jameson
Charter Member
5680 posts |
Aug-26-02, 07:53 PM (GMT) |
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"Stratbucker deposition"
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00001 1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA 2 ATLANTA DIVISION 3 ROBERT CHRISTIAN WOLF, 4 Plaintiff, 5 CIVIL ACTION FILE vs. 6 NO. 00-CIV-1187(JEC) 7 JOHN BENNETT RAMSEY and PATRICIA PAUGH RAMSEY, 8 Defendants. ~~~~~~~~~~~~~~~~~~~~~~~~~~~ 9 10 VIDEOTAPED DEPOSITION OF 11 ROBERT ALLEN STRATBUCKER, M.D. 12 13 May 30, 2002 11:02 a.m. 14 1025 Howard Street 15 Omaha, Nebraska 16 Alexander J. Gallo, CCR-B-1332, CRR 17 18 19 20 21 22 23 24 25 00002 1 APPEARANCES OF COUNSEL 2 On behalf of the Plaintiff: 3 (via telephonic means) 4 DARNAY HOFFMAN, Esq. 5 Law Offices of Darnay Hoffman 6 Suite 209 7 210 West 70th Street 8 New York, New York 10023 9 (212) 712-2766 10 On behalf of the Defendants: 11 JAMES C. RAWLS, Esq. 12 ERIC P. SCHROEDER, Esq. 13 Powell, Goldstein, Frazer & Murphy, L.L.P. 14 Sixteenth Floor 15 191 Peachtree Street, N.E. 16 Atlanta, Georgia 30303 17 (404) 572-6600 18 L. LIN WOOD, Esq. 19 MATTHEW WOOD 20 L. Lin Wood, P.C. 21 2140 The Equitable Building 22 100 Peachtree Street 23 Atlanta, Georgia 30303 24 (404) 522-1713 25 Also Present: J. Rollins, Videographer 00003 1 Deposition Robert A. Stratbucker, M.D. 2 May 30, 2002 3 (Defendants' Exhibit-1, Exhibit-2 and 4 Exhibit-3 were marked for identification.) 5 THE VIDEOGRAPHER: This is the 6 beginning of videotape No. 1 of the deposition 7 of Robert A. Stratbucker, M.D., M.S., Ph.D., 8 P.E., being taken on May 30 of the year 2002 9 in Omaha, Nebraska. 10 Counsel will now introduce themselves. 11 MR. WOOD: My name is Lin Wood. I 12 am one of the attorneys for the defendants John 13 and Patsy Ramsey. With me from my office is 14 Matthew Wood, legal assistant. 15 Go ahead, Derek. 16 MR. BAUER: Derek Bauer with the law 17 offices of Powell, Goldstein, Frazer & Murphy in 18 Atlanta, also on behalf of Patsy and John 19 Ramsey. 20 MR. RAWLS: Jim Rawls from Powell, 21 Goldstein in Atlanta on behalf of John and Patsy 22 Ramsey. 23 MR. HOFFMAN: I am Darnay Hoffman 24 appearing on behalf of Chris Wolf by 25 teleconference phone in New York City. 00004 1 MR. WOOD: Everybody good to go? 2 MR. HOFFMAN: Ready to go. 3 MR. WOOD: This will, in fact, be 4 the deposition of Dr. Robert A. Stratbucker, an 5 individual who has been identified as an expert 6 witness for the plaintiff Chris Wolf in this 7 case and who has submitted a Rule 26 Expert 8 Witness Report. 9 The deposition is being taken 10 pursuant to agreement of counsel and pursuant to 11 an amended notice of deposition which is dated 12 May 16, 2002, which I have marked for purposes 13 of identification, Darnay, as Defendants' Exhibit 14 1. 15 MR. HOFFMAN: Thank you, Lin. 16 MR. WOOD: And the deposition will 17 be taken for all permissible purposes under the 18 Federal Rules of Civil Procedure, including 19 discovery, cross-examination and, if appropriate, 20 use as evidence at trial. 21 All objections except as to the form 22 of the question or the responsiveness of the 23 answer will be reserved until the time of trial, 24 hearing, or other formal use of the deposition. 25 Are those stipulations agreeable with 00005 1 you, Darnay? 2 MR. HOFFMAN: Yes, Lin, thank you. 3 They are agreeable to me. 4 ROBERT A. STRATBUCKER, having been 5 first duly sworn, was examined and testified as 6 follows: 7 EXAMINATION 8 BY-MR.WOOD: 9 Q. For the record would you state your 10 full name for the record, please, sir? 11 A. Robert Allen Stratbucker. 12 Q. And there are a host of appropriate 13 initials after your name. You are a medical 14 doctor among other degrees that you hold; am I 15 right? 16 A. Yes. 17 Q. And I will address you as Dr. 18 Stratbucker, which is appropriate. 