S. Cottage Rd.
Belmont, MA 02478
AMERICAN HONDA MOTOR CO.,
INC,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA. 90017
BELL INDUSTRIES INC,, indv. and
as sii, parent, ae, and equitable trustee
of ROX AUTOMOTIVE, c/o Agent:
‘The Corporation Trust Company
1209 Orange Street
Wilmington, DI! 19801
BELNORTEL CORPORATION, dba
A.B.C. MOBILE. BRAKE OF SAN
FRANCISCO,
o/o Agent: Gary R. McArthur
7975 Morningside Dr.
Granite Bay, CA 95746
BORGWARNER MORSE TEC
INC,, indy. and as sii, parent, ae and
equitable trustee of BORG-WARNER
CORPORATION, c/o Agent: The
Corporation Trust Company
1209 Orange Street
Wilmington, DE 19801
BURLINGAME AUTO SUPPLY,
Agent; TBD
CONTINENTAL AUTOMOTIVE
SYSTEMS, INC., indv. and as sii,
Parent, 2e and equitable trustee of
CONTINENTAL TEVES, INC., c/o
Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
COOPER INDUSTRIES, LLC, indy,
and as sil, parent, ac and equitable
trustee.of PNEUMO ABEX, LLC and
ABEX CORPORATION, c/o Agent:
The Corporation Trust Company
1209 Orange Street
Wilmington, DE 19801
DON L. MORRIS, INC.,
e/a Agent: Michael B. Morris
132 Loch Lomond Rd,
Rancho Mirage, CA 92270
FMC CORPORATION-JOHN BEAN
AUTOMOTIVE EQUIPMENT SERVICE
DIVISION, c/o Agent: CT Corporation
System
818 West Seventh Street
Los Angeles, CA 90017
FMC TECHNOLOGIES, INC, indy,
and as sii, parent, ae, and equitable trustee
of JOHN BEAN AUTOMOTIVE
EQUIPMENT SERVICE DIVISION of
FMC CORPORATION, c/o Agent: CT
Corporation System
818 West Seventh Street
Los Angeles, CA 90017
FOLSOM AUTO SUPPLY,
c/o Agent: Harry Low
328 - Ind Avenue, #1
San Prancisco, CA 94118
FORD MOTOR COMPANY,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
GENUINE PARTS COMPANY,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
TLM. ROYAL, INC.,
c/o Agent: Phillip 2. Griffin
Fox Rothschild LLP
997 Lenox Dr., Bldg 3
Lawrenceville, NJ 08648
HONEYWELL INTERNATIONAL,
INC,, fka ALLIED SIGNAL, INC, a5
Successor-In-Interest to the BENDIX
CORPORATION, c/o Agent:
CSC-Lawyers Incorporating Service
2710 Gateway Oaks Drive, Suite 150N
Sacramento, CA 95833
KELSEY-HAYES COMPANY, c/o
Agent: CSC-Lawyers Incorporating
Service
2710 Gateway Oaks Drive, Suite 150N
Sacramento, CA 95833
LEAR SIEGLER DIVERSIFIED
HOLDINGS CORP, indv. and as sii,
parent, ae and equitable trustee of
ROYAL INDUSTRIES, INC., c/o Agent:
The Corporation Trust Company
1209 Orange Street
Wilmington, DE 19801
LES VOGEL CHEVROLET
COMPANY,
oo Agent: Philip 0, Vogel
617 Occidental Ave.
San Mateo, CA 94402
METROPOLITAN LIFE
INSURANCE COMPANY, c/o Agent:
CT Corporation System
818 West Seventh Street
os Angeles, CA 90017
MORTON INTERNATIONAL, LLC,
formerly known as MORTON
INTERNATIONAL, INC,, indy, and as
sii, parent, ac and equitable trustee of
THIOKOL CORPORATION, c/o
Agent: CT Corporation System
251 E. Ohio St., Suite 1100
Indianapolis, IN 46204
NATIONAL AUTOMOTIVE PARTS
ASSOCIATION, c/o Agent: The
Corporation Company
30600 Telegraph Rd. Bingham Farms,
Mi 48025
PARKER-HANNIFIN
CORPORATION, indy. and as sii,
patent, ae and equitable trustee of EIS
BRAKE PARTS, CALI-BLOK,
INDUSTRIAL & AUTOMOTIVE
ASSOCIATES, INC, dba.
CALEBLOCK, o/o Agent: CT
Cotporation System
818 West Seventh Strect
Los Angeles, CA 90017
‘PNEUMO ABEX LLC, indy. and as
sii, parent, ae and equitable trustee of
ABEX CORPORATION, c/o Agent:
Corporation Service Company
2711 Centerville Road, Suite 400
Wilmington, DE 19808
ROX AUTOMOTIVE, Agent: TBD
SHELL OIL COMPANY,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
SPECIALTY FOREIGN AUTO.
PARTS, ING. Indv. and as sii, parent,
a¢ and equitable trustee of
SPECIALITY FOREIGN AUTO
PARTS, c/o Agent: Gerding
Horak-Costagtio
57646 Sunnyslope Dr,
Yucca Valley, CA 92984THE BUDD COMPANY, c/o Agent:
