throbber
Brian J. Ward, Esq. (SBN 244387)
`Erin L. Powers, Esq. (SBN 245148)
`TRIAL LAWYERS FOR JUSTICE
`877 S Victoria Avenue, Suite 201
`Ventura, California 93003
`
`Tel: (310) 855-3727
`
`Fax: (563) 204-4205
`
`Email: jenperez@tl4j.com
`brianward@tl4j.com
`
`erin@tl4j.com
`
`Alan A. Ahdoot, Esq. (State Bar No. 238594)
`Christopher B. Adamson, Esq. (State Bar No. 238500)
`Daniel M. Stefanic, Esq. (State Bar No. 329078)
`ADAMSON AHDOOT LLP
`
`1122 S. La Cienega Blvd.
`
`Los Angeles, California 90035
`
`T: (310) 888-0024
`
`F: (888) 895-4665
`
`E: Christopher@aa.law
`
`E: Daniel@aa.law
`
`Attorneys for Plaintiffs
`TYLER BOLDEN
`
`superion cout He &
`
`T OF CALIFOR
`
`COUNTY OF SAN BERNARDINO”
`SAD BERNARDINO DISTRICT
`
`MAY 0 1 2025
`
`ANTHONY MARTINEZ. IEPUTY
`
`GWENDOLYN ADAMS, as successor in interest of DDSON WOOD, deceased, and GLENN
`
`IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
`FOR THE COUNTY OF SAN BERNARDINO
`
`UNLIMITED JURISDICTION
`GWENDOLYN ADAMS, as successor in Case No.: CIVDS1831184
`interest of DDSON WOODS, deceased, and Assigned for all purposes to:
`GLENN TYLER BOLDEN, Hon. Wilfred J. Schneider, Jr., Dept. S32-
`Plaintiffs, SBIC
`PLAINTIFFS’ OPPOSITION TO
`DEFENDANT’S MOTION IN LIMINE
`VS. NO. 6
`
`CALIFORNIA DEPARTMENT OF
`CORRECTIONS AND REHABILITATION,
`a public entity, MICHAEL WILLIAM
`BECKER, an individual, and DOES 1
`through 50, inclusive,
`
`Defendants.
`
`Complaint Filed: 12/06/2018
`Trial Date: 05/05/2025
`Dept: S32
`
`-l-
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`
`
`
`
`
`
`
`
`
`TO ALL PARTIES AND THEIR RESPECTIVE ATTORNEYS OF RECORD:
`Plaintiffs, GWENDOLYN ADAMS, as successor in interest of D’SON WOODS,
`
`deceased, and GLENN TYLER BOLDEN (“Plaintiffs”) hereby submit the following opposition
`to Defendant’s Motion in Limine No. 6 for and Order “excluding certain opinions of Plaintiff's
`retained expert Roger Clark
`
`This Motion will be based on this notice, the attached memorandum of points and
`authorities, Declaration of Daniel M. Stefanic, all the pleadings, records, and files in this action,
`
`and on such other evidence, both oral and documentary, as may be presented at the hearing.
`
`Dated: April 30, 2025 Respectfully submitted,
`
`TRIAL LAWYERS FOR JUSTICE &
`ADAMSON AHDOOT LLP.
`
`BRIAN J. WARD, ESQ.
`ERIN L. POWERS, ESQ.
`DANIEL M. STEFANIC, ESQ.
`DOUGLAS D. SHAFER, ESQ
`Attorneys for Plaintiffs
`
`D’SON WOODS, GWENDOLYN ADAMS
`and GLENN TYLER BOLDEN
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`-2-
`
`
`
`
`
`
`
`
`
`MEMORANDUM OF POINTS AND AUTHORITIES
`I. INTRODUCTION
`
`This personal injury case arises out of an automobile collision in which Plaintiffs allege
`that Defendant Michael Becker, while acting in the course and scope of his employment as a peace
`officer with the California Department of Corrections, caused the collision resulting in severe
`injuries to Plaintiff Glenn Bolden and the death of D’son Woods.
