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  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
  • Jonah Allen Yunk vs. Steven William WicksteadInjury/Damage - Motor Vehicle document preview
						
                                

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Filed: 7/29/2016 5:27:00 PM JOHN D. KINARD - District Clerk Galveston County, Texas Envelope No. 11912600 By: Lisa Kelly 8/1/2016 8:16:13 AM NO. 15-CV-0790 J ONAH ALLEN YUNK § IN THE DISTRICT COURT OF § § VS. § GALVESTON COUNTY, TEXAS § § STEVEN WILLIAM WICKSTEAD § 405TH JUDICIAL DISTRICT PLAlNTIFF’S AMENDED DESIGNATION OF EXPERT WITNESSES AND SUPPLEMENT TO RESPONSE TO REQUEST FOR DISCLOSURES COMES NOW JONAH ALLEN YUNK, Plaintiff herein, and files this Designation of Expert Witnesses pursuant to the Docket Control Order and Tex.R.Civ.P. 194.2, and Defendants are hereby put on notice that the following expert witnesses may be called to testify at the time of trial, to wit: 1. Plaintiffs reserve the right to supplement this designation with additional designation of experts within the time limits imposed by the Court or any alterations of same by subsequent Court Order or agreement of the parties, or pursuant to the Texas Rules of Civil Procedure and/or the Texas Rules of Civil Evidence. 2. Plaintiffs reserve the right to elicit, by way of cross—examination, opinion testimony from experts designated and called by other parties to this suit, and express their intention to call as witnesses associated with adverse parties any of the experts of Defendants and/or Intervenor. 3. Plaintiffs reserve the right to call un—designated rebuttal expert witnesses whose testimony cannot reasonably be foreseen until the presentation of the evidence in this trial. 4. Plaintiffs reserve the right to withdraw the designation of any experts and to aver positively that any such previously designated expert will not be called as a witness at trial, and to re~designate same as a consulting expert who cannot be called by opposing counsel. 5. Plaintiffs reserve the right to elicit any expert opinion or lay opinion testimony at the time of trial which would be truthful, which would be of benefit to the jury to determine material issues of fact and which would not be a violation of any existing Court Order or the Texas Rules ofCivil Procedure. 6. Plaintiffs hereby designate, as adverse parties, potentially adverse parties, and/or as witnesses associated with adverse parties, all parties to this suit and all experts designated by any party to this suit, even if the designating party is not a party to the suit at the time of trial. In the event a present or future party designates an expert but then is dismissed for any reason from the suit or fails to call any designated expert, Plaintiffs reserve the right to designate and/or call any such party or any such experts previously designated by any party. 7. Plaintiffs reserve whatever additional rights they might have with regard to experts, pursuant to the Texas Rules of Civil Procedure, the Texas Rules of Civil Evidence, the case law construing same and the rulings of said Court. A. NON-RETAINED EXPERTS: l. The following non-retained medical experts will testify by deposition and/or live and/or by medical records concerning Jonah Yunk’s medical treatment, necessity and cause of medical treatment and charges for such treatment, need for medical care in the future, limitations, restrictions and injuries as they may affect his loss of earning capacity, pain, suffering and mental anguish and physical impairment, disfigurement, and all other matters attendant thereto relating to the medical conditions of Plaintiffs as contained, disclosed and discussed in medical records, depositions and other written documents produced during the course of this litigation: Clear Lake Regional Mcriicai Center 500 Medical Center Blvd Webster, TX 77598 (281) 332-2511 c/0 Healthport Shared Services 8101 West Sam Houston Parkway South. Ste 100 Houston, Texas 77072 (855)-519-9682 (855)-519-9683 Fax Including but not limited to Agents, Servants, Employees and Custodians Dr. Jeffrey Gibberman Kindred Hospital Clear Lake 350 Blossom Street Webster Texas (281) 316-7800 Including but not limited to Agents, Servants, Employees