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- {
- "document_metadata": {
- "page_number": "11",
- "document_number": "2020r000308",
- "date": "November 2010",
- "document_type": "Court Transcript",
- "has_handwriting": false,
- "has_stamps": false
- },
- "full_text": "Case No.: 2020r000308\nDocument No.: 61908\nFiled: 11/10/2019\nPage: 11 of 23\nL9L5ber1\n1 death.\n2 We will not be eliciting expert medical testimony or opinion from this witness, he will be simply testifying to what he observed with respect to the victim's physical condition during the 10 intervening years between the shooting and the death and that's important evidence, it's evidence that will then be consistent with things that medical experts to be qualified as experts will be called to testify about, but those experts did not observe these injuries during the 10 intervening years. They also did not observe Mr. Jones prior to the shooting. For instance, they wouldn't be able to tell you whether he was in a wheelchair before the shooting or after the shooting. They wouldn't be able to tell you if he developed those bedsores before the shooting or after the shooting. It is Mr. Vega's observations that will allow the jury to connect those dots. Given how important causation is in this case, we think it is important that the jury understand those injuries.\n19 THE COURT: Will medical records, that will be introduced, describe the bedsores?\n21 MR. HOBSON: They will describe the bedsores at the time of the autopsy which was in November of 2010.\n23 THE COURT: What is the connection between bedsores and cause of death? Infection?\n25 MR. HOBSON: Your Honor, essentially what I expect the\nSOUTHERN DISTRICT REPORTERS, P.C.\n(212) 805-0300\nDOJ-OGR-00011126",
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- "content": "Case No.: 2020r000308\nDocument No.: 61908\nFiled: 11/10/2019\nPage: 11 of 23\nL9L5ber1",
- "position": "header"
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- {
- "type": "printed",
- "content": "1 death.\n2 We will not be eliciting expert medical testimony or opinion from this witness, he will be simply testifying to what he observed with respect to the victim's physical condition during the 10 intervening years between the shooting and the death and that's important evidence, it's evidence that will then be consistent with things that medical experts to be qualified as experts will be called to testify about, but those experts did not observe these injuries during the 10 intervening years. They also did not observe Mr. Jones prior to the shooting. For instance, they wouldn't be able to tell you whether he was in a wheelchair before the shooting or after the shooting. They wouldn't be able to tell you if he developed those bedsores before the shooting or after the shooting. It is Mr. Vega's observations that will allow the jury to connect those dots. Given how important causation is in this case, we think it is important that the jury understand those injuries.",
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- },
- {
- "type": "printed",
- "content": "19 THE COURT: Will medical records, that will be introduced, describe the bedsores?\n21 MR. HOBSON: They will describe the bedsores at the time of the autopsy which was in November of 2010.\n23 THE COURT: What is the connection between bedsores and cause of death? Infection?\n25 MR. HOBSON: Your Honor, essentially what I expect the",
- "position": "main"
- },
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- "type": "printed",
- "content": "SOUTHERN DISTRICT REPORTERS, P.C.\n(212) 805-0300",
- "position": "footer"
- },
- {
- "type": "printed",
- "content": "DOJ-OGR-00011126",
- "position": "footer"
- }
- ],
- "entities": {
- "people": [
- "Mr. Jones",
- "Mr. Vega",
- "Mr. Hobson"
- ],
- "organizations": [
- "SOUTHERN DISTRICT REPORTERS, P.C."
- ],
- "locations": [],
- "dates": [
- "November 2010",
- "11/10/2019"
- ],
- "reference_numbers": [
- "2020r000308",
- "61908",
- "DOJ-OGR-00011126"
- ]
- },
- "additional_notes": "The document appears to be a court transcript with a clear and legible format. There are no visible redactions or damage."
- }
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