19 Dr. Stratbucker, I've introduced 20 myself to you. I'm Lin Wood and along with 21 Mr. Rawls and Derek Bauer, we represent John and 22 Patsy Ramsey, the parents of JonBenet Ramsey who 23 was murdered in December of 1996 in Boulder, 24 Colorado. You understand that, don't you? 25 A. Yes. 00006 1 Q. And you understand that you have 2 been retained as an expert witness for an 3 individual named Chris Wolf, who is the 4 plaintiff in a lawsuit alleging libel filed 5 against Mr. and Mrs. Ramsey that pends in the 6 federal court in Atlanta, Georgia. Do you 7 understand that? 8 A. Yes, I do. 9 Q. When were you retained in this case, 10 sir? 11 A. About eight months ago. 12 Q. Can you date that for me with -- 13 A. Well, I would have to check my 14 record to be precise about it. 15 Q. If you would do that, I would 16 appreciate it. I would like a precise date. 17 A. Well, the most precise date I can 18 give you is February 26 of this year, 2002, 19 which is the date of my report; however, I was 20 engaged prior to that. And the precise date of 21 that I can only estimate. I would say it was 22 about two months prior to that. It would be 23 about eight months ago. 24 Q. So you dated -- your best date, it 25 would be December 2001 or January 2002? 00007 1 A. Yes. 2 Q. Do you recall the manner in which 3 you were first contacted? 4 A. I was contacted by telephone by Mr. 5 Hoffman. 6 Q. Let me tell you that I understand 7 that you are an extremely busy expert for Mr. 8 Hoffman, and I understand that you had to do a 9 fair amount of juggling of your schedule to 10 change this deposition from the date of the 11 28th, I believe, to today, the 30th to 12 accommodate my desire to do some family things 13 over the weekend. I appreciate that. 14 How many depositions have you given 15 this month? 16 A. This month I have not given any. 17 Q. How many court appearances have you 18 made this month? 19 A. None this month. 20 Q. How many active cases are you 21 presently engaged in as an expert witness? 22 A. Probably four. 23 Q. And what do you do with your time 24 other than your consultant work as an expert 25 witness? 00008 1 A. Well, I maintain a part-time medical 2 practice. I am retired from full-time medical 3 practice at this point. And I have a number 4 of other biomedical engineering type enterprises 5 that I am involved in, principally a 6 development, research and development company of 7 my own which does development of medical 8 devices, diagnostic and therapeutic medical 9 devices. 10 And, for example, over the last 11 month, I have had occasion to be in Mainland 12 China for probably three weeks and other travel 13 related to that activity. 14 Q. What type of diagnostic and 15 therapeutic medical devices have been developed 16 by your company? 17 A. Cardiologic, primarily. 18 Q. So there is no misunderstanding, what 19 do you mean in lay terms when you say 20 cardiologic? 21 A. Devices that relate to the diagnosis 22 of heart disease and therapeutic devices that 23 relate to the treatment of heart disease. 24 Q. You have served as an expert witness 25 in civil litigation in the past as well as 00009 1 criminal matters; is that true? 2 A. Yes, I have. 3 Q. Give me your best estimate, Dr. 4 Stratbucker, I am not trying to hold you to a 5 precise figure, but give me your best estimate 6 as to the amount of money, gross revenue that 7 you received in the year 2001 in your capacity 8 as a consultant/expert witness in civil or 9 criminal litigation. 10 A. I would say $75,000. 11 Q. How are we doing this year, 2002? 12 A. About on -- about average, about the 13 same. 14 Q. How long has that figure been about 15 the average, $75,000 a year? 16 A. I would say it is higher now. It 17 has been increasing over the years; but as an 18 average, I would say for a good ten years, 19 probably. 20 Q. Are you on a regular retainer as a 21 consultant/expert for any company? 22 A. I have been with some companies and 23 now with different companies. 