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Eric G. Slepian Bar # 017495 SLEPIAN LAW OFFICE 3737 N. 7th Street, Ste. 106 Phoenix, Arizona 85014 Telephone (602) 266-3111 Attorney for Plaintiff UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA Karen G. Grace, Plaintiff, vs. Pinnacle West Capital Corporation Long Term Disability Plan and Pinnacle West Capital Corporation 1998 Severance Plan, Defendants. NO. CIV-04-0242-PHX-JAT PLAINTIFF'S LIST OF EXPERT WITNESSES
Pursuant to the Court's Scheduling Order, Plaintiff Karen Grace hereby submits the following list of expert witnesses based on the investigation and discovery that has been completed as of this date. Plaintiff reserves the right to amend or supplement this list as further information is obtained.
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1.
Benjamin M. Sucher, D.O., is expected to testify as to the nature, extent,
and limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 2. William Devine, D.O., is expected to testify as to the nature, extent, and
limiting effects of Plaintiff's medical condition. Medical records have been previously
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provided.
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3.
Angela Shreves, M.D., is expected to testify as to the nature, extent, and
limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 4. Anne L. Conser, MSW, CISW, is expected to testify as to the nature,
extent, and limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 5. Christopher F. Dowd, M.D., is expected to testify as to the nature, extent,
and limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 6. Paul M. Guidera, M.D., is expected to testify as to the nature, extent, and
limiting effects of Plaintiff's medical condition. Medical records have been previously
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provided. 7. Steve Fanto, M.D., is expected to testify as to the nature, extent, and
limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 8. Eugene R. Almer, M.D., is expected to testify as to the nature, extent, and
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limiting effects of Plaintiff's medical condition. Medical records have been previously provided. 9. Elliot D. Salk, Ph.D., is expected to testify as to the nature, extent, and
limiting effects of Plaintiff's medical condition. Medical records have been previously provided.
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10.
Any witnesses listed by Defendant.
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DATED this 5th day of October, 2005.
_s/Eric G. Slepian______________ Eric G. Slepian, Esq. Attorney for Plaintiff
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CERTIFICATE OF SERVICE
I hereby certify that on October 5, 2005, I electronically transmitted the attached document to the Clerk's Office using the CM/ECF System for filing and transmittal of a Notice of Electronic Filing to the following CM/ECF Registrants: Joseph T. Clees Pavneet Singh Uppal Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 2415 E. Camelback Road, Ste. 800 Phoenix, AZ 85016
By: _s/Genesia Conover___ SLEPIAN LAW OFFICE
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