CSC - LAWYERS INCORPORATING
SERVICE
601 Abbot Road
East Lansing, MI 48823
THE HERTZ CORPORATION, c/o
Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
UNIVERSITY DISTRIBUTORS,
INC. as indv. and as sii, Parent, ae and
equitable trustee of Don L. Morris, Inc.,
c/o Agent: Michael B. Morris,
132 Loch Lomond Rd.
Rancho Mirage, CA 92270
VOLKSWAGEN GROUP OF
AMERICA, INC,, c/o Agent:
CSC-Lawyers Incorporating Service
2710 Gateway Oaks Drive, Snite 150N
Sacramento, CA 95833
TOYOTA MOTOR SALKS, U.S.A.,
INC,, c/o Agent: CT Corporation
System
818 West Seventh Street
Los Angeles, CA. 90017
W. BERRY HURLEY
CORPORATION, d.b.a. FEDERAL
AUTO PARTS,
Agent: Linda Marver
933 Redwood Dr.
Danville, CA 94506
i
iEXHIBIT ELaura Przetak, Esq., CSB No. 118301
BERRY & BERRY
A Professional Corporation
2930 Lakeshore Avenue
Oakland, CA 94610
Telephone: (510) 250-0200
Facsimile: (510) 835-5117
laurap@berryandberry.com
Designated Defense Counsel
SUPERIOR COURT OF THE STATE OF CALIFORNIA
COUNTY OF SAN FRANCISCO
HAROLD KOEPKE and NANCY KARIDIS- | Case No, CGC-13-276217
KOEPKE,
NOTICE OF DEPOSITION OF PLAINTIFF
Plaintiffs, HAROLD KOEPKE AND REQUEST FOR
PRODUCTION oF DOCUMENTS,
v PHOTOGRAPHS AND THINGS
FORD MOTOR COMPANY; et al.,
Defendants.
TO PLAINTIFFS AND THEIR ATTORNEYS OF RECORD:
PLEASE TAKE NOTICE THAT Defendants will take the oral deposition by the
stenographic method of plaintiff Harold Koepke on January 7, 2014, starting at 10:00 a.m., before
a certified court reporter, at Carroll, Burdick & McDonough LLP, 44 Montgomery Street, Suite
400, San Francisco, California 94104, pursuant to Code of Civil Procedure section 2025,010 et
seq. Pursuant to Code of Civil Procedure section 2025,220(a)(5), the instant visuat display of
testimony also may be utilized during Mr, Koepke’s deposition.
Pursuant to Code of Civil Procedure section 2025 -220(a)(4), plaintiff Harold Koepke is
required to produce the following documents, materials, photographs and things at the
commencement of the deposition:
1 A copy of Mr, Koepke’s Social Security earnings records that identify each
employer or period of self-employment, the years and/or quarters worked, and the amount of any
(CBM-PRODUCTSISF610397-1
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOBPKE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGS
é
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!withholdings for the period covering his first employment that withheld Social Security taxes
through the end of 2005,
2, All MILITARY WRITINGS (the term “MILITARY,” as used in this deposition
notice, means the United States Air Force, Army, Coast Guard, Marines, Merchant Marines, or
Navy; and the term “WRITING” or “WRITINGS,” as used in this deposition notice means a
writing as that term is defined by Evidence Code section 250) and records pertaining to Mr.
Koepke, including all enlistment records, records showing the bases or ships he was stationed at or
on and the period he was assigned to cach, records of any promotions or demotions, records of
discharge including the term of discharge (e.g., honorable), and records pertaining to any service
in the military reserves,
3. All photographs of Mr. Koepke while he served in the MILITARY, of any ship he
served aboard, of any equipment he worked on or around, and of any base he served on or at
which he was stationed for basic training, duty or otherwise.
4. All yearbooks, picture books, photo books, crew books, and any other WRITING
that shows or depicts any ship Mr, Koepke was assigned to ot served aboard, or any base to which
he was assigned or was stationed at, and other people who served aboard the ship or at the base at
any period when he did,
5, All WRITINGS that evidence, list, or identify the names and any CONTACT
INFORMATION (the term “CONTACT INFORMATION,” as used in this deposition notice,
means the address, landline telephone number, cellphone telephone number and/or email address)
of anyone Mr. Koepke knew or served with in the MILITARY,
6. All WRITINGS constituting, evidencing or pertaining to any claim to the United
States Veterans’ Administration, United States Government, or the MILITARY concerning,
pertaining or relating to any exposure to asbestos, carcinogenic chemicals, or hazardous materials
of any kind, as well as all WRITINGS constituting, evidencing or pertaining to any response to
such a claim.
7. A copy of Mr, Koepke’s birth certificate.
8. A copy of Mr. Koepke’s marriage certificate to Nancy Karidis-Koepke.
CBM-PRODUCTSISF610397-1 -2-
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION OF
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9, All photographs of anyone who was in the wedding party (e.g.. groomsmen of
bridesmaids, best man, and maiden of honor) for your marriage to Nancy Karidis-Koepke.
10. All WRITINGS that identify the name and CONTACT INFORMATION for
anyone who was in the wedding party for your martiage to Nancy Karidis-Koepke, as well as all
WRITINGS that are needed to refresh your recollection concerning their names and CONTACT
INFORMATION. /
11. All photographs that depict Mr. and Mrs. Koepke.
12. A copy of Mr. Koepke’s matriage certificate to anyone he wed prior to Nancy
Karidis-Koepke.