`
`Plaintiffs suffered serious physical injuries, including the death of D’Son Woods, and
`emotional distress. Plaintiffs request damages for past, and future medical expenses, and past and
`future physical pain, mental suffering, loss, and emotional distress.
`
`Defendant’s Motion in Limine Number 6 moves this Court for and Order “excluding
`Certain Opinions of Plaintiff's retained expert Roger Clark” related the topics for which he was
`retained including: law enforcement and correctional facility policies, procedures, and course and
`scope of employment with law enforcement agencies including the California Department of
`Corrections; Peace Officer Standards and Training (P.O.S.T.); and law enforcement standards,
`duties, practices, operational responsibilities, policies, procedures, training, supervision,
`investigation, pursuit, use of force, and topics related to the course and scope of employment, as
`those topics relate to law enforcement agencies including the California Department of Corrections
`and Rehabilitation. Attached hereto as EXHIBIT A is a true and correct copy of Plaintiffs’
`designation of expert Roger Clark.
`
`Defendants’ move to exclude Mr. Clark on the grounds that:
`
`1. Mr. Clark is not qualified to make the opinions he intends to proffer (Evid. Code §§ 801
`
`and 802);
`
`2. Mr. Clark relies upon speculation and conjecture in forming his opinions;
`
`3. Mr. Clark improperly provides opinions that are not, in fact, opinions; and
`
`4. Mr. Clark’s opinions are irrelevant;
`
`5. Any testimony regarding, or other reference to, such evidence would create a substantial
`danger of undue consumption of time and of undue prejudice, confusing the issues, and misleading
`
`the jury. (Evid. Code § 352)
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`-3-
`
`
`
`
`
`
`
`
`
`Defendant’s motion is fatally flawed inasmuch as it fails to identify the specific evidence
`that Defendant seeks to preclude as required under Kelly v. New West Federal Savings (1996) 49
`Cal.App.4th 659, 669. Defendant’s motion similarly fails to state any factual basis for excluding
`all unspecified evidence regarding Plaintiffs’ expert’s opinions. Jd. Finally, Defendant’s arguments
`regarding relevance and prejudice are conclusory at best, and do not justify such a vague and
`broad-sweeping order.
`
`In short, Defendant’s MIL No. 6 is little more than a poorly veiled attempt to exclude
`information that is bad for the State, but directly relevant to the issue of whether Becker was in the
`course and scope of his employment.
`
`Il. LEGAL ARGUMENT
`A. ROGER CLARK IS HIGHLY QUALIFIED UNDER EVIDENCE CODE
`SECTIONS 801 AND 802 TO OFFER HIS PROFFERED TESTIMONY.
`
`Plaintiffs’ Expert Roger Clark has extensive “special knowledge, skill, experience,
`training, and education” related to the testimony he has been retained to offer as required by
`Evidence Code Sections 801 and 802, as stated in his “Qualifications To Review Case” attached
`hereto as EXHIBIT B. Mr. Clark is a twenty-seven-year veteran of the Los Angeles County
`Sheriff's Department including “six years at the rank of Deputy Sheriff, six years as a Sergeant,
`and fifteen years as a Lieutenant. [he] retired holding a California Peace Officer Standards and
`Training (POST) Advanced Certificate, and [is] a graduate of the POST Command College (class
`#5, 1988).” (Ex. B, p. 1.) Over his career with the Sheriff's Department, he had a wide range of
`duties including assignment as a staff jail deputy, two years as an Administrator/ Lieutenant at
`Men’s Central Jail, patrol officer, field supervisor, jail watch commander, station watch
`commander, and commanding officer of investigative units. bid.) His experience and training
`in these capacities was extensive. (/d. at pp. 1 — 3.) Since his retirement in 1993, Mr. Clark has
`maintained a robust professional career as a Police Policies Consultant with extensive applicable
`experience, training, skills, and education. Ud.at pp. 3 — 9; EXHIBIT C, deposition of Roger
`Clark taken April 23, 2025, at pp. 9 — 12, 14, 16, 19; EXHIBIT D, Roger Clark’s Resume.) Mr.
