Document 6bLkXNNkZ02k3XgROwKYm3ga6
PLAINTIFF'S EXHIBIT
NO. 97-09313-H
FRANK C. HOSINSKI, ET AL.
IN THE DISTRICT COURT
VS. DALLAS COUNTY, TEXAS
OWENS CORNING. ET AL.
160TH JUDICIAL DISTRICT
DUPONT'S DESIGNATION OF DEPOSITION TESTIMONY
TO: Isabel Espindola, Plaintiff, by and through his attorney, Stephanie Finch, whose address is Baron & Budd, The Centrum, 3102 Oak Lawn Avenue, Suite 1100, Dallas, Texas 75219.
1. Deposition of Isabel Espindola taken on July 12, 2000.
Page 10, Lines 3 through 7 Page 11, Line 15 through Page 12, Line 18 Page 19, Lines 9 through 13 Page 32, Line 20 through Page 33, Line 5 Page 34, Lines 9 through 11 and Lines 15 through 17 Page 37, Line 18 through Page 38, Line 8 Page 38, Line 19 through Page 39, Line 13 Page 41, Lines 19 through 24 Page 77, Lines 11 through 21 Page 84, Line 14 through Page 85, Line 1 Page 87, Lines 23 through 25 Page 97, Line 6 through Page 98, Line 9 Page 98, Lines 17 through 25 Page 106, Lines 3 through 10 Page 108, Line 24 through Page 109, Line 5 Page 125, Line 19 through Page 126, Line 5 Page 153, Line 22 through Page 154, Line 2 Page 154, Line 7 through 17 Page 160, Line 4 through Page 161, Line 7 Page 165, Line 8 through Page 166, Line 6 Page 170, Lines 14 through 18 Page 171, Line 1 through Page 172, Line 11 Page 174, Lines 7 through 24 Page 239, Line 17 through page 240, Line 4 Page 245, Lines 9 through 12 Page 254, Lines 1 through 12 Page 254, Line 21 through Page 256. Line 6 Page 258. Line 18 through page 260, Line 25
2. Deposition of Bruce W. Karrh, M.D. taken on October 11, 2000 in Weldon R. Moake et al. v. Owens-Coming Fiberglas et al., Cause No. 90G2055.
Page 8, Lines 21 through 25 Page 10, Lines 20 through 22 Page 24, Line 3 through Page 26, Line 16 Page 26, Line 24 through Page 28, Line 5 Page 30, Line 1 through Page 34, Line 12 Page 34, Line 17 through Page 36, Line 15 Page 36, Line 25 through Page 37, Line 7 Page 37, Line 14 through Page 38, Line 22 Page 39, Line 5 through Page 39, Line 20 Page 39, Line 25 through Page 42, Line 14 Page 44, Line 4 through Page 44, Line 25 Page 46, Line 13 through page 59, Line 13 Page 59, Line 20 through Page 62, Line 7 Page 65, Line 13 through Page 68, Line 1 Page 70, Line 15 through Page 74, Line 19 Page 76, Line 1 through Page 76, Line 3 Page 80, Line 12 through Page 81, Line 10 Page 82, Line 25 through Page 83, Line 19 Page 84, Line 17 through Page 85, Line 14 Page 88, Line 13 through Page 90, Line 15 Page 93, Line 23 through Page 95, Line 17 Page 106, Line 8 through Page 107, Line 5 Page 107, Line 11 through Page 147, Line 13 Page 147, Line 24 through Page 163, Line 23 Page 164, Line 11 through Page 211, Line 3 Page 236, Line 16 through Page 236, Line 24 Page 237, Line 25 through Page 239, Line 12
3. Deposition of Tommy Thompson taken on October 9, 2000, in Weldon R. Moake, et al., vs. Owens-Coming Fiberglas, et al., Cause No. 90G2055.
Page 9. Lines 7 through 12 Page 10, Lines 23 through 25 Page 20, Line 11 through Page 21, Line 24 Page 29, Lines 11 through 14 Page 30, Line 9 through Page 31, Line 13 Page 65, Line 14 through Page 67, Line 2
Page 68, Line 8 through Page 71, Line 9 Page 72, Line 24 through Page 73, Line 10 Page 76, Lines 3 through 5 Page 77, Lines 19 through 23 Page 86, Line 22 through Page 87, Line 2 Page 111, Lines 1 through 14 Page 113, Line 11 through Page 114, Line 4 Page 117, Line 16 through Page 118, Line 3 Page 126, Line 8 through Page 127, Line 6 Page 130, Lines 1 through 22 Page 135, Line 5 through Page 139, Line 9 Page 141, Line 2 through Page 149, Line 21 Page 150, Line 7 through Page 167, Line 8 Page 168, Lines 10 through 19 Page 169, Line 18 through Page 170, Line 23 Page 174, Line 7 through Page 175, Line 10 Page 185, Lines 6 through 17 Page 187, Lines 1 through 19
Respectfully submitted,
Larry E
State Ba
51600
Dennis M. Conrad
State Bar No. 04706400
S. Jan Hueber
State Bar No. 20331150
Kirkley Schmidt & Cotten, L.L.P. 2700 City Center II 301 Commerce Street Fort Worth, Texas 76102-4127 (817) 338-4500 (817) 335-4599 Fax
Attorneys for Defendant E. I. du Pont de Nemours and Company
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of Defendant DuPont's Designation of
Deposition Testimony was served on plaintiffs' counsel by certified
return receipt requested,
and on all other known counsel by regular mail, on this the ~b>/ -*day of August, 2001.