EXHIBITB. (Plaintiffs' Response in Opposition to AstraZeneca's Motion in Limine to Exclude Evidence and Argument about Ghostwriting)



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EXHIBITB (Plaintiffs' Response in Opposition to AstraZeneca's Motion in Limine to Exclude Evidence and Argument about Ghostwriting)

Page 1 IN THE UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA ORLANDO DIVISION IN RE: SEROQUEL PRODUCTS LIABILITY LITIGATION CASE NO. 6:06-md-01769-ACC-DAB MDL Docket No. 1769: November 1, 2007 Videotape deposition of JAMIE A. MULLEN, M.D. held in the offices of Golkow Technologies, Inc., One Liberty Place, 51st Floor, 1650 Market Street, Philadelphia, Pennsylvania 19103 commencing at 9:07 a.m., on the above date, before Linda Rossi Rios, RPR, CCR and Notary Public. CON F IDE N T I A L Golkow Technologies, Inc. One Liberty Place, 51st Floor 1650 Market Street Philadelphia, Pennsylvania 19103 877.370.3377

Page 589 1 any need for it, because it was largely a 2 project delivery and project management 3 database. And secondly, is my 4 understanding was that it was difficult 5 for a layperson to use. 6 Q. And you were a layperson? 7 A. In project management, I was 8 considered a layperson, yes. 9 Q. Yes. 1 0 Okay. Then we have several 11 bullet points. Kasper, is that a Dr. 12 Kasper? 13 A. Yes, it is. 14 Q. Sir, I've taken depositions 15 ofastrazeneca PSS members and I've 16 reviewed their call notes. 1 7 Have you ever reviewed call 18 notes ofan AstraZeneca sales 19 representative at any time? 2 0 A. I don't recall that I have, 21 no. 22 Q. Okay. I've seen, and we'll 2 3 show at trial ifneed be, call notes 24 indicating that the sales reps utilize Page 590 1 the Kasper -- a Kasper reprint in their 2 detailing activities. 3 Do you know anything about 4 that? 5 A. I don't know about the use 6 ofany manuscript on the ISSs, by the 7 PSSs. 8 Q. But you know what you do 9 know, though, you do know that part of 1 0 the purpose ofgetting these studies 11 published was so that the marketing 12 companies could utilize the studies in 13 their marketing activities. 14 You know that. Right? 15 MR. GOODELL: Object to 16 form. 1 7 THE WITNESS: They could be 18 used to support their marketing 1 9 activities, yes. 20 BY MR. ALLEN: 21 Q. Yes, sir. And I think 22 you're getting close. 23 And you knew in your role, 2 4 the jury will see your resume, they will Page 591 1 get to look at your business card, you 2 knew that part ofthe reason that you 3 hired Parexel medical marketing services 4 company and engaged in activities to get 5 manuscripts published was in order to 6 utilize that information in your 7 marketing ofseroquel. True? 8 MR. GOODELL: Object to 9 form. 10 THE WITNESS: Some ofthe 11 manuscripts that were assisted by. 12 Parexel were used in marketing. 13 activities. 14 BY MR. ALLEN: 15 Q. Yes, sir. 1 6 I know they were used. And 1 7 see, I'm -- I tell you, I'm kind ofa 18 student ofthe English language. 1 9 So you've now agreed that 20 some ofthe articles that were published 2 1 with the assistance ofastrazeneca were 2 2 used in marketing activities. Correct? 23 MR. GOODELL: Object to 24 form. Page 592 1 THE WITNESS: Withthe 2 assistance -- 3 BY MR. ALLEN: 4 Q. Sir? 5 A. With the assistance of 6 Parexel. 7 Q. With the assistance of 8 Parexel. 9 Because you've agreed some 1 0 ofthem have been used in marketing 11 activities. Correct? 12 A. Correct. 13 Q. The word "plan," what's a 14 plan? 15 A. A plan is an understanding 1 6 ofthe future and how we're going to get 17 there. 18 Q. Yeah, that's good. 1 9 AstraZeneca had a 20 publication plan, did they not? 21 A. AstraZeneca as a whole did 22 not have a publication plan, no. 23 Q. I'm sorry. Tell the jury, 2 4 see, I'm here on Seroquel, and I keep on 65 (Pages 589 to 592)