`
`Clark has testified at the state and federal as an expert related to the subject matter for which he
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT?’S MIL NO. 6
`-4.
`
`
`
`
`
`
`
`
`
`is retained in this case hundreds of times. (Ex. C, pp. 16, 19; Ex. B pp. 3 — 9; EXHIBIT E, Listing
`of Testimony for Rule 26; EXHIBIT F, Brief list of Custody Cases.)
`
`Mr. Clark is undoubtedly qualified to testify as an expert on the subject matter for which
`he has been retained in this case. Defendants assert that “Mr. Clark has no experience with the
`scope of CDCR peace officer authority, has never worked for or with CDCR, and has never been
`designated as an expert to discuss the scope of authority for CDCR peace officers.” This assertion
`is directly contradicted by Mr. Clarks deposition testimony, his resume, and his list of experience.
`(Ex. C at pp. 12:18 — 25, 14:5 — 24, 16:1 — 4, 16:12 — 25; Ex. D; Ex. E; Ex. F.) Defendants go on
`to allege that Mr. Clark has no applicable training, knowledge, or experience related to CDCR
`Academy training. This to is contradicted by Mr. Clarks testimony regarding the training
`requirements of all law enforcement personnel in California. Defendants go on to cast aspersions
`against Mr. Clark’s training and experience without acknowledging that he has clearly established
`that he meets all of the requirements of Evidence Code sections 801 and 802 with regard to the
`testimony which he is retained to offer.
`
`After contradicting themselves by acknowledging Mr. Clark’s “voluminous experience,”
`Defendants go on to attack Mr. Clark’s qualifications and designation to speak to issues of
`ratification. Without beating a dead horse, Mr. Clark is clearly qualified to testify regarding issues
`of ratification and was properly designated to speak to law enforcement “operational
`responsibilities, policies, procedures, training, supervision, investigation . . . and topics
`related to the course and scope of employment, as those topics relate to law enforcement
`agencies including the California Department of Corrections and Rehabilitation.”
`(Defendant’s MIL # 6 at p. 4; Ex. A, Plaintiffs’ Expert Designation.) Clearly ratification falls
`within the scope of Mr. Clark’s expertise and Plaintiffs’ designation of him to testify to such
`matters.
`
`As to Defendants assertion that Mr. Clark’s opinions are “based upon speculation and
`conjecture,” Mr. Clarks skills, training, and experience speak for themselves. Defendants have
`offered no evidence that Mr. Clark is not relying on matter that “is of a type that an expert
`
`reasonably can rely on in forming an opinion upon the subject to which his testimony relates.”
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`-5-
`
`
`
`
`
`
`
`
`
`Sargon Enterprises, Inc. v. University of Southern California (2012) 55 Cal.4th 747, 770. In light
`of Mr. Clarks extensive resume, training, and experience, including testifying numerous times as
`an expert on the exact type of matters he will testify to in this case, the Defendants have further
`failed to explain how any of Mr. Clarks opinions are based on speculation or conjecture and
`should be excluded under Sargon. The Defendant has merely filed a motion full of conclusory
`statements that are unsupported by, and even contradicted by, Mr. Clarks record of skills,
`knowledge, training, and experience provided to Defendants as well as Mr. Clarks deposition in
`this matter.
`
`Defendant’s assertions that Mr. Clark will opine that “Mr. Becker was POST certified and
`had broad peace officer authority throughout the State, whether on or off duty”, and that that CDCR
`was a POST-certified academy, meaning that when Cadets graduate, such as Becker, from the
`CDCR Academy, they receive their POST certificate” are opinions based on speculation and pure
`conjecture, and have no basis in fact, are simply false. Mr. Clark testified based on his extensive
`knowledge, training, and experience related to the matter that, based on Michel Beckers deposition
`testimony he was POST certified, based on the requirements of California law Becker had to be
`POST certified to be employed as a law enforcement officer, and CDCR is a POST certified
`facility. (Ex. B; Ex. C at pp. 67:6 — 71; Ex. D; Ex. E.)