and Custodians Windsor EMS Inc 1234 Nasa Parkway Houston TX Including but not limited to Agents, Servants, Employees and Custodians Acadian Ambulance Service, PO Box 92970 Lafayette, LA Including but not limited to Agents, Servants, Employees and Custodians Inpatient Consultants of Texas, PLLC 4545 Post Oak Place Drive Houston TX 77027 (713) 960-8008 (818) 753-0396 Fax Including but not limited to Agents, Servants, Employees aml Cnstodians Dr. Sabiha Ali 2014 Mabry Mill Road Houston, TX Including but not limited to Agents, Servants, Employees and Custodians Intervcntional Pain Specialists Dr. Chris Fuke 450 Blossom St., Ste B Webster TX Inclndin g but not limited to Agents, Servants, Employees and Custodians Dr. KhalidMahmoodl Texas 0ncology- Clear Lake 450 Blossom Street, Suite E Webster TX Including but not limited to Agents, Servants, Employees aml Custodians Linkia LLC 1375 Piccard Drive, Suite 300 Rockvillc, MD 20850 Including but not limited to Agents, Servants, Employees and Custodians Synergy Radiology Associates 7026 Old Katy Road #276 Houston, TX Including but not limited to Agents, Servants, Employees and Custodians Clear Lake Specialities PA 500 North Kobayashi Road, Suite A Webster TX Inclmling but not limited to Agents, Servants, Employees and Custodians Dr. Maria Guidry 350 Blossom Street Webster TX Including but not limited to Agents, Servants, Employees and Custodians Clear Lake Pathology Partners Ltd. Dr. Marion Rundell 500 Medical Center Blvd. 2nd Floor Webster, TX Including but not limited to Agents, Servants, Employees una' Custodians Dr. Darrell Moulton 17448 Highway 3, Suite 130 Webster, TX Including but not limited to Agents, Servants, Employees and Custodians Gardentown Emergency Physicians, PLLC PO Box 98781 Las Vegas NV Including but not limited to Agents, Servants, Employees and Custodians Dr. Oladapo Alade, MD Kelsey Seybold Clinic 2727 West Holcombe Blvd. Houston, Texas 77025 (713) 442-0000 Including but not limited to Agents, Servants, Employees aml Custodians Dr. Desiree Thomas Dr. Sara Perez Stokes Kelsey Seybold Clinic 560 Meyerland Plaza Houston, TX 77096 (713) 442-3222 Including but not limited to Agents, Servants, Employees and Custodians Dr. Larry Pollock & Larry Pollock Assoc. / Project ReEntry 1776 Yorktown St., Suite 620 Houston, Texas 77056 713-797-6773 713-797-6210 fax Including but not limited to Agents, Servants, Employees and Custodians 2. Because Plaintiff, Jonah Yunk, has not fully recovered from his injuries, Plaiiitiffs specifically reserve the right to later designate additional medical care providers and their custodians of medical and billing records, should Jonah Yunk receive additional medical treatment not currently known. B. RETAINED EXPERTS: Donna Johnson, M.Ed., C.R.C. 801 Lipan Corpus Texas 78401 Christi, OFC: [361] 883-7384 FAX: [361] 888-6475 Email: divrcguginfinet Donna Johnson is a vocation rehabilitation expert and will testify concerning the limitations, physical impairment and loss of wage earning capacity sustained by Jonah Yunk. Further opinions may be obtained by way of deposition testimony. Ms. Johnson’s CV and report have been previously produced. Ms. Johnson has reviewed or is expected to review the following and any other documents which may be produced in this case or testimony of additional witnesses: All Medical Records ofJonah Yunk Deposition of Oladapo Alade P2‘-9.7? Deposition of Michael Norman Deposition of Jonah Yunk 1’laintiff’s Responses to discovery C. FACT WITNESSES WHO MAY PROVIDE EXPERT TESTIMONY: Plaintiffs may rely upon the opinion testimony of certain facts witnesses who, due to their education and employment background and experiences, are qualified to give opinions in this controversy. These witnesses, but not limited to, are listed in Plaintiffs’ and Defendants’ Responses to Requests for Disclosure and responses to discovery in general, incorporated by reference. Mark A. Bryan Friendswood Police Dept. ID No. 84323 ORI No. TX 0840300 Investigator on the Scene D. NON- RETAINED MEDICAL EXPERTS Dr. Michael Norman, MD Surgeon 350 N Texas Ave Webster, TX 77598 (281) 616-6017 (281) 947-3037 Fax Dr. Jeffrey Gibberman Kindred Hospital Clear Lake 350 Blossom Street Webster Texas (281) 316-7800 Dr. Oladapo Alade Dr. Desiree