Document 94B0QQ6GndmeErj9ZdBqRw4D

1 Q Okay. Page 154 2 A If you have it I'd like to look at it. 3 Q No, I'm asking whether that's accurate. 4 A The way I heard the question is I had testified 5 to this before with respect to the first six months of 6 Exponent's billing. And I'm telling you I'm pretty 7 sure I would not have done that. 8 Q Okay. What about for your billings? If the 2 9 to $500,000 range you gave Jonathan Smith George a fair 10 approximation of the amount of billings for your 11 getting up to speed on the issues? 12 MR. LANKFORD: If you're going to start asking 13 him about whether testimony he's given in prior cases is 14 accurate without giving him the question, etc., then, 15 you know, I'm going to object to that line of 16 questioning without reviewing the transcript. 17 MR. RUCKDESCHEL: Okay. Let's do it ad omissio 18 then since you prefer it that way. 19 BY MR. RUCKDESCHEL: 20 Q Tell me how much the billings were to Ford, 21 General Motors and Chrysler for the six-month period 22 where you were educating yourself regarding asbestos 23 and brakes. 24 MR. LANKFORD: Objection, vague, overbroad. 25 JUDGE KLINE: Go ahead and respond. ESQUIRE DEPOSITION SERVICES (415) 288-4280