`
`Defendant’s assertion that “Mr. Clark’s opinion regarding requiring citizens to comply is
`irrelevant” is meritless. The opinion goes to the heart of the issue of law enforcement authority by
`highlighting the fact that the uniform itself is the symbol of authority granted by employment as a
`law enforcement officer.
`
`B. ROGER _ CLARK’S OPINIONS ARE RELEVANT, HAVE A_ HIGH
`PROBATIVE VALUE, AND DO NOT RISK UNDUE PREJUDICE TO
`DEFENDANTS OR CREATE A RISK OF CONFUSING THE JURY.
`
`Evidence Code section 350 provides that only relevant evidence is admissible. Relevant
`evidence is evidence "having any tendency in reason to prove or disprove any disputed fact that is
`of consequence to the determination of the action." Evid. Code § 350; People v. Kelly (1992) 1
`Cal.4th 495, 523; People v. Haston (1968) 69 Cal.2d 233, 245.
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`-6-
`
`
`
`
`
`
`
`
`
`The key issue in this case is whether or not Michel Becker was acting within the course
`and scope of his employment with the CDCR when he pursued Mr. Woods and Mr. Bolden and
`caused the collision that injured Mr. Bolded and ultimately killed Mr. Woods. Mr. Becker was
`pursuing Mr. Woods and Bolden while in full uniform after noticing Mr. Woods inside a
`convenience store and thinking he looked suspicious. Mr. Becker clearly stated, among other
`things, that a work thing kicked in and he “wasn’t going to let a bad guy get away.” Mr. Becker
`veered from his normal course of travel to work during the pursuit of the two suspects. Mr. Becker
`was then filmed in full uniform at the scene of the horrible collision, essentially fraternizing with
`CHP officers leading them to believe he was there in his law enforcement capacity and deterring
`CHP from investigating his role in the collision. Becker then gave an interview at the scene in full
`CDCR uniform that was broadcast on the news and internet. Mr. Clark’s testimony goes directly
`to reason that all of these acts, among other things, put Mr. Becker in the course and scope of
`employment during the incident. Obviously, these facts and Mr. Clark’s testimony are not
`favorable to Defendants, that does not make Mr. Clark’s testimony prejudicial or diminish the
`probative value of Mr. Clark’s expert opinions on the matter. Moreover, all of these facts that Mr.
`Clark will speak to, among other things, related to training, supervision, investigation, and policies
`all go to establishing necessary facts that the Plaintiff has the burden of establishing. As such, Mr.
`Clark’s testimony and the related subject matter are highly relevant, highly probative, and run no
`risk of prejudicing Defendant’s case, notwithstanding the fact that the testimony is not helpful to
`the defense.
`
`Moreover, Defendant once again ignores that there are ready tools to erase potential
`prejudice from any of the issues Defendant identifies — a proper and timely objection at the time
`of the improper argument or evidence. As a matter of law, such objections are sufficient to prevent
`or ameliorate whatever prejudice may have been suffered by Defendant from Plaintiffs’
`examination of the expert or the expert’s responses. Neumann v. Bishop (1976) 59 Cal. App.3d
`451; 130 Cal. Rptr. 786. This is because “[i]t is obvious that under any system of jury trials the
`influence of the trial judge on the jury is necessarily and properly of great weight, and that
`
`his lightest word of intimation is received with deference, and may prove controlling.”
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`-7-
`
`
`
`
`
`
`
`
`
`Neumann at 485 (citations and internal quotations omitted). [emphasis added].
`
`I. CONCLUSION
`
`For the foregoing reasons, Plaintiff respectfully requests this court Deny Defendant’s
`
`Motion in Limine Number 6 in its entirety.