Thomas Dr. Sara Perez Stokes Kelsey Seybold Clinic 560 Meyerland Plaza Houston, TX 77096 (713) 442-3222 Dr. Larry Pollock & Larry Pollock Assoc. / Project Reidntry 1776 Yorktown St., Suite 620 Houston, Texas 77056 713-797-6773 713-797-6210 fax Dr. Pollack is a neuropsychologist who will testify about the impact and effects of Jonah Yunk's previously diagnosed traumatic brain injury. He will rely upon the medical records and diagnostic studies previously done and his own testing. His CV is attached. Ms. Margaret Gerrity Certified Medical Illustrator 6731 Bridge Street, Ste 333 Fort Worth, TX 76112 Medical Illustrator E. REBUTTAL WITNESSES: Plaintiffs reserve the right to call expert witnesses in rebuttal, whose identities and testimony cannot reasonably be foreseen until Plaintiffs and/or other parties have presented evidence at trial. F. DESIGNATION OF MEDICAL DOCTORS AND NURSES: In addition to the above designations, Plaintiffs refer you to the medical records and n1n‘ses notes, from which the identities of medical doctors and nurses may be determined. Plaintiffs hereby designate such doctors, nurses and caregivers as experts who may be called to testify as expert witness at the time of trial to prove up the reasonableness and medical necessity of Plaintiffs’ expenses and treatments. The “repoits” of the health care providers have been provided in the form of their medical records. Plaintiffs specifically note that discovery in this case is ongoing. As discovery is completed, it is possible that the designation of additional expert witnesses may be required. All counsel will be immediately notified of any additional experts that Plaintiffs may call. The necessity of this reservation is that the need for such testimony cannot be reasonably anticipated until the foregoing discovery is obtained. Plaintiffs reserve any and all additional rights they may have with regard to expert witnesses and testimony under the Texas Rules of Civil Procedure, the Texas Rules of Evidence, and case law and rulings of this Court. Respectfully submitted, THE LAW FIRM OF ALTON C. TODD By /s/Alton C. T0111! Alton C. Todd SBOT 20092000 312 S. Friendswood Drive Friendswood, Texas 77546 (281) 992-8633 (281) 648-8633 Facsimile alton@actlaw.com CERTIFICATE OF SERVICE I certify that a true and correct copy of the foregoing has been forwarded to all counsel of record by regular mail, certified mail, return receipt requested, facsimile and/or email on this the 29"‘ day ofJuly, 2016. William J. Clay Via E- File The Willis Law Group, PLLC 10440 N. Central Expressawy, Suite 520 Dallas, Texas 75231 /\'/Alton C Tadd Alton C. Todd (713) 442-3222 Inclntling but not limiter! to Agents, Serwmts, Employees and Custodians Dr. Larry Pollock Larry Pollock & Assoc. / Project ReEntry 1776 Yorktown St., Suite 620 Houston, Texas 77056 713-797-6773 713-797-6210 fax Including but not limitetl to Agents, Servants, Employees nntl Cnstotlinns 2. Because Plaintiff, Jonah Yunk, has not fully recovered from his injuries, Plaintiffs specifically reserve the right to later designate additional medical care providers and their custodians of medical and billing records, should Jonah Yunk receive additional medical treatment not currently known. B. RETAINED EXPERTS: Donna Johnson, M.Ed., C.R.C. 801 Lipan Corpus Texas 78401 Christi, OFC: [361] 883-7384 FAX: [361] 888-6475 Email: divrc@infi.net Donna Johnson is a vocation rehabilitation expert and will testify concerning the limitations, physical impairment and loss of wage earning capacity sustained by Jonah Yunk. Further opinions may be obtained by way of deposition testimony. Ms. Johnson’s CV and report have been previously produced. Ms. Johnson has reviewed or is expected to review the following and any other documents which may be produced in this case or testimony of additional witnesses: All Medical Records of Jonah Yunk Deposition of Oladapo Aladc 9???? Deposition of Michael Norman Deposition of Jonah Yunk Plaintiff’ s Responses to discovery Robin Wright R.H. Wright & Associates LLC 14011 Park Drive Ste 228 Tomball TX 77377 409-423-0458 www.rhwrigl1t.net Mr. Wright is an accident reconstruction expert who will testify and reconstruct the impact between the two vehicles and the forces applied. He will rely upon