13. All photographs of anyone who was in the wedding party (e.g.. groomsman or
bridesmaids, best man, and maiden of honor) for your marriage to anyone you wed prior to Nancy
Karidis-Koepke,
14. All WRITINGS that identify the name and CONTACT INFORMATION for
anyone who was in the wedding party for your marriage to anyone before you married Nancy
Karidis-Koepke, as well as all WRITINGS that are needed to refresh your recollection concerning
their names and CONTACT INFORMATION,
15. A copy of all WRITINGS pertaining to a divorce, separation or annulment of any
marriage involving Mr. Koepke prior to his marriage to Nancy Karidis Koepke,
16. All WRITINGS that are sufficient to provide the name and CONTACT
INFORMATION any former spouse of Mr. Koepke, as well as all WRITINGS that are needed to _
refresh his recollection regarding their names and CONTACT INFORMATION,
17, All WRITINGS, including any address books and telephone books, that are
sufficient to provide the address for each residence that Mr. Koepke resided in from the time of his
birth until the present day, as well as all WRITINGS that are needed to identify the dates he lived
in each residence or to refresh his recollection concerning the dates he resided in each,
18. All photographs that depict Mr. Koepke with any person to whom he was married
prior to his marriage to Nancy Karidis-Koepke,
19, All photographs of each residence that Mr. Koepke ever resided in,
(CBM-PRODUCTSISF610397-1 3
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPRE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGS1
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20. All WRITINGS that are sufficient to provide the name and CONTACT
INFORMATION for any neighbor you knew when you lived at any of the residences you have
lived in, as well as all WRITINGS needed to refresh your recollection concerning their names and
CONTACT INFORMATION,
21, All WRITINGS - including but not limited to building permits, contracts, plans and
photographs ~ pertaining to or evidencing any demolition, construction, improvements to, or
Tenovation of any residence Mr. Koepke has lived in that occurred during the time he lived there;
the persons, firms or companies that performed any such work; and the brand, manufacturer and
supplier of any materials that were used; as well as all WRITINGS that are sufficient to refresh his
recollection regarding any demolition, construction, improvements to, or renovations of. any
residence he has lived in that occurred while he lived there including the names and CONTACT
INFORMATION for the persons, firms or companies that performed the work and the brand,
manufacturer and supplier of any materials that were used,
22, All WRITINGS that are sufficient to identify the names of Mr. Koepke’s parents,
the dates of their respective deaths, and the causes of their respective deaths, as well as all
WRITINGS that are sufficient to refresh his recollection concerning this information,
23. All WRITINGS that are sufficient to identify the names and CONTACT
INFORMATION for each of Mr. Koepke’s siblings, as well as all WRITINGS that are sufficient
to refresh his recollection about their names and CONTACT INFORMATION.
24, The most recent photograph that Mr. Koepke has of each of his siblings.
25. All WRITINGS that evidence any degree Mr. Koepke received (e.g, high school
diploma, associate’s degree, undergraduate degree, post-graduate degree), as well as all
WRITINGS that are sufficient to refresh his recollection concerning the name of any high school,
trade school, junior or community college, college or university, and post-graduate institution Mr.
Koepke attended at any time, including the name of it, the address, the dates he attended, his
curriculum of study, the date of any degree or certificate he received, and any major or minor area
of study.
CBM-PRODUCTS\SE610397-1 4n
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGS1
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26. 9 Mr. Koepke’s high school yearbook, as well as any yearbook he received, obtained
or purchased from any other school, trade school, community or junior college, college or
university, or post-graduate institution,
27. AH WRITINGS that evidence ot identify anyone Mr. Koepke attended school with
that he considered a friend at any time and their CONTACT INFORMATION, as well ag all
WRITINGS that are sufficient to refresh your recollection about the names and last known address
and telephone number of anyone you went to school with, at any time, with whom you were
friends at school and anytime prior or after attending school,
28. All WRITINGS that sufficient to identify the name and CONTACT
INFORMATION of each doctor Mr. Koepke has had since he was 30 years of age, as well as all
WRITINGS that are sufficient to refresh his recollection about their names and last known
addresses.
29, All WRITINGS pertaining to any diagnoses of lymphoma or cancer made of Mr.
Koepke at any time prior to his diagnosis with mesothelioma, as well as all WRITINGS that are
sufficient to refresh his recollection about any such diagnosis. ,
30. All WRITINGS pertaining to any treatment Mr. Koepke received at any time for
lymphoma or any form of cancer prior to his diagnosis with mesothelioma, as well as all
WRITINGS that are sufficient to refresh his recollection concerning that treatment,
31, All photographs of Mr. Koepke during any hospitalization that involved the
diagnosis of or treatment for any form of cancer or lymphoma,
32. _ All photographs of Mr. Koepke during a period he was treated for any form of
cancer or lymphoma.
33, All WRITINGS pertaining to Mr. Koepke’s employment from the time he was 16 .
years old to the present, including all WRITINGS that identify the name and addross of the
employer, his position, his job duties, the sites where he worked, and the names CONTACT
INFORMATION for any of his co-workers, supervisors, employees, company officers, or
business owners, as well as all WRITINGS that are sufficient to refresh his recollection.
concerning the name and address of each employer he has had from the time he was 16 years old
CBM-PRODUCTS\SF610397-1 -5-
NOUCE OF DEPOSITION OF PLAINTIFF HAROLD ROEPKE AND REQUEST TOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGSto the present, the addresses where he worked for each, his position, his job duties, and the identity
and CONTACT INFORMATION for any of his former employees, co-workers, supervisors or
owners,
34, All photographs of Mr. Koepke at work or performing any job.
35. All photographs of any person Mr. Koepke ever worked with, whether in a civilian
or MILITARY capacity.
36. All WRITINGS pertaining to Mr, Koepke’s employment at a Shell service station
in San Francisco, as alleged in the complaint, including the address of the service station, his
position, and his job duties, and the names and last known addresses of anyone else who worked
there at any time when he did.
37, All photographs of the Shell service station where Mr, Koepke previously worked,
including all photographs of Mr. Koepke that were taken at that Shell station, and all photographs
of anyone who worked at that Shell service station when he did,
38, All WRITINGS that identify or pertain to any motor vehicle Mr. Koepke worked
on at any Shell service station, or that was worked on when he worked there, including alt work
orders, invoices, receipts and parts orders,
39. All photographs of any motor vehicle Mr. Koepke worked on at any Shell service
station, or that was worked on when he worked there.