`
`Dated: April 30, 2025
`
`Respectfully submitted,
`
`TRIAL LAWYERS FOR JUSTICE &
`ADAMSON AHDOOT LLP.
`
`BRIAN J. WARD, ESQ.
`
`ERIN L. POWERS, ESQ.
`DANIEL M. STEFANIC, ESQ.
`DOUGLAS D. SHAFER, ESQ
`Attorneys for Plaintiffs
`
`D’SON WOODS, GWENDOLYN ADAMS
`and GLENN TYLER BOLDEN
`
`By:
`
`PLAINTIFFS’ OPPOSITION TO DEFENDANT’S MIL NO. 6
`
`-8-
`
`
`
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`
`
`
`EKAHIBIT A
`
`
`
`
`
`
`
`
`27
`
`28
`
`Alan A. Ahdoot, Esq. (State Bar No. 238594)
`Christopher B. Adamson, Esq. (State Bar No. 238500)
`Austin G. Ward, Esq. (State Bar No. 300654)
`Daniel M. Stefanic, Esq. (State Bar No. 329078)
`ADAMSON AHDOOT LLP
`
`1122 S. La Cienega Blvd.
`
`Los Angeles, California 90035
`
`T: (310) 888-0024
`
`F: (888) 895-4665
`
`E: alan@aa.law
`
`E: christopher@aa.law
`
`E: austin@aa.law
`
`E: daniel@aa.law
`
`Attorneys for Plaintiff
`GWENDOLYN ADAMS, as successor in interest of DDSON WOOD, deceased, and GLENN
`TYLER BOLDEN
`IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
`FOR THE COUNTY OF SAN BERNARDINO
`
`UNLIMITED JURISDICTION
`
`GWENDOLYN ADAMS, as successor in interest] Case No.: CIVDS1831184
`
`of D?SON WOODS, deceased, and GLENN Assigned for all purposes to the
`TYLER BOLDEN, Hon. Wilfred J. Schneider, Jr.
`Plaintiffs, Dept. $32-SBJC
`PLAINTIFFS’ DESIGNATION OF
`EXPERT WITNESSES PURSUANT
`VS. TO CODE OF CIVIL PROCEDURE
`SECTION 2034.210
`CALIFORNIA DEPARTMENT OF EXCHANGE DATE: March 17, 2024
`
`CORRECTIONS AND REHABILITATION, a
`public entity, MICHAEL WILLIAM BECKER, : Tad.
`an individual, and DOES 1 through 50, inclusive, comesaint May “December 6, 2018
`
`Defendants.
`
`TO ALL INTERESTED PARTIES AND TO THEIR ATTORNEYS OF RECORD:
`COMES NOW PLAINTIFFS GWENDOLYN ADAMS and GLENN TYLER
`
`BOLDEN and hereby designate the following expert witnesses who may testify at the trial in the
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`
`
`
`
`
`
`
`
`12
`
`13
`
`14
`
`above-referenced matter. Plaintiffs hereby reserve the right to designate any expert any other party
`to this action has designated.
`
`Plaintiffs also reserve the right to call any percipient witness or treating physician and elicit
`expert opinion(s) from them, or to call any and all experts listed and/or deposed by any party to
`this litigation, pursuant to Code of Civil Procedure section 2034.260(b)(1). Plaintiffs further
`reserve the right to supplement, augment, or amend this list of experts as provided in Code of Civil
`Procedure section 2034.280(a).
`
`RETAINED EXPERTS:
`1. Roger A. Clark, 10207 Molino Road, Santee, CA 92071. (208) 351-2458.
`2. James J. Mason, Ph.D., P.E., ACTAR, Boster, Kobayashi & Associates, 59
`Rickenbacker Circle, Livermore, CA 94551-2049. (925) 447-6495.
`3. Ryan O’Connor, M.D., P.O. Box 86166, Los Angeles, CA 90086. (310) 990-9979.
