Lorillard
Joanne Bahura, Plaintiffs, Vs. S.E.W. Investors, Defendants Civil Action No. 90-Ca-10594 Judge Rufus King, III Plaintiff's Second Amended Designation of Expert Witnesses
Fields
- Author
- Glancy, T.X., J.R.
- Katz, R.W.
- Portner, J.N.
- Katz, R.W.
- Alias
- 87805732/87805735
- Type
- PLEA, PLEADING
- Area
- SPEARS,ALEXANDER/OFFICE
- Site
- G65
- Named Organization
- Sew Investors
- Named Person
- Bahura, J.
- King, R. III
- Date Loaded
- 12 Feb 1999
- Master ID
- 87805364/5929
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- Author (Organization)
- Gordon Feinblatt
- Superior Court Dc Civil Division
- Litigation
- Stmn/Produced
- Characteristic
- EXTR, EXTRA
- UCSF Legacy ID
- bzb40e00
Document Images
IN THE SUPERIOR COURT
FOR THE DISTRICT OF COLUMBIA
CIVIL DIVISION
JOANNE BARURA, et. al,. * CIVIL ACTION NO.
Plaintiffs, *
vs.
S.E.W. INVESTORS, a/k/a/
S.E.W. PARTNERS, et a~l.
*
*
* N
Defendants
*
* * * * * * * *
~tQR 2
0
*
st~~. C...
D: me Ri~fut
*
PLAINTIFFIS SECOND AMENDED
DESIGNATION OF EXPERT WITNESSES
*
*
Plaintiffs, by their undersigned counsel, hereby
designate, pursuant to Rule 26(b)(4) of the Superior Court Rules
of Civil Procedure, the following additional person as an expert
witness. Plaintiffs incorporate, in this Second Amended
Designation, Plaintiff's Amended Designation of Expert Witnesses
previously filed with the Court.
1. Rosalind C. Anderson, Ph.D. - Dr. Anderson's
resumd, which sets forth her background and qualifications, is
attached hereto as Exhibit A and incorporated by reference
herein. She currently holds the position as President, Anderson
Laboratories, Inc. ("Anderson"). Dr. Anderson is expected to
testify as follows: Based on tests conducted by Anderson and her
review of other data, Dr. Anderson will state it is her opinion
that the air in the Waterside Mall is currently contaminated, and
more probably than not was contaminated for some time in the
past. She will further state that the contaminents may have O
j
Cb
ISSUE 46 j~j?APPENDIX B ~
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adversely affected the muscular, neurological and respiratory
systems of the Plaintiffs.
Dr. Anderson will testify that when tested the air in
the building adversely affected the muscular, neurological and
respiratory functions of mice, and the detrimental effects on
mice directly correlate to detrimental effects on humans. The
contaminants were measured by the American Source Test Material
Consensus E-981 Method. This is an accepted consensus standard.
Dr. Anderson will further state that based on the tests
conducted by Anderson, and other data she has reviewed, it is her
opinion that the air in the Waterside Mall Complex, currently is
unacceptable, as defined by ASTM standards and worse than other
public buildings around the country and in the D.C. area.
Dr. Anderson will testify that tests conducted by other
consultants in the Waterside Mall Complex did not measure the
effect of contaminants on EPA occupants. Specifically, these
tests did not measure the toxic effect of complex mixtures at
different concentrations. Consequently, the test results often
did not reflect that the building was contaminated. If the
results were measured via the ASTM E-981 Standard, they might
have indicated that this building was and is contaminated.
Dated: March 1, 1993
ll~et4 t4~-,
Robert W. Kat D.C. Bar No. 1413
(SIGNATURES CONTINUED ON NEXT PAGE] ~
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CA
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Gordon, Feinblatt, Rothman,
Hoffberger & Hollander
233 East Redwood Street
Baltimore, Maryland 21202
410/576-4291
Attorneys for Plaintiffs
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on this day of /4-1 r'`1
1993, a copy of the foregoing Plaintiffs' Second Amended
Designation of Expert Witnesses was mailed, first-class, postage
prepaid, to:
Gregory A. Krauss, Esquire
Carr, Goodson & Lee
1919 Pennsylvania Avenue, N.W.
Washington, D.C. 20006;
James W. Greene, Esquire
Bromley, Greene & Walsh
1050 17th Street, N.W.
Washington, D.C. 20036;
Edwin Sheridan, Esquire
Doherty, Sheridan & Gramalbi
8408 Arlington Boulevard, Suite 200
Fairfax, Virginia 22031;
Marc L. Fleischaker, Esqurie
Arent, Fox, Kintner, Plotkin & Kahn
1050 Connecticut Avenue, N.W.
Washington, D.C. 20036-5339;
3

L31256.550 S:5
Mark Proctor, Esquire
Levin, Middlebrooks, Mabie,
Thomas, Mayes & Mitchell, P.A.
P.O. Box 12308
226 South Palafox Place
Pensacola, Florida 32581; and
Bernard J. DiMuro, Esquire
DiMro, Ginsberg & Lieberman, P.C.
921 King Street
Alexandria, Virginia 22314
Jonath N. Portner
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