Document 3e1gj8505nj9qV35zz3JvDGZ6

Page 160 j 1 THE WITNESS: Your Honor, I assume he's J 2 entitled to that information? 3 JUDGE KLINE: What's that? 4 THE WITNESS: What I'm billing these clients 5 for things outside this case? j 6 JUDGE KLINE: What are we talking about? The 7 things -8 THE WITNESS: He wants to know about my company J j 9 and what I bill clients that have nothing to do with 10 this case. 11 MR. RUCKDESCHEL: I confined the question to 12 Ford, General Motors and in 2003. Dr. Paustenbach has 13 provided estimates -14 THE WITNESS: Wait. But I was right, Counsel 15 about what I said. I just described properly to the i 16 judge what your question was. 17 MR. RUCKDESCHEL: I'm providing His Honor with 18 context, Mr. Witness. 19 And Judge, Mr. Paustenbach has provided these 20 estimates as recently as last week, not in my record, 21 not in my deposition, and I'm entitled to that 22 information. It's in the public domain. 23 JUDGE KLINE: If it's in the public domain you 24 don't even have to ask it. 25 THE WITNESS: And, Your Honor -- ; ESQUIRE DEPOSITION SERVICES (415) 288-4280