his education, experience and inspection of the relative vehicles. His CV is attached. C. FACT WITNESSES WHO MAY PROVIDE EXPERT TESTIMONY: Plaintiffs may rely upon the opinion testimony of certain facts witnesses who, due to their education and employment background and experiences, are qualified to give opinions in this controversy. These witnesses, but not limited to, are listed in Plaintiffs’ and Defendants’ Responses to Requests for Disclosure and responses to discovery in general, incorporated by reference. Mark A. Bryan Friendswood Police Dept. ID No. 84323 ORI No. TX 0840300 Investigator on the Scene D. NON- RETAINED MEDICAL EXPERTS Dr. Michael Norman, MD Surgeon 350 N Texas Ave Webster, TX 77598 (281) 616-6017 (281) 947-3037 Fax Dr. Jeffrey Gibberman l{indred Hospital Clear Lake 350 Blossom, Street Webster Texas (281) 316-7800 Dr. Olaclapo Alade Dr. Desiree Thomas (E Dr. Sara Perez Stokes Kelsey Seybold Clinic 560 Meyerland Plaza Houston, TX 77096 (713) 442-3222 Dr. Larry Pollock & Larry Pollock Assoc. / Project ReEntry 1776 Yorktown St., Suite 620 Houston, Texas 77056 713-797-6773 713-797-6210 fax Dr. Pollack is who will testify about the impact and a neuropsychologist effects of Jonah Yunk's previously diagnosed traumatic brain injury. He will rely upon the medical records and diagnostic studies previously done and his own testing. His CV is attached. Ms. Margaret Gerrity Certified Medical Illustrator 6731 Bridge Street, Ste 333 Fort Worth, TX 76112 Medical Illustrator E. REBUTTAL WITNESSES: Plaintiffs reserve the right to call expert witnesses in rebuttal, whose identities and testimony cannot reasonably be foreseen until Plaintiffs and/or other parties have presented evidence at trial. F. DESIGNATION OF MEDICAL DOCTORS AND NURSES: In addition to the above designations, Plaintiffs refer you to the medical records and nurses notes, from which the identities of medical doctors and nurses may be determined. Plaintiffs hereby designate such doctors, nurses and caregivers as experts who may be called to testify as expert witness at the time oftrial to prove up the reasonableness and medical necessity ol‘l’laintifl"s‘ expenses and treatments. The “reports” of the health care providers have been provided in the form of their medical records. Plaintiffs specifically note that discovery in this case is ongoing. As discovery is completed, it is possible that the designation of additional expert witnesses may be required. All counsel will be immediately notified of any additional experts that Plaintiffs may call. The necessity of this reservation is that the need for such testimony ca11n0’t be reasonably anticipated until the foregoing discovery is obtained. Plaintiffs reserve any and all additional rights they may have with regard to expert witnesses and testimony under the Texas Rules of Civil Procedure, the Texas Rules of Evidence, and case law and rulings of this Court. Respectfully submitted, THE LAW FIRM OF ALTON C. TODD By /s/ Alton C. Tadd Alton C. Todd SBOT 20092000 312 S. Friendswood Drive Friendswood, Texas 77546 (281)992-8633 (281) 648-8633 Facsimile alton@actlaw.c0m CERTIFICATE OF SERVICE I ccitify that a true and correct copy of the foregoing has been forwarded to all counsel of record by regular mail, certified mail, return receipt rcquested, facsimile and/or email on this the 29"‘ day ofluly, 2016. William J. Clay Via F; File The Willis Law Group, I’I.l.C 10440 N. Ccntral Exprcssawy, Suite 520 Dallas, Texas 75231 /s/ Alton C. Todd Alton C. Todd VITA RICHARD LAWRENCE POLLOCK 1776 Yorktown St., Suite 620 Houston, TX 77056 (713) 797-6773 Education 1967 B.S. Psychology Stephen F. Austin State University Nacogdoches, Texas 1971 M.S. Clinical Psychology Syracuse University, APA Accredited Syracuse, New York 1972 Internship Clinical andNeuropsychology Baylor College of Medicine, APA Accredited Houston, Texas 1973 Ph.D. Clinical Psychology Syracuse University, APA Accredited Syracuse, New York Professional Licenses & Certifications Licensed Psychologist: Texas License No. 2-1149-0 Virginia License No. 0810003113 Licensed Specialist in School Psychology: Texas License No. 6546 Virginia License No. 0803000203 Certified as a Health Service Provider by the National Registry of Health Service Providers