40. All WRITINGS evidencing or identifying the owner of at any Shell service station
Mr. Koepke worked at, including all WRITINGS that identify any CONTACT INFORMATION
for the owner of any Shell service station that employed Mr. Koepke.
41, All WRITINGS evidencing or memorializing any information provided by federal
or Cal OSHA, investigations and citations of or to the Shell service station when Mr. Koepke
worked there,
42, All account ledgers for any Shell service station Mr. Koepke worked at,
43. All WRITINGS evidencing any workers’ compensation claim, or claim to the State
of California, made by or on behalf of Mr. Koepke as a result of working at any Shell service
station.
CBM-PRODUCTS\SF610297-1 -6-
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD ROEPKE AND REQUEST FOR PRODUCTION OF
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44, All WRITINGS pertaining to Mr. Koepke’s ownership or employment at Harold’s
Automotive, as alleged in the complaint, including the address of the business, the form of
business (e.g., corporation, sole proprictorship, etc.), his position, and his job duties, and the
names and CONTACT INFORMATION for anyone else who worked there at any time when he
did, as well as all WRITINGS that are necessary to refresh Mr. Koepke’s recollection concerning
the names and CONTACT INFORMATION of anyone who owned or worked at Harold’s
Automotive.
45. All WRITINGS that identify or pertain to. any motor vehicle Mr. Koepke worked
on at Harold’s Automotive, or that was worked on when he worked there, including all work
orders, invoices, receipts and parts orders,
46. All photographs of any motor vebicle Mr. Koepke worked on at Harold’s
Automotive, or that was worked on when he worked there.
47, All photographs of Mr. Koepke working at Harold’s Automotive.
48. All photographs of any employees, co-workers, or owners of Harold’s Automotive.
49, All formation documents for Harold’s Automotive, including articles of formation
or incorporation, if Mr, Koepke ever had an ownership interest, direct or indirect, in Harold’s
Automotive.
50, Al! WRITINGS, videos and other information received from federal or Cal OSHA
by Harold’s Automotive, as well as all WRITINGS evidencing ot pertaining to any citation by
OSHA or investigation by OSHA that occutred at Harold’s Automotive while Mr. Koepke owned
it or worked there.
51. All account ledgers, books and records for Harold’s Automotive during the period
Mr. Koepke had an ownership interest in it or worked there.
52, All WRITINGS sufficient to identify the name and CONTACT INFORMATION
for any person or firm that provided accounting or auditing services at any point in time to
Harold’s Automotive during the period that Mr. Koepke worked there or had an ownership
interest, direct or indirect, in Harold’s Automotive, as well as all WRITINGS sufficient to refresh
CAM-PRODUCTSISH610397-1 -7-
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD ROBPRE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGSMr. Koepke’s recollection concerning the identity and locations of any person or firm and the
period during which any such person or firm provided such services.
53. All WRITINGS evidencing any workers’ compensation claim, or claim to the State
of California, made by or on behalf of Mr. Koepke as a result of working at Harold’s Automotive,
34, All WRITINGS evidencing or pertaining to any claim that has been submitted by
or on behalf of either plaintiff to any bankruptcy trust asserting injury from exposure to asbestos,
including ail WRITINGS evidencing or pertaining to any Tesponse to such claim, any inquiries
about the claim or the grounds for the claim, and any payment on any such claim,
55, All brakes, clutches, and gaskets that Mr. Koepke ever removed from any motor
vehicle that he has or has under his control,
356. All brakes, clutches and gaskets for any motor vehicle that Mr, Koepke has in his
possession,
57. All shop manuals, parts manuals, owner’s manuals that he bas ever read, consulted
or used.
58. All WRITINGS evidencing or pertaining to the make, model, and. model year of
any motor vehicle Mr, Koepke has ever owned ot leased.
59. All photographs of any motor vehicle Mr. Koepke has ever owned or leased.
60. All WRITINGS evidencing any work Mr. Koepke has performed on any motor
vehicle he has ever owned or leased, including work orders, invoices, parts orders and receipts for
parts.
61. All photographs of any parts Mr. Koepke has removed from or installed on or in
any motor vehicle.
62. All WRITINGS pertaining to any motor vehicle Mr. Koepke has ever worked on
(other than at the Shell service station and Harold’s Automotive), including work orders, invoices,
parts orders, and receipts.
63. All photographs of any motor vehicle that Mr, Koepke has ever worked on (other
than at the Shell service station and Harold’s Automotive).
(CBM-PRODUCTS\SF610397-3 8.
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPRE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGS64. All WRITINGS constituting or evidencing any settlement agreement Mr. Koepke
has entered into, or which has been entered into on his behalf, on the alleged basis of. exposure to
asbestos, any hazardous chemical, or any hazardous substance of. any kind, as well as all
WRITINGS needed for Mr. Koepke to refresh his recollection concerning the identity, terms and
parties to each such agreement,
65. All WRITINGS constituting or evidencing an agreement not to sue a person or
entity of any kind or type, whether made by Mr. Koepke or by his counsel that is used for the
benefit of Mr. Koepke, including all WRITINGS that identify the name of any such person or
entity, the consideration provided by such person or entity in consideration for Mr, Koepke’s or
his attorneys’ agreement not to sue each such person or entity.
66. All WRITINGS sufficient to identify the name of any lawyer or law firm, and
his/her/its CONTACT INFORMATION, that has Tepresented Mr. Koepke in any forum, except in
this action, to recover damages or compensation as a result of any exposure to asbestos,
67, All WRITINGS that evidence, identify or relate to any exposure to asbestos by Mr.
Koepke, including exposures to asbestos from sources or products manufactured or supplied by
persons, companies or entitics that are not named as defendants in this action, as well as all
WRITINGS that are sufficient to refresh Mr. Koepke’s recollection concerning any such
exposures or products and the identity of the manufacturer or supplier of them.
