Case 1:03-cv-02633-PSF-PAC
Document 273
Filed 09/26/2006
Page 1 of 2
WITNESS LIST FORM Judge Phillip S. Figa
Case No. 03-cv-02633-PSF-PAC Case Caption: Lillian Barton v. City and County of Denver, et al.
Date: 9/26/06
Plaintiff's Witness List Will Call Witnesses (name & summary of testimony) 1. _Larry Gomba__________________ Estimated Time for Examination Direct Cross 1-2 hrs. __________
Mr. Gomba is Plaintiff's ex-husband and the owner of the vehicle from which the substance which occasioned the Defendants' investigation of alleged dumping was leaked. He will testify concerning to the events which led to Plaintiff's arrival at the scene where she was assaulted by the Defendants, arrested and cited for interference. He will also testify concerning the damages suffered by Plaintiff. 2. Lillian Barton is the Plaintiff. She will testify concerning her claims for relief and how those arose out of her arrival at the scene where Defendants were investigating the green substance discharged from Larry Gomba's vehicle and the Defendants' actions in interrogating, assaulting, arresting and charging her with interference. She will testify concerning the County Court hearing held on her Motion to Dismiss, the disposition of that motion and the charges against her. She will testify to damages she suffered as the result of the Defendants' actions toward her. 2-3 hrs. __________
3. I. Stephen Davis, M.D. Dr. Davis will testify as an expert witness concerning the report of his evaluation of the Plaintiff which he prepared for Defendants' lawyers. He will testify as an expert witness to his opinion to a reasonable degree of medical probability that based upon Lillian Barton's history she did sustain injury resulting from Defendants' actions toward her. 1-2 hrs. May Call Witnesses (name & summary of testimony) 1. Roxanne D. Baca __________
Estimated Time for Examination Direct Cross I hr.
Case 1:03-cv-02633-PSF-PAC
Document 273
Filed 09/26/2006
Page 2 of 2
Ms. Baca is the former chair of the Public Safety Review Commission of the City and County of Denver and may testify (pursuant to the Court's order on 7/5/06 that she would be permitted to testify as a witness subject to the usual rules of evidnce) concerning her knowledge of the facts out of which Lillian Barton's claims for relief arise and her knowledge of the Defendants' actions toward Plaintiff and the impact of those actions upon Lillian Barton. 2. Any appropriate rebuttal witnesses. [etc.] ____________ __________