`NON-RETAINED EXPERTS:
`1. All staff and personnel at American Medical Response, P.O. Box 30250, Los
`Angeles, CA 90030-0250, (800) 913-9106;
`
`2. All staff and personnel at Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`3. All staff and personnel at Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`4, All staff and personnel at Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`5. All staff and personnel at Montclair Hospital Medica Center, 5000 San Bernardino
`Street, Montclair, CA 9763. (909) 625-5411;
`
`6. Rachel Christa Allen, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`7. William Angkadjaja, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`8. Carolyn Abbasi, M.D., Loma Linda University Medical Center; 11234 Anderson
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`~
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`10.
`
`11.
`
`12.
`
`13.
`
`14.
`
`15.
`
`16.
`
`17.
`
`18.
`
`19,
`
`20.
`
`21.
`
`22.
`
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Cassra N. Arbabi, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Jessica Mackey Babcock, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Emily Chou Barrett, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Michael Aaron Benggon, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Rimon Nagy Bengiamin, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Stanley Douglas Brauer, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Richard Daniel Catalano, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Justin Theodore Calvert, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Alexandra Marie Pelayo Chang, M.D., Loma Linda University Medical Center;
`11234 Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Randall M. Deleon, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Samheep Singh Dhillon, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Timothy Marc Eastin, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Samantha H. Garvanovic, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Parke William Hudson, M.D., Loma Linda University Medical Center; 11234
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`A
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`23.
`
`24.
`
`25.
`
`26.
`
`27.
`
`28.
`
`29.
`
`30.
`
`31.
`
`32.
`
`33.
`
`34.
`
`35.
`
`36.
`
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Esther Jihae Kim, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Tracey C Kim, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Uoo Ram Kim, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Paul Myunghyeon Kim, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Robertus Hasan Kounang, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Levon Kyupelyan, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Tyler Lawrence Ladue, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`We Jin Lau Deon, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`John Lenart, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Ann Chunan Lin, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Alexander William Loehr, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Carin Mead Mascetti, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Kaushik Mukherjee, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Steven Patrick Nelson, M.D., Loma Linda University Medical Center; 11234
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`37.
`
`38.
`
`39.
`
`40.
`
`41.
`
`42.
`
`43.
`
`44.
`
`45.
`
`46.
`
`47.
`
`48.
`
`49.
`
`50.
`
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Gordon Willard Peterson, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Briana Katharine Rodriguez, M.D., Loma Linda University Medical Center;
`11234 Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Anish Neeraj Sen, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Hannah Louise Shehata, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Robert Patrick Stump, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`David Turay, M.D., Loma Linda University Medical Center; 11234 Anderson
`Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Cori Rachel Van Gorkom, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Dustin Harris Wailes, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Annie Ting Wang, M.D., Loma Linda University Medical Center; 11234
`Anderson Street, Loma Linda, CA 92354. (909) 558-4000;
`
`Alharith Abdullah, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Jaron Butterfield, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Chul Chae, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Joanie Columbia, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`John T. Culhane, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`-
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`31.
`
`52.
`
`53.
`
`54.
`
`55.
`
`56.
`
`57.
`
`58.
`
`59.
`
`60.
`
`61.
`
`62.
`
`63.
`
`64.
`
`Colton, CA 92324. (909) 580-1000;
`
`Thuan Tran Dang, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Julie Rankin Dominguez, M.D., Arrowhead Regional Medical Center, 400 N.
`Pepper Ave., Colton, CA 92324. (909) 580-1000;
`
`Payam M Falatoonzadeh, M.D., Arrowhead Regional Medical Center, 400 N.
`Pepper Ave., Colton, CA 92324. (909) 580-1000;
`
`Kerry Fine, D.O., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Andrew Frierson, D.O., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Michael D Gentry, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Gerald Junior Gracia, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Bruce Gipe, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Scott Barray Grames, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Tung Huynh, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Won — Seok Jo, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`James M. Kim, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Eric Lau, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Ha M. Le, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`r
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`65.