68. All WRITINGS that evidence any damages Mr. Koepke has sustained as a result of
allegedly being diagnosed with mesothelioma.
| Dated: December, 2013 BERRY & BERRY
Laur tak, Esq.
Designated Defense Counsel
CBM-PRODUCTS\SF610297-1 -9-
NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION OF
DOCUMENTS, PHOTOGRAPHS AND THINGSPROOF OF SERVICE BY MAIL
(CCP SECTION 1013-2015)
Jam employed in the County of Alameda, over the age of 18 years, and not a party to the
within action, My business address is in care of Berry & Berry, 2930 Lakeshore Avenue,
Oakland, California 94610. Lat readily familiar with Berry & Berry’s practice for collection
and processing of documents for mailing with the United States Postal Service.
On Decemer 4 , 2013, ] served the attached NOTICE OF TAKING
DEPOSITION AND REQUEST FOR PRODUCTION OF DOCUMENTS,
PHOTOGRAPHS AND THINGS of HAROLD KOEPKE on the following entities to said
action by placing for collection and mailing on said date, following ordinary business practices,
a true copy thereof in a sealed envelope in the mail room of Berry & Berry for deposit, postage
thereon fully prepaid, with the United States Postal Service at Oakland, California, addressed as
follows:
Kazan McClain Satterley Lyons, See Entities on Attached Service List
Greenwood & Oberman
Jack London Market,
55 Harrison Street, Suite 400
Oakland, CA 94607
Fax No; 510-835-4913
I declare under penalty of perjury that the foregoing is true and correct and that this
Devember 4 » 2013 a Oakland, California,
declaration was executed onBERRY AND BERRY SERVICE LIST As of — 12/09/2013
FAX NUMBER
CASE NAME: KOEPKE, HAROLD/ NANCY V, FORD MOTOR COMP SFSC CGC-13-276217 KAZAN M4538.ASB
PLTF COUNSEL NAME
KAZAN KAZAN MCCLAIN ABRAMS LYONS ET. AL,
M4538.ASB CARROLL, BURDICK & MCDONOUGH O10
44 MONTGOMERY STREET, SUITE 400 SAN FRANCISCO, CA 94104 . . (415)989-0932
VOLKSWAGEN OF AMERICA, INC,
Page 1 of 1A.B.C, MOBILE SYSTEMS, indv.
and as si, parent, ae, and equitable
trostee of ASSOCIATED BRAKE
COMPANY and WESTERN STATES
BRAKE MANUFACTURING c/o
Agent: David B. Slater
45 S, Cottage Rd.
Belmont, MA 02478
AMERICAN HONDA MOTOR CO.,
Inc,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
BELL INDUSTRIES INC.,, indy, and
as sii, parent, ac, and equitable trustee
of ROX AUTOMOTIVE, c/o Agent:
The Corporation Trust Company
1209 Orange Street
‘Wilmington, DE 19801
BELNORTEL CORPORATION, dba
A.B.C. MOBILE BRAKE OF SAN
FRANCISCO,
c/o Agent: Gary R. McArthur
7975 Momningside Dr.
Granite Bay, CA 95746.
BORGWARNER MORSE TEC
INC,, indy. and as sii, parent, ae and
equitable trustee of BORG-WARNER
CORPORATION, c/o Agent: The
Corporation Trust Company
1209 Orange Street
‘Wilmington, DE 19801
BURLINGAME AUTO SUPPLY,
Agent: TBD
CONTINENTAL AUTOMOTIVE
SYSTEMS, INC., indy. and as sii,
parent, ac and equitable trustee of
CONTINENTAL TEVES, INC., c/o
Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
COOPER INDUSTRIES, LLC, indy.
and as sii, parent, ac and equitable
trustee of PNEUMO ABEX, LLC and
ABEX CORPORATION, c/o Agent:
‘The Corporation Trust Company
1209 Orange Street
‘Wilmington, DE 19801
DON L. MORRIS, INC.,
c/o Agent: Michael B. Morris
132 Loch Lomond Rd,
Rancho Mirage, CA 92270
FMC CORPORATION-IOHN BEAN
AUTOMOTIVE EQUIPMENT SERVICE
DIVISION, c/o Agent: CT Corporation
System
818 West Seventh Street
Los Angeles, CA 90017
FMC TECHNOLOGIES, INC., indy.
and as sii, parent, ae, and equitable trustee
of JOHN BEAN AUTOMOTIVE
EQUIPMENT SERVICE DIVISION of
FMC CORPORATION, c/o Agent: CT
Corporation System
818 West Seventh Strect
Los Angeles, CA 90017
FOLSOM AUTO SUPPLY,
fo Agent: Harry Low
328+ 2nd Avenue, #1
San Francisco, CA 94118
FORD MOTOR COMPANY,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
GENUINE PARTS COMPANY,
c/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
HLM, ROYAL, INC,
c/o Agent: Phillip &. Griffin
Fox Rothschild LLP
997 Lenox Dr., Bldg 3
Lawrenceville, NJ 08648
HONEYWELL INTERNATIONAL,
INC., fka ALLIED SIGNAL, INC., as
Successor-In-Interest to the BENDIX
CORPORATION, c/o Agent:
CSC-Lawyers Incorporating Service
2710 Gateway Oaks Drive, Suite 150N
Sacramento, CA 95833
KELSEY-HAYES COMPANY, c/o
Agent: CSC-Lawyers Incorporating
Service
2710 Gateway Oaks Drive, Suite 150N
Sacramento, CA 95833
LEAR SIEGLER DIVERSIFIED
HOLDINGS CORP, indv. and as sii,
parent, ae and equitable trustee of
ROYAL INDUSTRIES, INC., c/o Agent:
