Plaintiffs' Answer to Second Set of Interrogatories of Defendants Methodist Hospital of Gary, Inc., and Denis E. Ribordy
Public Court Documents
December 21, 1977
4 pages
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Case Files, Hatcher v. Methodist Hospital - Hardbacks. Plaintiffs' Answer to Second Set of Interrogatories of Defendants Methodist Hospital of Gary, Inc., and Denis E. Ribordy, 1977. 59493477-5484-f111-ab0f-7ced8d2181dd. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/332e4ac9-9423-4e6c-bbbe-271b0d042b5e/plaintiffs-answer-to-second-set-of-interrogatories-of-defendants-methodist-hospital-of-gary-inc-and-denis-e-ribordy. Accessed October 10, 2026.
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[||9a2eb335-3bf8-4cc0-a135-6e21b78c241d||] IN THE
UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF INDIANA
HAMMOND DIVISION
BERNICE TERRY, et al., .
Plaintiffs,
Vv. : NO, BE: 76-3723
METHODIST HOSPITAL OF GARY, INC.,
et al.,
Defendants. :
RICHARD GORDON HATCHER, et al.,
Plaintiffs,
Vv. : NO. H 77-154
METEODIST HOSPITAL OF GARY, INC., - :
et al.,
Defendants.
PLAINTIFFS' ANSWERS TO SECOND SET OF INTERROGATORIES OF
DEFENDANTS METHODIST HOSPITAL OF GARY, INC.,
AND DENIS E. RIBORDY
Plaintiffs answer the second set of interrogatories
of defendants Methodist Hospital of Gary, Inc., and Denis E.
Ribordy, as follows:
l. Identify each person whom plaintiffs expect to
call as an expert witness at trial, stating with regard to
each expert witness the following information:
a. The full name, address and occupation of
each expert witness;
b. The subject matter on which each expert is
expected to testify, clearly distinguishing
which experts, if any, are to testify with
regard only to alleged violations or only
to alleged remedies;
c. The substance of the facts and cpinions to
which each expert is expected to testify;
d. A summary of the grounds for each opinion
of each expert. ”
Answer:
As of this date, plaintiffs do not have knowledge
as to whomthey expect to call as expert witnesses at trial.
As soon as plaintiffs determine whom they expect to call as
such witnesses, plaintiffs will furnish the information re-
quested by this interrogatory.
Respectfully submitted,
Ly A {7
NE AAA ea
JACK GREENBERG SHE
BETH J. LIEF
BRENT E. SIMMONS
10 Columbus Circle
Suite 2030
New York, New York 10019
JULIAN B. ALLEN, JR.
2009 Broadway
Gary, Indiana 46407
Attorneys for Plaintiffs
Certificate of Service
I hereby certify that a copy of the foregoing
Plaintiffs' Answers to Second Set of Interrogatories
Of Defendants Methodist Hospital of Gary, Inc., and
Denis E. Ribordy,
was served by United States mail, postage prepaid, on
the “" day of December ; 1977, on counsel for
defendants as follows:
Rebecca L. Ross, Esq.
Department of Justice
10th and Pennsylvania Avenue
Washington D.C.
Marvin G. Garvin, Esg. and Edward L. Koven, Esq.
Regional Attorney and General Attorney
Department of Health, Education and Welfare
300 South Wacker Drive, 18th Floor
Chicago, Illinois
Pred W. Grady, Esq.
Assistant United States Attorney
Northern District of Indiana
Federal Building, 502 State Street
Hammond, Indiana 46325
Attorneys for Defendant Secretary of Health,
Education and Welfare
Hodges, Davis, Gruenberg, Compton & Sayers
Bruce E. Sayers, Esq.
5525 Broadway
Gary, Indiana 46401
Attorneys for Defendant Methodist Hospital
of Gary, Inc.
Theodore L. Sendak, Esq.
Assistant Attorney General of Indiana
219 State House
Indianapolis, Indiana
Attorneys for State Defendants
Anthony DeBonis, Jr., Esq.
Joseph E. Costanza, Esq.
Murphy, McAtee, Murphy & Costanza
First National Bank Building
720 W. Chicago Avenue
East Chicago, Indiana 46312
Attorneys for Defendant Kipton Kaplan
7) ; ; R pf
$a 1% he { ~C rr —
Beth J. Lief * ¢
Counsel for Plaintiffs. [||9a2eb335-3bf8-4cc0-a135-6e21b78c241d||]