TODAY YESHIVA UNIVERSITY'S DISHONEST LAWYERS ARE TRYING TO MISCONSTRUE THE FACTS---DR. BLAU STIPULATED THAT I DID NOT FAIL HIS ICM CLASS---THE TRANSCRIPT IS POSTED BELOW, FOR EASE OF REFERENCE. IN 2006, AFTER I WAS NAMED AS A WITNESS AGAINST JOHN SCARFONE, HE LIED ABOUT ME, IN FEDERAL COURT: "IN FACT, TODD OLSON'S ANATOMY COURSE IS THE ONLY CLASS MS. RADIN PASSED DURING HER FIRST YEAR OF MEDICAL SCHOOL". TODAY, THEY ARE TRYING TO CONFUSE TODD OLSON'S ANATOMY CLASS WITH DR. BLAU'S ICM CLASS.
BEHIND YOUR BACK, THEY MISCONSTRUE THE FACTS TO JUDGES TO GET ERRONEOUS RULINGS---THIS IS HOW THE PROPAGANDA WORKS.
YESHIVA UNIVERSITY AND ITS LAWYERS ARE DANGEROUS TO OTHERS, THEY STALKED ME THROUGH LIFE AND ALMOST MURDERED ME IN JERSEY CITY.
MR. REDENBURG: Your Honor, after conferring
22 with my client, Lidya Radin, we have agreed to stipulate
23 to facts that Stephen, S-T-E, P as in Peter, H-E-N, Blau,
24 B-L-A-U, MD, would testify to were he here as a witness on
25 behalf of the defense, Dr. Stephen Blau would testify as
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1 follows:
2 Lidya Radin did not fail his ICM class.
3 Dr. Blau was the small group leader while Lidya
4 Radin was a student at the Albert Einstein College of
5 Medicine.
6 Dr. Blau is an experienced psychiatrist with
7 over thirty years of experience and he testified once as
8 an expert witness.
9 Lidya Radin saw patients with Dr. Blau.
10 Lidya Radin did patient write-ups.
11 Lidya Radin saw Dr. Blau regularly in class and
12 rarely, if ever, missed classes.
13 So that if Ms. Radin was developing a major
14 medical illness like schizophrenia, Dr. Blau surely would
15 have noticed.
16 Instead, Dr. Blau's performance evaluation of
17 Lidya Radin were open, quote, outstanding, period, closed
18 quote.
19 MR. SPIRO: And that all that happened in 1994
20 and 1995?
21 THE COURT: "Outstanding," is that the word
22 outstanding?
23 MR. REDENBURG: Yes, your Honor.
24 THE COURT: "ICM" stands for what?
25 THE DEFENDANT: Introduction to Clinical
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1 Medicine.
2 MR. REDENBURG: Introduction to clinical
3 medicine.
4 (Whereupon, the defendant and defense counsel
5 conferred in open court.)
6 (Pause in the proceedings.)
7 THE COURT: Okay. Is there going to be
8 something else from the defense?
9 THE DEFENDANT: Yes, yes.
10 Just ask, please.
11 MR. REDENBURG: Your Honor, we have come to an
12 impasse as to further stipulations.
13 THE DEFENDANT: No, sir, we haven't.
14 And with great respect, in light of the two
15 stipulations that you have received so far, the pattern
16 that goes on is I protest, I get evidence on the record,
17 then I get punished.
18 I protest, I get evidence on the record, then I
19 get punished.
20 So in light of -- and I have taken enough
21 punishment.
22 So in light of the two stipulations, obviously I
23 have no history of, you know, mental illness that would
24 make me dangerous.
25 And to the extent that I was walking past
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1 Michael Reichgott to the window and announced so there
2 would be no question, "I'm not coming near you, Dr.
3 Reichgott. I'm heading to make a phone call," could
4 you please not remand me to jail this evening because
5 I have witnesses coming in and that I need to take care
6 of?
7 THE COURT: No, we're past that.
8 So is there going to be something else this
9 afternoon?
10 (Whereupon, the defendant and defense counsel
11 conferred in open court.)
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