The Corporation Trust Company
1209 Orange Street
Wilmington, DE 19801
LES VOGEL CHEVROLET
COMPANY,
clo Agent: Philip O. Vogel
617 Occidental Ave.
San Maieo, CA 94402
METROPOLITAN LIFE
INSURANCE COMPANY, c/o Agent:
CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
MORTON INTERNATIONAL, LLC,
formerly known as MORTON
INTERNATIONAL, INC., indy, and as
sii, parent, ae and equitable trustee of
THIOKOL CORPORATION, c/o
Agent: CT Corporation System
251 E. Ohio St, Suite 1100
Indianapolis, IN 46204
NATIONAL AUTOMOTIVE PARTS
ASSOCIATION, c/o Agent: The
Corporation Company
30600 ‘elegraph Rd, Bingham Farms,
MI 48025
PARKER-HANNIFIN
CORPORATION, indy. and as sii,
parent, ae and equitable trustee of EIS
BRAKE PARTS, CALI-BLOK,
INDUSTRIAL & AUTOMOTIVE
ASSOCIATES, INC, d.b.a,
CALI-BLOCK, c/o Agent; CT
Corporation System
818 West Seventh Street
Los Angeles, CA 90017
PNEUMO ABEX LLC, indy. and as
sii, parent, ac and equitable trustee of
ABEX CORPORATION, c/o Agent:
Corporation Service Company
2711 Centerville Road, Suite 400
Wilmington, DE 19808
ROX AUTOMOTIVE, Agent: TBD
SHELL OL, COMPANY,
o/o Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
SPECIALTY FOREIGN AUTO
PARTS, INC. indy. and as sii, parent,
av and equitable trustee of
SPECIALITY FOREIGN AUTO
PARTS, c/o Agent: Geraldina
Horak-Costagtio
57646 Sunnyslope Dr,
Yuoca Valley, CA 92284THE BUDD COMPANY, c/o Agent:
CSC - LAWYERS INCORPORATING
SERVICE
601 Abbot Road
East Lansing, MI 48823
THE HERTZ CORPORATION, c/o
Agent: CT Corporation System
818 West Seventh Street
Los Angeles, CA 90017
UNIVERSITY DISTRIBUTORS,
INC. as indy. and as sii, parent, ae and
equitable trustee of Don L. Morris, Inc.,
c/o Agent: Michael B. Morris,
132 Loch Lomond Rd,
Rancho Mirage, CA 92270
VOLKSWAGEN GROUP OF
AMERICA, INC., c/o Agent:
CSC-Lawyers Incorporating Service
2710 Gateway Oaks Drive, Suite 150N
Sacramento, CA 95833
TOYOTA MOTOR SALES, U.S.A,
INC., c/o Agent: CF Corporation
System
818 West Seventh Street
Los Angeles, CA. 90017
W. BERRY HURLEY
CORPORATION, d.b.a, FEDERAL
AUTO PARTS,
Agent; Linda Marver
933 Redwood Dr.
Danvilie, CA 94506
|
i
iEXHIBIT FLAURA PRZETAK, ESQ. CSB NO.118301
BERRY & BERRY
A Professional Corporation
2930 Lakeshore Avenue
Oakland, California 94610
Telephone: (510) 250-0200
Designated Defense Counsel
SUPERIOR COURT OF THE STATE OF CALIFORNIA
- COUNTY OF SAN FRANCISCO
HAROLD KOEPKE and NANCY KARIDIS- Case No. CGC-13-276217
KOEPKE,
AMENDED NOTICE OF DEPOSITION OF
Plaintiffs, TEF HAROLD KOEPKE AND REQUEST
FOR PRODUCTION OF Doc y
v. PHOTOGRAPHS AND THINGS
FORD MOTOR COMPANY; et al.,
Defendants.
TO PLAINTIFFS AND THEIR ATTORNEYS OF RECORD:
PLEASE TAKE NOTICE THAT Defendants will take the oral deposition by the
stenographic method of plaintiff Harold Koepke on January 7, 2014, Starting at 10:00 2m., before
a certified court reporter, at Carroll, Burdick & McDonough LLP, 44 Montgomery Street, Suite
400, San Francisco, California 94104, pursuant to Code of Civil Procedure section 2025,010 et
seq. Pursuant to Code of Civil Procedure section 2025.220(a\5), the instant visual display of
testimony also may be utilized during Mr. Koepke’s deposition. The deposition will continue
from day-to-day until completed, excluding weekends and holidays.
For those parties wishing to participate by telephone, the dial in number is as follows: 888
~ 632 — 5950; passcode: 47758,
Pursuant to Code of Civil Procedure section 2025.220(a)(4), plaintiff Harold Koepke is
required to produce the following documents, materials, photographs and things at the
commencement of the deposition:
‘CBM-PRODUCTSISF6I 1175-1 .
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGSL A copy of Mr. Koepke’s Social Security earnings records that identify each
employer or period of self-employment, the years and/or quarters worked, and the amount of any
witbholdings for the period covering his first employment that withheld Social Security taxes
through the end of 2005.
2. All MILITARY WRITINGS (the term “MILITARY,” as used in this deposition
notice, means the United States Air Force, Army, Coast Guard, Marines, Merchant Marines, Navy
or Reserves for any branch of the armed services; and the term “WRITING” or “WRITINGS,” as
used in this deposition notice means a writing as that term is defined by Evidence Code section
250) and records pertaining to Mr. Koepke, including all enlistment records, records showing the
bases or ships he was stationed at or on and the period he was assigned to each, records of any
promotions or demotions, records of discharge including the term of discharge (e.g., honorable),
and records pertaining to any service in the military reserves,
3. All photographs of Mr. Koepke while he served in the MILITARY, of any ship he
served aboard, of any equipment he worked on or around, and of any base he served on orat
which he was stationed for basic training, duty or otherwise.