24 Companies are acquired, and those 25 things change from time to time; but it has 00010 1 been a relatively constant average. 2 Q. As we sit here today, what company, 3 or companies, pays you a regular retainer to 4 serve as a consultant/expert witness? 5 A. Within this last month, we have 6 managed to negotiate a contract with the 7 Department of Defense, which is actually 8 channeled through TASER International in Phoenix, 9 Arizona, a research project for the Marine 10 Corps. And that is a sizable research program 11 that I am very much involved in and one of the 12 reasons I have been so tied up this month. 13 Q. Are you paid by check from the 14 United States Treasury or are you paid by check 15 from TASER International? 16 A. I am paid by check from TASER 17 International. They are the fiscal repository 18 for the grant funds. 19 Q. And that only came up within the 20 last month? 21 A. Yes. 22 Q. Let me hand you what has been marked 23 for purposes of identification to your deposition 24 as Defendants' Exhibit-2. 25 And also while you are looking at 00011 1 that, let me hand you what has been marked for 2 purposes of identification as Defendants' 3 Exhibit-3 and ask you to just look through 4 those. A couple of quick questions to ask you 5 about them. 6 A. All right. 7 Q. In fact, Defendants' Exhibit 2, that 8 is a true and correct and complete copy of the 9 Rule 26 expert report that you have prepared, 10 signed, and submitted in this lawsuit, true? 11 A. It is nearly complete. I noted in 12 one of the copies that's here that there was a 13 page missing out of the autopsy report that is 14 contained in this. And I have supplemented that 15 with a page from another source. 16 Q. Page 4 was missing from your report? 17 A. Page 4 was missing, yes. 18 Q. With the addition of page 4 of the 19 autopsy report on JonBenet Ramsey, does, in 20 fact, Defendants' Exhibit 2 represent a true and 21 correct and complete copy of your Rule 26 Expert 22 Witness Report? 23 A. Yes, it does. 24 Q. And you stand by your report; do you 25 not, sir? 00012 1 A. Yes, I do. 2 Q. Is there anything that you would 3 like to change in that report before we question 4 you about it today? 5 A. No. 6 Q. You also, as part of that report, 7 have supplied us with a copy of your most 8 recent CV, your curriculum vitae; have you not? 9 A. Yes. 10 Q. And it is a true and -- I was 11 impressed with the thoroughness of it. You even 12 went back to age 19 when you were working at 13 WOW TV or radio, the Johnny Carson Show. It's 14 very thorough in terms of describing your 15 professional endeavors and work experience; is it 16 not, sir? 17 A. I hope it is, yes. 18 Q. And you intended it to be; did you 19 not? 20 A. Yes. 21 Q. So that we can go there and we can 22 find out where you worked professionally, right? 23 A. Yes. 24 Q. We can find out who you worked for 25 in terms of your professional endeavors; can we 00013 1 not, sir? 2 A. I think you can, yes. 3 Q. Do you stand by that CV as being 4 complete and accurate? 5 A. It might have a typographical error 6 here and there, but -- 7 Q. We will forgive that. 8 A. -- for the most part, it is accurate 9 and complete. 10 Q. Well, you say for the most part. 11 Is there any part, other than typographical 12 errors, that you have some concerns about in 13 terms of it being accurate and complete? 14 A. Only that I think it has not been 15 updated for about -- I had it retyped, but I 16 didn't update it in preparation for this 17 deposition because of some requirements of the 18 type of display, the font size and so forth. 19 When I did that, it changed the pagination and 20 so forth of the thing. It is different than 21 it was. But I did not update it to include, 22 for example, the items that I've just testified 23 to in connection with the Marine Corps and some 24 of the things that have happened within the last 25 few months. 