Document 5k76jzx1qvxLDYkvDqzEq3MN

Page 2950 1 The answer is, "One -- testimony you are 2 talking? 3 "QUESTION: Deposition. 4 "ANSWER: Deposition testimony, might have 5 been two, perhaps three at the most." 6 Did I read that correctly? 7 A That is correct. 8 Q Also, sir, is it not true that you have 9 testified on behalf of General Motors in trial in a 10 brake mechanic case alleging mesothelioma? 11 A Yes, that was either late last year or the 12 beginning of this year when I did not agree to -- I 13 didn't realize I was to be an expert for General 14 Motors. 15 Q Well, I take it you did appear on their 16 behalf in trial on February 1, 1996 in Ohio to testify 17 for General Motors? 18 A Yes. 19 Q Now, you mentioned earlier that you were a 20 mechanic for a few years in the 1950s. 21 Is it fair to say that during that time as a