4, All yearbooks, picture books, photo books, crew books, and any other WRITING
that shows or depicts any ship Mr. Koepke was assigned to or served aboard, or any base to which
he was assigned or was stationed at, and other people who served aboard the ship or at the base at
any period when he did.
5, All WRITINGS that evidence, list, or identify the names and any CONTACT
INFORMATION (the term “CONTACT INF ORMATION,” as used in this deposition notice,
means the address, landline telephone number, cellphone telephone mmber and/or email address)
of anyone Mr. Koepke knew or served with in the MILITARY.
6. All WRITINGS constituting, evidencing or pertaining to any claim to the United
States Veterans’ Administration, United States Government, or the MILITARY concerning,
pertaining or relating to any exposure to asbestos, carcinogenic chemicals, or hazardous materials
of any kind, as well as all WRITINGS constituting, evidencing or pertaining to any response to
such a claim.
CBM-PRODUCTS\SF6I1175-1 -2- .
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION
S ~
OF DOCUMENTS, PHOTOGRAPHS AND THING!7. A copy of Mr. Koepke’s birth certificate.
8. A copy of Mr, Koepke’s marriage certificate to Nancy Karidis-Koepke.
9 All photographs of anyone who was in the wedding party (e.g.. groomsmen or
bridesmaids, best man, and maiden of honor) for your marriage to Nancy Karidis-Koepke.
10. All WRITINGS that identify the name and CONTACT INFORMATION for
anyone who was in the wedding party for your marriage to Nancy Karidis-Koepke, as well as all
WRITINGS that are needed to refresh your recollection concerning their names and CONTACT
INFORMATION.
11. All photographs that depict Mr. and Mrs, Koepke.
12. Acopy of Mr. Koepke’s marriage certificate to anyone he wed prior to Nancy
Karidis-Koepke.
13. All photographs of anyone who was in the wedding party (e.g. groomsman or
bridesmaids, best man, and maiden of honor) for your marriage to anyone you wed prior to Nancy
Karidis-Koepke. ,
14, All WRITINGS that identify the name and CONTACT INFORMATION for
anyone who was in the wedding party for your marriage to anyone before you married Nancy
Karidis-Koepke, as well as all WRITINGS that are needed to refresh your recollection concerning
their names and CONTACT INFORMATION.
15. A copy of all WRITINGS pertaining to a divorce, separation or annulment of any
matriage involving Mr. Koepke prior to his marriage to Nancy Karidis-Koepke,
16. All WRITINGS that are sufficient to provide the name and CONTACT
INFORMATION any former spouse of Mr. Koepke, as well as all WRITINGS that are needed to
refresh his recollection regarding their names and CONTACT INFORMATION.
17, All WRITINGS, including any address books and telephone books, that are
sufficient to provide the address for each residence that Mr. Koepke resided in from the time of his
birth until the present day, as well as all WRITINGS that are needed to identify the dates he lived
in each residence or to refresh his recollection concerning the dates he resided in each.
CBM-PRODUCTSISF611175-1 ~3-
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGS18. All photographs that depict Mr. Koepke with any person to whom he was married
prior to his marriage to Nancy Karidis-Koepke.
19. All photographs of each tesidence that Mr. Koepke ever resided in,
20. All WRITINGS that are sufficient to provide the name and CONTACT
INFORMATION for any neighbor you knew when you lived at any of the residences you have
lived in, as well as all WRITINGS needed to refresh your recollection concerning their names and
CONTACT INFORMATION.
21. All WRITINGS - including but not limited to building permits, contracts, plans and
photographs — pertaining to or evidencing any demolition, construction, improvements to, or
renovation of any residence Mr, Koepke has lived in that occurred during the time he lived there;
the persons, firms or companies that performed any such work; and the brand, manufacturer and
supplier of any materials that were used; as well as all WRITINGS that are sufficient to refresh his
recollcction regarding any demolition, construction, improvements to, or renovations of: any
residence he has lived in that occurred while he lived there including the names and CONTACT
INFORMATION for the persons, firms or companies that performed the work and the brand,
manufacturer and supplier of any materials that were used. /
22. All WRITINGS that are sufficient to identify the names of Mr. Koepke’s parents,
the dates of their respective deaths, and the causes of their respective deaths, as well as all
WRITINGS that are sufficient to refresh his recollection concerning this information,
23. All WRITINGS that are sufficient to identify the names and CONTACT
INFORMATION for each of Mr. Koepke’s siblings, as well as all WRITINGS that are sufficient
to reftesh his recollection about their names and CONTACT INFORMATION,
24. The most recent photograph that Mr. Koepke has of each of his siblings.
25. All WRITINGS that evidence any degree Mr. Koepke received (e.g, high school
diploma, associate’s degree, undergraduate degree, post-graduate degree), as well as all
WRITINGS that are sufficient to refresh his recollection concerning the name of any high school,
trade school, junior or community college, college or university, and Post-graduate institution Mr.
Koepke attended at any time, including the name of it, the address, the dates he attended, his
CBM-PRODUCTSISF611175-1 4.
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FORPRODUGTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGScurriculum of study, the date of any degree or certificate he received, and any major or minor area
of study.
26. Mr. Koepke’s high school yearbook, as well as any yearbook he received, obtained
ot purchased from any other school, trade school, community or junior college, college or
university, or post-graduate institution.