00014 1 Q. I want to get those updated. So 2 tell me, other than -- and you say the Marine 3 Corps. Is that the Department of Defense 4 deal -- 5 A. Yes. 6 Q. -- that's channeled through TASER 7 International? 8 A. That is correct. 9 Q. And that has been only in the last 10 month, right? 11 A. Well, it has been in preparation for 12 a long time. But, I mean, it is a research 13 and development contract that has been in 14 preparation for well over a year, but the award 15 had only been made within the last month. 16 Q. Anything else that you want to add 17 to your CV in terms of updating it other than 18 the Marine Corps, Department of Defense, TASER 19 International contract that you've just described 20 for me? 21 A. Well, there are a number of other 22 items that I referred to in connection with my 23 travels and so on. I am actively pursuing 24 those. Those are -- for example, there is a 25 proposition outstanding with a major Chinese 00015 1 company to take on the manufacturing of a device 2 that I have developed here in Nebraska and have 3 got patent coverage and trademark coverage on 4 and so forth which lends itself to manufacturing 5 in the Chinese economy. And I have been very 6 active in the development of that line of 7 activity. 8 Q. What is that device? 9 A. It is the -- the trade name of it 10 is an Omnitrode, O-M-N-I-T-R-O-D-E. It is a 11 specialized piece of actual apparatus that a 12 patient wears in order to supply a very 13 comprehensive and complete line of cardiac data 14 to a computer system that in turn does various 15 kinds of pattern recognition, data compression 16 and so forth on the signal. It is integrated 17 into a complete system. 18 My colleagues in Houston have been 19 working primarily on the electronic aspects of 20 it, and I have been working on the front end 21 or data acquisition aspects of it for a number 22 of years, and I am very actively involved in 23 that. 24 Q. So we have the Omnitrode and we have 25 got the contract with the government through 00016 1 TASER International. Any other things that you 2 need to give me to make sure that we have 3 updated your CV before we leave here today? 4 A. Those are the principal technical 5 aspects of things, and I still maintain a number 6 of local business enterprises that take up a 7 significant amount of my time. We happen to be 8 sitting in one right now. 9 Q. The bank? 10 A. Well, the building. 11 Q. You own this building? 12 A. Not the bank, but the building that 13 the bank is in is a building where I rent 14 space and operate some commercial enterprises. 15 Q. You do your fruit and vegetables 16 deal on Saturday, still? 17 A. That's right. 18 Q. Your dad Herman, right? 19 A. Exactly right. Thank you for being 20 so perceptive. 21 Q. You still work in the land? I know 22 you went back in, what, '91, to help him out? 23 A. That is correct, yes. 24 Q. And do you still do that? 25 A. Very much so. 00017 1 Q. Still do the corn, half yellow, half 2 white? 3 A. Yes. Still deal with people in 4 Georgia for plants and so on. 5 Q. Good for you. 6 You recognize, Dr. Stratbucker, from 7 your involvement as an expert witness what your 8 role is; do you not? 9 A. Yes. 10 Q. How would you describe your role as 11 an expert witness in the litigation? 12 A. Well, I describe my role as being 13 somewhat similar to my role as a teacher for 14 most of my professional life. And the purpose 15 of an expert witness is to teach the judge 16 and/or jury, the court, on matters which may be 17 unfamiliar with them and to make it possible to 18 properly assess evidence and so forth in the 19 face of unfamiliar, particularly high technology 20 sorts of things. 21 Q. Areas of expertise that are generally 22 considered to be beyond that of the knowledge of 23 a lay person? 24 A. Yes. 25 Q. And one of your roles, and I think 00018 1 you view it as an important one, is to educate 2 the court, the jury, on scientific information? 