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w . ! 48 <br /> 1 A . That is going to be„found in an underground <br /> r <br /> 2 tank file that I do not have with me . This is --- the <br /> 3 file that I brought is primarily the cleanup file and I <br /> 4 did bring narratives from the underground tank file but <br /> 5 I don ' t have the specific information about who did the <br /> k <br /> 6 precision test , [ <br /> t <br /> { 7 Q . Okay . If you don ' t mind, I ' d like to have a <br /> 8 a copy of the amended site -- I am sorry, the amended <br /> 9 work plan marked and attached to the deposition as 3, I <br /> Il <br /> 10 guess, and then if I could just take a look at -- I <br /> 11 think you made mention earlier that you had some reports <br /> r <br /> t <br /> 12 in your binder? <br /> 13 A . T"at '. s correct . !i <br /> 14 Q . What type of reports: are they? <br /> 15 A . These are reports that came from Quorum <br /> 16 . Environmental and SHN regarding "the work that we ' ve <br /> 17 referred to earlier and also they lab analysis that was <br /> 18 submitted to them . <br /> 19 Q . Okay . Mr . Collins, l'You understand that <br /> is ii <br /> i. 20 you 've been designated as an expert by the Defendant in <br /> r 21 the litigation between Mr , Mozebi and Save-Mor Oil <br /> 22 Company? it <br /> 23 A . I heard that this morning, that ' s correct , <br /> 24 But referring to the,lDefendant, are you <br /> 25 referring to this Save-Mor Oil Company? <br /> IJ <br /> i� <br /> PORTALS & ASSOCIATES (209 ) 462-3377 <br />