in Psychology Certified as a Career Counseling Center by the Texas Department of Licensing and Regulations-Certificate No. CCOUNS00000l89 Certified as Senior Disability Analyst and Diplomate by American Board of Disability Analysts Certificate of Professional Qualification in Psychology from the Association of State and Provincial Boards CPQ#458 awarded 9/30/99 Certilied as Clinical Instructor for Clinical Brain Injury Specialist Level I from American Academy for the Certification of Brain Injury Specialists awarded 9/2/99 2 2' E .. D.1 =2 0 .z Q in Professional Organizations International Neuropsychological Society National Academy ofNeuropsychologists Houston Neuropsychological Society American Psychological Association Divisions: 16. School Psychology 22. Rehabilitation Psychology 38. Health Psychology 39. Clinical Neuropsychology Virginia Psychological Association Texas Psychological Association: Division of School Psychology Houston Psychological Association National Rehabilitation Association Texas Rehabilitation Association (Department of Rehabilitation Services, DRS) Houston Area Rehabilitation Association Board Member, 1992-1999 President, 1999 National Brain Injury Association (Formerly National Head Injury Foundation) Texas Brain Injury Association Brain Injury Association, Texas Gulf Coast Chapter Board Member, 1996-1997 Alliance of Texas Head Injury Rehabilitation Facilities (1987-1993) Association for the Education& & Rehabilitation of the Blind Visually Handicapped Houston Coalition for Barrier Free Living Board Member, 1988-1992 Employment History 1/68 to 8/68 Counselor Shreveport Community Mental Health Center Shreveport, Louisiana Summers of 1969, 1970, 1971 Supervisor Pre—co11egc Orientation Program for Blind Students Department of Rehabilitation Medicine Upstate Medical Center Syracuse, New York 9/71 to 7/72 Behavior Modification Consultant Rome State School Rome, New York 9/72 to 8/72 Clinical andNeuropsychology Intern Department of Psychiatry Baylor College of Medicine Houston, Texas 9/73 to 8/83 Psychologist Department of Psychology Stephen F. Austin State University Nacogdoches, Texas 1973-1979 Assistant Professor of Psychology (Granted tenure in 1978) 1979-1983 Associate Professor of Psychology 1973 -1978 Coordinator of Graduate Training Program in Clinical Psychology 1973-1979 Director of University Psychology Clinic 9/75 to 5/84 Private Practice in Clinical, Rehabilitation and Neuropsychology Nacogdoches, Texas 9/83 to present Private Practice in Clinical, Rehabilitation and Neuropsychology Houston, Texas 9/87 to 3/91 Director of Neuropsychology and Clinical Director Department of Physical Medicine and Rehabilitation Del Oro Institute of Rehabilitation HCA Medical Center Hospital Houston, Texas Awards and Honors 1967 Graduated Magna Cum Laude fiom Stephen F. Austin State University 1967 Scholastic Achievement Award (Outstanding Blind Student in the Nation as Selected by Recordings for the Blind) Presented U by Secretary General Thant at the United Nations 1968-1969 Predoctoral Fellowship in Clinical Psychology, National lnstitute of Mental Health 1988 Appreciation Award Presented by the Texas Head Injury Foundation—Houston Chapter 1989-1990 Appreciation Award Presented by the Texas Head Injury Association 1 990 Award inRecognition of Outstanding Efforts for the Employment of People with Disabilities, Texas Rehabilitation Commission 1994 Appreciation Award, Texas Head Injury Association- Houston Chapter 1 994 Mayor’s Trophy Award, The Outstanding Rehabilitation Professional in Houston Selected by the Mayor’s Committee on Employment of the Handicapped and Presented by Mayor Bob Lanier and President George H. Bush Grants and Contracts 1969-1970 Predoctoral Research Training Grant, National Institute of Mental Health, “Frustration Tolerance and the Development of Delay of Gratification in Children” 1969-1971 Predoctoral Research Training Grant, National Institute of Mental Health, “The Acquisition of Imitative Behavior” 1977 “A Self-Development Program for Teenage Parents” (with James Armsworth, M.S.W.) Funded by the Nacogdoches Teen Parent Council and the State Department of Human Resources 1976-1984 Federal Bureau of Prisons, Dallas, Texas. Drug Abuse Aftercare Program for Federal