Document KReB3Qg6L08zkga0dBkK6z36Q
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1 Q Okay. I can get the transcript out if that's 2 necessary. 3 MR. LANKFORD: I would argue it's not 4 necessary. It doesn't change the analysis. You can 5 have a consulting expert within the litigation. 6 BY MR. RUCKDESCHEL: 7 Q Doctor, are you aware of the what the results 8 of the dust testing are in a quantifiable sense? 9 MR. LANKFORD: And objection, he stated that's 10 preliminary, there weren't any I guess final results. 11 BY MR. RUCKDESCHEL: 12 Q Doctor, are you aware of the preliminary 13 results of the dust tests? 14 A I don't have quantitative information from 15 those tests. 16 Q You've never been provided with that 17 information? 18 A I've never analyzed that information. 19 Q Well, have you been provided with that 20 information? 21 A I've seen results. I, of course, well, they'd 22 have to be averaged and looked at to make sense of. I 23 haven't done that. 24 Q What was the range of the results? 25 MR. LANKFORD: I'm asserting the privilege at
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