3 A. Correct. 4 Q. You also are called on, you 5 recognize, to take a certain set of facts and 6 to render opinions from those facts, true? 7 A. Yes. 8 Q. And you recognize that as an expert 9 witness it is not your role to create facts; am 10 I right? 11 A. Yes. 12 Q. You are not and would not 13 misrepresent facts or mislead anyone with respect 14 to the facts upon which you give your opinions, 15 true? 16 A. That is very true. 17 Q. And you are not taking sides here; 18 are you, sir? 19 A. No. 20 Q. I mean, you come into this dedicated 21 to the concept of your role is to be fair, 22 right? 23 A. Yes. 24 Q. To be honest, right? 25 A. Correct. 00019 1 Q. To be unbiased and objective, true? 2 A. Yes. 3 Q. And if I were to present you with 4 factual information, photographic or otherwise, 5 and you felt like the information that I have 6 presented you with established that JonBenet 7 Ramsey had marks on her body that are consistent 8 with the application of a stun gun, you wouldn't 9 hesitate to say that; would you, sir? 10 A. If I -- if it is all as you just 11 represented, that is correct. If all of the 12 evidence that you are referring to is 13 scientifically defensible, I would not have any 14 reservations about it, no. 15 Q. You do not have any agenda here, 16 hidden or otherwise; do you, sir? 17 A. No, sir, I do not. 18 Q. How much money does TASER 19 International pay you each month? 20 A. It's difficult to say because we are 21 just embarking on this now for the first time; 22 and I bill my time at a hourly rate, which 23 happens to be $125 an hour. And I have yet 24 actually to submit a bill. I need to do that 25 in the next probably day or two to finish out 00020 1 this month, which is the first active month of 2 this program. 3 Q. So you have never received any money 4 from TASER International? 5 A. No. 6 Q. They don't pay you in your job as 7 medical director for TASER International? 8 A. Well, that is a very recent 9 description or title. And, in fact, I have not 10 been paid a cent for that up to this point. 11 Now, I have some anticipation that that will 12 change, particularly since the Marine Corps grant 13 or contract, actually, was approved. 14 Q. How recent has that title been 15 bestowed upon you, Medical Director for TASER 16 International, Inc.? 17 A. Well, I think it has been talked 18 about now for a couple of months. As to 19 whether it was a proper designation of the kind 20 of activity that I will be involved in, I have 21 actually commenced over the last probably 60 22 days to take on the role of an on-call medical 23 advisor, medical director, if you will, to 24 handle problems that come up in the field 25 related to their devices that they market, the 00021 1 TASER in particular. 2 And because I have -- I thought when 3 I finished and retired from medical practice 4 that my on-call days and weekends and nights and 5 so forth were going to be freed up some, but I 6 have now jumped right back into the fire from 7 the frying pan, I think, carrying a full-time 8 pager so that I can be reached at a moment's 9 notice and that sort of thing. 10 Q. By TASER International? 11 A. Yes. Well, by -- and by -- and 12 their customers. 13 Q. Well, let me, because you indicated 14 that you had talked about the title for a 15 couple of months and as to whether it was a 16 proper designation that you will be involved in 17 or not. 18 Just plain and simple, do you hold 19 the position as the medical director for TASER 20 International, Inc., the manufacturer of the Air 21 TASER stun gun? 22 A. Yes, I do. 23 Q. How long have you held that 24 position, sir? 25 A. I would say, to be precise about it, 00022 1 it was formally announced at a meeting in Las 2 Vegas two weeks ago. 3 Q. Is that when you took on the role, 4 two weeks ago? 5 A. Well, I haven't been paid yet, so I 6 don't know whether -- if it means I got a 7 check from them, I haven't got a check from 8 them. 9 Q. Sir, it doesn't mean whether you got 10 a check from them or not. You have a number 11 of degrees. You are an educated man. You 12 have been a businessman all of your life. It 13 is a simple question. 