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  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
  • ROBERT ROSS et al VS. C.C. MOORE & CO. ENGINEERS ASBESTOS document preview
						
                                

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LAW OFFICES IMAI, TADLOCK, KEENEY & CORDERY, LLP SCO, CA 94104 675-7000 SUITE 1300 100 BUSH STREET Theodore T. Cordery, Esq. (Bar No. 114730) tcordery@itke.com Michael J. Boland, Esq. (Bar No. 98343) mboland@itke.com ELECTRONICALLY Tina Yim, Esq. (Bar No. 232597) : FILED tyim@itke.com gee ecvietae 7 IMAI, TADLOCK, KEENEY & CORDERY, LLP bday bf aun Preicico! 100 BUSH STREET, SUITE 1300 ( 08/13/2015 SAN FRANCISCO, CA 94104 08 /: of £2 Court Telephone: (415) 675-7000 BY:RONNIE OTERO Facsimile: (415) 675-7008 Deputy Clerk Attorneys for Defendant WEBCOR BUILDERS, INC. IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA IN AND FOR THE CITY AND COUNTY OF SAN FRANCISCO UNLIMITED JURISDICTION ROBERT ROSS and JEAN ROSS, CASE NO.: CGC-10-275731 (ASBESTOS) Plaintiff, WITNESS LIST OF WEBCOR BUILDERS, v. INC. Complaint Filed: December 17, 2010 C.C. MOORE & CO. ENGINEEERS, et al., Trial Date: August 10, 2015 Dept: 613 Honorable Harold J. Kahn Defendant. Defendant WEBCOR BUILDERS, INC. may call the following witnesses at trial: 1. Thomas Anderson — Mr. Anderson is a general contractor expert, whose primary focus of testimony may be the standard of care of contractors and premises owners with respect to jobsite protocol and procedures. The expected time of direct examination: one hour 2. Jeffrey Birkner, Ph.D. ~ Dr. Birkner is a certified industrial hygienist who may provide opinions regarding the application of industrial hygiene principals to the facts of this case. He may also testify specifically as to the allegations made against San Francisco Gravel Company, Inc. -l- WITNESS LIST OF WEBCOR BUILDERS, INC.LAW OFFICES IMAI, TADLOCK, KEENEY & CORDERY, LLP SUITE 1300, loo BUSH STREET SAN FRANCISCO, CA 94104 (415) 675-7000 YADA wA Bw NY The expected time of direct examination: two hours 3. Laura Dolan, MBA. Ms. Dolan is an expert in the field of economics and economic loss evaluation. She may testify concerning the appropriate calculation of damages in this case, Additionally, she may offer criticism of the plaintiff's proposed calculation of damages in this case. Lastly, she may offer alternative methods to evaluate the claimed economic loss by plaintiff. The expected time of direct examination: one hour 4. Gerald Meyers, M.D. Dr. Meyers is a pulmonologist who may testify concerning his knowledge of lungs and thoracic organ functions. He may discuss Plaintiff's medical condition, his smoking history and explain asbestos-related markers found in the lungs including pleural plaques or diffuse interstitial lung disease. He may also testify concerning the Plaintiff's medical treatment, cost of his medical care, and the medical damages allegedly suffered by Plaintiff. He may testify regarding issues of alternative causation and life-shortening problems unrelated to Plaintiff's alleged asbestos exposure. The expected time of direct examination: two hours 5. Norman Moscow, M.D. Dr. Moscow is a radiologist who may testify to explain the radiographic evidence taken of Plaintiff’s lungs including but not limited to x-rays and CT scans. He may also opine concerning Decedent’s history of smoking and alcohol consumption and the effects there from. The expected time of direct examination: one hour 6. Samuel Spivack, M.D. Dr. Spivack is an oncologist. He may testify regarding the alleged connection between plaintiffs medical condition and any asbestos exposure, the treatment of and prognosis for plaintiffs medical condition, and issues regarding causation. The expected time of direct examination: two hours 7. Khalil Sheibani, M.D. Dr. Sheibani is a pathologist. He may testify as to medical issues relative to asbestos exposure and the pathological aspects of plaintiff's case, including Plaintiff’s medical condition, issues, and alternative causation, as well as life- shortening health problems of Plaintiff not related to alleged asbestos exposure. [51 WITNESS LIST OF WEBCOR BUILDERS, INC.LAW OFFICES IMAI, TADLOCK, KEENEY & CORDERY, LLP SUITE 1300 100 BUSH STREET SAN FRANCISCO. CA 94104 (415) 675-7000 The expected time of direct examination: one hour 8. Noel Weiss, M.D. Dr. Weiss is an epidemiologist. He may be called to testify as to epidemiological issues relating to Plaintiff's physical condition, the relationship between asbestos exposure and any increased risk of cancer, medical causation and life shortening problems not related to alleged asbestos exposure. He may also testify as to the "state of the art" based upon his review of the medical literature. His areas of expertise are epidemiology and biostatistics, with an emphasis on the study of cancer. The expected time of direct examination: two hours 9. Corporate Representative Defendant Webcor Builders, Inc. may present a corporate representative to testify about its history, business operations/protocol, and related subjects. The testimony may also include the plaintiff's jobsites alleged to be managed or visited by Clausen--Patten, Inc., a Dissolved Corporation. The expected time of direct examination: two hours Defendant hereby joins in the Witness List of each and every other defendant in this case. Defendant reserves the right to amend this list as the evidence may require during Trial. Defendant reserves the right to call unlisted witnesses from the Expert Witness Designation by designated defense counsel, the law offices of Berry & Berry. Defendant reserves the right to call unlisted witnesses in rebuttal. Defendant reserves the right to call any of plaintiffs treating physicians, examiners, and custodian of records from any medical treatment facility which was the source of examination or treatment. Dated: August 13, 2015 IMAI, TADLOCK, KEENEY & CORDERY, LLP By: /s/ Michael J. Boland Michael J. Boland Attorneys for Defendant WEBCOR BUILDERS, INC. 3. WITNESS LIST OF WEBCOR BUILDERS, INC.¢ 3 z , LLP > me bal 3 me ° ve & ~ a IMAI, TADLOCK, KI 5 Sa ee < S PROOF OF SERVICE USING LEXISNEXIS I, Heather Reyes, declare: Iam a resident of the State of California and over the age of eighteen years, and not a party to the within action; my business address is 100 Bush Street, Suite 1300, San Francisco, California 94104, On the date of execution below, I electronically served the document via LexisNexis File & Serve described as: WITNESS LIST OF WEBCOR BUILDERS, INC. on the recipients designated on the Transaction Receipt located on the LexisNexis File & Serve Web site. I declare under penalty of perjury under the laws of the State of California that the above is true and correct. Executed on August 13, 2015, at San Francisco, California Neath. Reyes Heather Reyes 4. WITNESS LIST OF WEBCOR BUILDERS, INC.