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A.
Okay.
2
Q.
Have you given a deposition before?
3
A.
I have.
4
Q.
One.
5
A.
Uh-huh.
6
Q.
Okay.
7
One.
So you have a little bit of an idea of
how it works?
8
A.
A little bit.
9
Q.
I'll -- I'll refresh your memory.
So this is
10
an opportunity that I have, as the defendant's attorney, to
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ask you questions about what you know about the Board of
12
Veterinary Medicine and what you know about certain aspects
13
of this case.
14
a representative of the Board, and we will explore that a
15
little bit when we get into some questions.
16
It is my understanding that you are here as
But a deposition is kind of like giving
17
testimony at a trial.
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answers that you give might be used at trial.
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things that will be a little bit different is, if I ask a
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question that Mr. Frownfelter feels like he needs to object
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to, he will have the opportunity to state his objection and
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get it on the record.
23 24 25
You are under oath, and some of the One of the
And then, unless it is a very unusual circumstance, you will go ahead and provide the answer. A.
Okay.