Document g232RREX801KXN3Vm0oE59mbV
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1 Like I said, it's never called for, it's never
2 discussed in any manual. And the mechanics I've talked
3 to say the only time they've ever done it is when there
4 was glaze on the brake. It would not be something you
5 do right away.
6 Q Do you believe Mr. Mallia was being
7 untruthful? 8 A No, I always believe the witness is telling the 9 truth.
i i
jl
10 Q Okay. We digressed a little bit. Let's talk
11 about money. You started working in the asbestos
12 litigation in approximately mid 2001; is that correct?
13 A You know, you've asked me this before. I've
14 tried to be helpful and move this along. If you want
15 me to be specific I'd have to back and look at my
16 records. But if you me to say, if you want to
17 stipulate, yeah, I've testified to this before and it
18 was around 2001 I'll accept that.
19 Q You have said before it was around July of
20 2001 and I'm trying to give us a marker.
21 A And that sounds about right.
22 Q All right.
23 A But again if you want to be specific I'd have
24 to go back and look.
25 Q I'm not looking for, that's not the basis of
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