Class Action
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:48:02
No. It's all completely under control.
He's wearing down.

:48:07
If he gets into court in that wheelchair
with this story, he'll be far too sympathetic.

:48:13
- I understand that, Mr. Quinn.
- I can't put this in strong enough terms.

:48:17
I want him eliminated
as an effective witness.

:48:20
Yes, sir.
:48:22
- Are you prepared to do that?
- Absolutely.

:48:32
Then you won't mind if I sit in?
:48:34
No. No.
:48:38
Great.
:48:40
Now, Mr. Kellen, when the paramedics
were pulling you out of the vehicle,

:48:45
how did it feel to be on fire?
:48:48
For Godsakes,
you just asked me that question.

:48:50
No, sir, I believe I asked you
if you remembered being on fire.

:48:54
And I asked you,
when did you know you were on fire?

:48:57
And now I'm asking,
how did it feel to be on fire?

:49:01
It was...
:49:02
Maggie, I'm warning you,
we are already halfway out the door here.

:49:06
Mr. Kellen, were you ever a patient
of a Dr. Maxwell Chastain?

:49:13
Maybe. So?
:49:16
Yes or no, please.
:49:18
Yes.
:49:19
Is Dr. Chastain a psychologist
specializing in car phobias?

:49:25
- Is he, Mr. Kellen?
- Yes.

:49:28
As I understand it, a car phobia
means you're afraid of driving. True?

:49:33
It's not as simple as that.
:49:35
What's not simple?
Whether it's true or it's false?

:49:39
I guess it's true.
:49:40
Which makes you cautious,
maybe too cautious?

:49:43
- Objection. Argumentative.
- Noted.

:49:46
The car blew up.
How can you be too cautious?

:49:48
Technically, it burst into flames.
:49:54
Prior to the accident, how many times
have you been cited for driving too slow?

:49:59
- Twice.
- Are you sure it wasn't three times?


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