Schoolcraft v. The City Of New York et al
Filing
539
MEMORANDUM OF LAW in Opposition re: 515 SECOND MOTION in Limine to preclude testimony related to plaintiff's purported declaratory judgment claim., 517 MOTION in Limine to preclude testimony from Dr. Roy Lubit., 525 SECOND MOTION in Limine to preclude any testimony regarding DJ action., 513 FIRST MOTION in Limine to preclude testimony from plaintiff's expert Dr. Roy Lubit., 506 FIRST MOTION in Limine to preclude expert from testimony about PTSD. . Document filed by Adrian Schoolcraft. (Attachments: # 1 Exhibit, # 2 Exhibit, # 3 Exhibit, # 4 Exhibit, # 5 Exhibit, # 6 Exhibit, # 7 Exhibit, # 8 Exhibit, # 9 Exhibit)(Smith, Nathaniel)
221
R. LUBIT, M.D., Ph.D.
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confinement of Mr. Schoolcraft, correct?
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A.
Yes, sir.
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Q.
You interviewed the Plaintiff
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and spent at least more than an hour in one
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session and then other sessions as well
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questioning him and speaking with him about
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this case; am I correct?
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A.
Yes, sir.
10
Q.
And you wrote a report with
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regard to those sesslons, and in that
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report, Doctor, am I correct, that you put
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down the important points that both you and
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Mr. Schoolcraft made during the course of
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your discussion?
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A.
Yes.
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Q.
Did you ask him those questions
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that you say are important and should have
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been asked by the doctors at Jamaica
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Hospital?
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A.
That would take some thinking,
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as information became clear it wasn't then
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.
because they're not necessarily-- because
necessary to ask him about it.
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Q.
Because they were not relevant
'
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