27. All WRITINGS that evidence or identify anyone Mr. Koepke attended school with
that he considered a friend at any time and their CONTACT INF ORMATION, as well as all
WRITINGS that are sufficient to refresh your recollection about the names and last known address
and telephone number of anyone you went to school with, at any time, with whom you were
friends at school and anytime prior or after attending school,
28. All WRITINGS that sufficient to identify the name and CONTACT
INFORMATION of each doctor Mr. Koepke has had since he was 30 years of age, as well as all
WRITINGS that are sufficient to refresh his recollection about their names and last known
addresses.
29. All WRITINGS pertaining to any diagnoses of lymphoma or cancer made of Mr.
Koepke at any time prior to his diagnosis with mesothelioma, as well as all WRITINGS that are
sufficient to refresh his recollection about any such diagnosis.
30. All WRITINGS pertaining to any treatment Mr. Koepke received at any time for
lymphoma or any form of cancer prior to his diagnosis with mesothelioma, as well as all
WRITINGS that are sufficient to tefresh his recollection concerning that treatment,
31. - All photographs of Mr. Koepke during any hospitalization that involved the
diagnosis of or treatment for any form of cancer or lymphoma.
32, All photographs of Mr. Koepke during a period he was treated for any form of
cancer or lymphoma.
33. All WRITINGS pertaining to Mr. Koepke’s employment from the time he was 16
years old to the present, including all WRITINGS that identify the name and address of the
employer, his position, his job duties, the sites where he worked, and the names CONTACT
INFORMATION for any of his co-workers, supervisors, employees, company officers, or
CBM-PRODUCTSISF611} 25-1 -5-
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPRE AND REQUEST FOR PRODUCTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGSbusiness owners, as well as all WRITINGS that are sufficient to refresh his recollection
concerning the name and address of each employer he has had from the time he was 16 years old
to the present, the addresses where he worked for each, his position, his job duties, and the identity
and CONTACT INFORMATION for any of his former employees, co-workers, supervisors or
owners.
34, All photographs of Mr. Koepke at work or performing any job.
35. All photographs of any person Mr. Koepke ever worked with, whether in a civilian
or MILITARY capacity,
36. All WRITINGS pertaining to Mr. Koepke’s employment at a Shell service station
in San Francisco, as alleged in the complaint, including the address of the service station, his
position, and his job duties, and thé names and last known addresses of anyone else who worked
there at any time when he did.
37. All photographs of the Shell service station where Mr. Koepke previously worked,
including all photographs of Mr. Koepke that were taken at that Shell station, and all photographs
of anyone who worked at that Shell service station when he did.
38. All WRITINGS that identify or pertain to any motor vehicle Mr. Koepke worked
on at any Shell service station, or that was worked on when he worked there, including all work
orders, invoices, receipts and parts orders.
39. Ail photographs of any motor vehicle Mr. Koepke worked on at any Shell service
station, or that was worked on when he worked there,
40. All WRITINGS evidencing or identifying the owner of at any Shell service station
Mr. Koepke worked at, including all WRITINGS that identify any CONTACT INFORMATION
for the owner of any Shell service station that employed Mr. Koepke,
41. All WRITINGS evidencing or memorializing any information provided by federal
or Cal OSHA, investigations and citations of or to the Shell service station when Mr. Koepke
worked there.
42. All account ledgers for any Shell service station Mr. Koepke worked at.
(CBM-PRODUCTS\SF611175-1 -6-
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGS43. Ali WRITINGS evidencing any workers’ compensation claim, or claim to the State
of California, made by or on behalf of Mr. Koepke as a result of working at any Shell service
station.
44, All WRITINGS pertaining to Mr. Koepke’s ownership or employment at Harold’s
Automotive, as alleged in the complaint, including the address of the business, the form of
business (e.g., corporation, sole proprietorship, etc.), his position, and his job duties, and the
names and CONTACT INFORMATION for anyone else who worked there at any time when he
did, as well as all WRITINGS that are necessary to reftesh Mr. Koepke’s recollection concerning
the.names and CONTACT INFORMATION of: anyone who owned or worked at Harold’s
Automotive,
45. All WRITINGS that identify or pertain to any motor vehicle Mr. Koepke worked
on at Harold’s Automotive, or that was worked on when he worked there, including all work
orders, invoices, receipts and parts orders.
46. All photographs of any motor vehicle Mr. Koepke worked on at Harold’s
Automotive, or that was worked on when he worked there.
47. All photographs of Mr. Koepke working at Harold’s Automotive,
48. All photographs of any employees, co-workers, or owners of Harold’s Automotive.
49. _ All formation documents for Harold’s Automotive, including articles of formation
or incorporation, if Mr. Koepke ever had an ownership interest, direct or indirect, in Harold’s
Automotive, ‘
30. All WRITINGS, videos and other information received from federal or Cal OSHA
by Harold’s Automotive, as well as all WRITINGS evidencing or. pertaining to any citation by
OSHA or investigation by OSHA that occurred at Harold’s Automotive while Mr. Koepke owned
it or worked there.
51. All account ledgers, books and records for Harold’s Automotive during the period
Mr. Koepke had an ownership interest in it or worked there.
52. All WRITINGS sufficient to identify the name and CONTACT INFORMATION
for any person or firm that provided accounting or auditing services at any point in time to
(CBM-PRODUCTS\SF611175-1 -7-
AMENDED NOTICE OF DEPOSITION OF PLAINTIFF HAROLD KOEPKE AND REQUEST FOR PRODUCTION
OF DOCUMENTS, PHOTOGRAPHS AND THINGSHarold’s Automotive during the period that Mr. Koepke worked there or had an ownership
interest, direct or indirect, in Harold’s Automotive, as well as all WRITINGS sufficient to reftesh
Mr. Koepke’s recollection concerning the identity and locations of any person or firm and the
period during which any such perso