`
`66.
`
`67.
`
`68.
`
`69.
`
`70.
`
`71.
`
`72.
`
`73.
`
`74.
`
`75.
`
`76.
`
`77.
`
`78.
`
`Colton, CA 92324. (909) 580-1000;
`
`Carolyn S. Leach, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Olga Lebedevskiy, M.D., Arrowhead Regional Medical Center, 400 N. Pepper
`Ave., Colton, CA 92324. (909) 580-1000;
`
`Esther J. Lee, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Petter M. Malek, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Tyler Mitchell, D.O., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Sadiq Nisar, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Hakan Ogutcu, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Daniel Jonathan Patton, M.D., Arrowhead Regional Medical Center, 400 N.
`Pepper Ave., Colton, CA 92324. (909) 580-1000;
`
`Kambiz Raoufi, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Nicholas Roney, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Chandler Shyu, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`John S. Sohn, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Rami Soufan, D.O., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Matthew Wi, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`=
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`79.
`
`80.
`
`81.
`
`82.
`
`83.
`
`84.
`
`85.
`
`86.
`
`87.
`
`88.
`
`89.
`
`90.
`
`91.
`
`92.
`
`Colton, CA 92324. (909) 580-1000;
`
`David T. Wong, M.D., Arrowhead Regional Medical Center, 400 N. Pepper Ave.,
`Colton, CA 92324. (909) 580-1000;
`
`Hussain Al-Darsani M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Dustin Arnold, PsyD., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Sohanjeet S Bassi, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Christopher Bent, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Michael H Bien, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Mary Bui, D.O., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Elbert Chang M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Terry Lee Chase, Ph.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Hussain Al-Darsani, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Vinod Dhawan, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Roger Ernest DER, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Gene S Hong, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Robert Gordon, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`a
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`93.
`
`94.
`
`95.
`
`96.
`
`97.
`
`98.
`
`99.
`
`100.
`
`101.
`
`102.
`
`103.
`
`104.
`
`105.
`
`106.
`
`Cucamonga, CA 91730. (909) 581-6400;
`
`Nicolaas Grobler, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Kevin R Gustafson, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`G.S. Hong, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Tu Hoang, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`F. Hsu, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Minna Huang, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Aaron Jun, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Mohammad Z. Kattih, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Shahram Khorrami, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Monika L. Kief-Garcia, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`John Kim, D.O., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Janelle Le, PharmD., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Young I. Lee, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Dr. Mare Lynch, Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`a
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`107.
`
`108.
`
`109.
`
`110.
`
`111.
`
`112.
`
`113.
`
`114.
`
`115.
`
`116.
`
`117.
`
`118.
`
`119.
`
`120.
`
`Cucamonga, CA 91730. (909) 581-6400;
`
`Lisa Mahoney, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Krishan K. Malhotra, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Edwin S. Monuki, MD, Ph.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Dr. Mulangi, Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Anthony S. Oh, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Nima Naimi, D.O., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Atul Patel, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Jennifer Reed, Ph.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Abid A. Rizvi, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Ancel J. Rogers, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Saman Sarani, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`S. Saridey, M.D., Kindred Hospital Rancho, 10841 White Oak Road, Rancho
`Cucamonga, CA 91730. (909) 581-6400;
`
`Rick Siriratsivawong, M.D., Kindred Hospital Rancho, 10841 White Oak Road,
`Rancho Cucamonga, CA 91730. (909) 581-6400;
`
`Daljinder Takhar, D.O., Kindred Hospital Rancho, 10841 White Oak Road,
`
`PLAINTIFFS’ DESIGNATION OF EXPERT WITNESSES
`
`an
`
`
`
`
`
`
`
`
`
`27
`
`28
`
`121.
`
`122.
`
`123.
`
`124.
`
`125.
`
`126.
`
`127.
`
`128.
`
`129.
`
`130.
`
`131

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