14 When did you become the medical 15 director for TASER International, Inc.? Two 16 weeks ago, two months ago? Tell me. 17 A. Oh, I am not sure that I can say 18 that I am even yet because I don't have cards. 19 I don't have any -- I don't have an official 20 statement from them. I don't have a letter. 21 I don't have anything other than the 22 presentation of myself as the newly appointed 23 medical director of TASER International at their 24 big annual meeting here a few weeks ago in Las 25 Vegas. 00023 1 Q. So you would not have -- 2 MR. HOFFMAN: Lin, may I ask you a 3 question? 4 MR. WOOD: No. Ask me a question? 5 MR. HOFFMAN: Yes. Are you asking 6 him when he actually began performing any duties 7 as a medical director for TASER? 8 MR. WOOD: I am not. I am asking 9 him when he became the medical director for 10 TASER International, Inc., period. That's my 11 question. 12 MR. HOFFMAN: Okay. Thank you. 13 Q. (By Mr. Wood) So you would not 14 have represented yourself as a medical director 15 for TASER International, Inc. until two weeks 16 ago when the announcement was made in Las Vegas, 17 right? 18 A. It certainly would have been an 19 unofficial or in the context of being that that 20 was a discussion that was ongoing and it was 21 highly likely that it would occur. 22 Q. But it had not occurred prior to two 23 weeks ago? 24 A. Prior to two weeks ago, it had not 25 occurred. 00024 1 Q. And you had not, as Mr. Hoffman 2 suggested a good question, you had not taken on 3 any actual job responsibilities as the medical 4 director until two weeks ago; is that true? 5 A. The job responsibility -- 6 Q. Is that true? 7 A. That is true, yes. 8 Q. And you don't know how much they are 9 going to pay you for that job; do you? 10 A. Yes. 11 Q. How much? 12 A. They proposed to pay me $1,000 a 13 month as a retainer. The other activities will 14 be over and above that. 15 Q. And what about stock options, do you 16 have any stock options in TASER International, 17 Inc.? 18 A. No, I don't. 19 Q. Do you own any stock in that 20 company? 21 A. No. 22 Q. Have you been made any promises that 23 you would receive any such benefits -- 24 A. No. 25 Q. -- from being associated with them? 00025 1 A. No, I have not. 2 Q. Have you ever had any stock options? 3 A. Yes. 4 Q. In TASER International, Inc.? 5 A. Yes. 6 Q. Tell me about those. 7 A. I was compensated by stock option 8 exclusively for work that I did for them several 9 years ago on animal studies for their device. 10 Those options matured and were executed. 11 Q. You purchased the stock? 12 A. Yeah. And I purchased the stock, 13 and I sold the stock. Actually I divided it 14 up amongst my relatives is what I did with it. 15 Q. How many shares of stock are we 16 talking about? 17 A. About 3,000. 18 Q. How much profit did you make on that 19 sale, gross? 20 A. About $40,000. 21 Q. $40,000 gross profit on the sale of 22 the stock of TASER International, Inc.? 23 A. Over the exercise price, yes. 24 Q. Over the exercise price. TASER 25 International, Inc. stock, right? 00026 1 A. Right. 2 (Defendants' Exhibit-4 was marked for 3 identification.) 4 Q. (By Mr. Wood) Defendants' Exhibit-3. 5 Let me have back No. 2. 6 A. You want three? 7 Q. I want No. 2. I want you to look 8 at No. 3. 9 In your Rule 26 report, you 10 indicated that you had examined the nine-page 11 autopsy report, correct? 12 A. Correct. 13 Q. And you had also examined four 14 monochrome laser printer images, correct? 15 A. Yes. 16 Q. The four monochrome laser printer |
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