Parolees with Drug—Related Convictions 1988-Present Community Facility contract for Vocational Evaluations, Texas Rehabilitation Commission l998—2003 Alternative Provider contract to provide Vocational Rehabilitation Services to SSDI and DD! Recipients, Social Security Administration l999—Present Post-Acute Brain lnjury Rehabilitation Facility contract, Texas Rehabilitation Commission 2003 Vocational Evaluation contract, Texas Commission for the Blind Publications and Manuscripts Pollock, Richard L. “Frustration and Delay of Gratification: The Effects of Frequency And Delay of Reinforcement Training on Reinforcement Choice.” Unpublished Masters’ Thesis, Syracuse University, 1971 Pollock, Richard L. How to Establish A Token Economy: A Manual. Rome State School, Rome,New York, 1972 Pollock, Richard L. “ The Acquisition of Imitation Among Retardates: The Effects of Shaping and the Observation of Imitation”. Unpublished Doctoral Dissertation, Syracuse University, 1973 Arrnsworth, James and Pollock, R. L. A Self—Development Program for Teenage Parents. Texas Department of Human Resources, 1978 Pollock, Richard L. Parent Orientation Pgzram for Parents of Visuallv Handicapped Students. Prepared for Region IV Education Service Center, Houston, Texas, 1984 Pollock, R. L. Rehab Research: The Del Oro Prospective. Rehab Focus. Vol. 1, No. 1, April, 1989. Pollock, R. L. Cognitive Rehabilitation: The Agony & The Ecstasy. The Houston Area Rehabilitation Association Newsletter Vol. 2, No. 1, March 1992 Pollock, R. L. Emotional Impact Lingers for Silent Epidemic. The Health Digest. Vol. 5, No. 1. HCA Center for Health Excellence, Houston, Texas, 1993 Pollock, R. L. Vocational Evaluation, Treatment & Rehabilitation Methods. Association of Trial Lawyers of America, Conference on Closed Head lniuries: Essentials of Medical. Neuropsvchological and Legal Proof Scottsdale, Arizona, February 12-13. 1993. Pollock, R. L. Vocational Evaluation, Treatment & Rehabilitation Methods. Association of Trial Lawyers of America National Convention, Traumatic Brain lnj ury Litigation Group, San Francisco, CA, August, 1993, Mattis, Paul Hunnay, Julia, Plenger, Patrick M. and Pollock, Larry, Brain Injury & J., The Satz—Mogel Type Short Form WAIS-R, Journal of Clinical Psychology, July 1994, Vol. 50, 605-614. Pollock, R.L. Neuropsychological Testing, Vocational Evaluation & Rehabilitation. Association of Trial Lawyers of America’s conference on Recognizing, Evaluating & Proving Traumatic Brain Iniuries. Houston, TX April 8-9, 1994 Pollock, R.L. Neuropsychological Testing, Vocational Evaluation and Brain Injury Rehabilitation. Association of Trial Lawyers of America. Seminar on Strategies 1'"orAssessing, Settling &Trving Mild To Severe Iniuries. Snowmass, CO, Feb. 25-March 1, 1995. Pollock, R.L. The Role of Neuropsychological Testing in the Diagnosis and Assessment of Traumatic Brain Injury. Association of Trial Lawyers of America. Seminar on Litigating Mild to Severe Head Iniurv Cases. Houston, TX, March 15,2002. Papers Presented to Professional Organizations Pollock, R.L. “Psychological Aspects of Asthma.” Texas State Teachers Association, Regional Conference, Nacogdoches, Texas, October, 1974. Pollock, R.L. “Teaching Children with Language and Learning Disabilities to Cope with Frustration”. A paper delivered to the East Texas Association for Children with Learning Disabilities, Longview, Texas, May, 1977. Pollock, R.L. and Thompson, Leslie “Career Education and Values”. Stephen F. Austin State University Conference on Issues Facing Career Education, Nacogdoches, Texas, April, 1978. Pollock, R.L. “Interpreting Psychological Reports on Mentally Retarded Vocational Rehabilitation Clients”. Paper presented as part of a two day Mental Retardation Workshop for Rehabilitation Counselors sponsored by Region VII, Texas Rehabilitation Commission, Sugar Land, Texas, October, 1980. “ Pollock, R.L. The Role of Psychological Evaluations in the Vocational Rehabilitation Process”. Paper presented at a Mental Health Workshop for Rehabilitation Counselors sponsored by Region VII, Texas Rehabilitation Commission, February, 1981. Pollock, R,l,.. “Use ofthc Adaptive l,,‘sehavior Scale in the Assessinent and /\_Al\/HTS Diagnosis of Mental Retardation”. Half—day worl