Page 593 1 forgetting I've got to do a betterjob. 2 Let me see ifi can rephrase the 3 question. 4 Did the people that were 5 involved with AstraZeneca's product 6 Seroquel have a publication plan for 7 Seroquel? 8 MR. GOODELL: Object to the 9 colloquy and the question. 10 THE WITNESS: Yes, there was 11 a publication plan for Seroquel. 12 BY MR. ALLEN: 13 Q. That's right. 14 And the plan was put in 15 place in order to help effectuate 1 6 strategy that the marketing department 1 7 had for Seroquel. Correct? 18 A. Part ofthe plan was to help 1 9 provide data that would be used by the 2 0 marketing companies. 21 Q. Yeah. So you were 22 helping -- so the publication plan helped 2 3 effectuate marketing strategies. 24 Correct? Page 594 1 MR. GOODELL: Object to 2 form. 3 THE WITNESS: I don't know 4 about marketing strategies. I 5 wasn't responsible for developing 6 them. I have no idea what fed 7 into them. 8 BY MR. ALLEN: 9 Q. Well, the publications 1 0 helped support the key messages for 11 Seroquel. Right? Isn't that right? 12 A. Data from clinical trials 13 was used to support, as it's properly 14 done, to support messages. 15 Q. SO just for the jury's 1 6 understanding, remember things that 1 7 doctors learn, one ofthe sources is 18 publication in journals, in scientific 19 and medical journals. Right? It's one 2 0 oftheir sources? 21 A. And you recall, too, that I 22 objected to that diagram. 23 Q. Sir, I recall your 24 objection. And we're going to let the Page' 595 1 judge rule on that and that's just the. 2 way the system is? 3 Listen to my question. 4 You recall that you agreed 5 that one ofthe sources ofdoctors' 6 knowledge was publications in journals. 7 You recall agreeing to that, 8 didn't you? 9 A. I don't agree to that 1 0 diagram. I do agree to the fact that 11 publication journals do provide 12 information into their knowledge base, 13 yes. 14 Q. Yes. 15 And now you can tell the 16 jury that in the published literature, it. 1 7 was part ofa publication plan to support 1 8 Seroquel marketing at AstraZeneca. 19 Correct? 20 MR. GOODELL: Object to 21 form. 22 THE WITNESS: Again, I said 2 3 before that I don't know what went 24 into the marketing plan. I can Page. 596 1 say that the publication plan was 2 developed to develop a strategy 3 for publications. And some of 4 those publications were used to 5 support marketing. 6 BY MR. ALLEN: 7 Q. And the plan, as you said, a 8 plan. 9 And you agree there's a 10 publication plan for Seroquel? 11 A. Yes. 12 Q. And a plan is where we want 1 3 to be in the future I think is one ofthe 1 4 things you said as a definition. Right? 15 A. That's correct. 16 Q. And one ofthe parts ofyour 1 7 plan at AstraZeneca was to have material 18 published that would support the 1 9 marketing ofseroquel. True? 2 0 A. That would support some of 2 1 the messages in marketing, yes. 22 Q. Yes, sir. Thank you very 23 much. Very simple. Thank you very much. 24 MR. GOODELL: Object to the 66 (Pages 593 to 596)

1 colloquy. 2 BY MR. ALLEN: 3 Q. Now, going on down here it 4 says on this Kasper deal, "RS" -- who's 5 RS? I bet I could figure it out. 6 A. Rod Sayee. 7 Q. Rod Sayee "has received a 8 draft ofthe study report from Professor 9 Kasper and will forward to lm." 10 That's who? 11 A. That's me. 12 Q. SO the doctors who are 13 involved in the studies forward them to 14 AstraZeneca for comment and thinking. 15 Right? 1 6 A. I don't know why it was 1 7 forwarded to me in this particular 18 context. It may have been because I was 19 a co-author. It may have been because I 2 0 was one ofthe reviewers on that review 21 team. 22 Q. Okay. So by that answer and 2 3 we'll -- whether you're a co-author or 2 4 not, your answer concedes that Page 597 Page 599 Page 598 1 AstraZeneca would have, as partofits 2 review team for published articles, 3 people that's name would not appear on 4 the paper. 5 In other words, the review 6 team did not consist ofall the authors, 7 did it? 8 A. The review team did not 9 consist ofauthors, just as review teams 10 at journals do not have authors on them. 11 Q. Thank you, sir. 12 "Action," and we're going to 13 get through this. "Action RSIPXL." 14 What is that? Parexel -- I 15 can't even pronounce that word. 1 6 That's Parexel medical 1 7 marketing services, but -- 1 8 A. I don't know what the RSI 19 refers to. 20 Q. Okay. And then action for 21 PXL. And I think there's a bibliography 2 2 or something. 2 3 But PXL we've agreed is 2 4 Parexel. Right? 1 A. That's correct. 2 Q. "Provide a data gap analysis.. 3 for publications so that publication of 4 ISSs can be prioritized." 5 So it looks like to me 6 Parexel is analyzing some ofthe data to 7 be utilized by authors ofinvestigator. 8 sponsored studies; is that right? 9 A. No, that's not correct. 10 Q. What is a data gap analysis? 11 A. Parexel looked at not the 12 clinical data but looked at the existing 13 literature and determined what was needed 14 in the literature. 15 Q. Okay. Thank you very much; 16 SIr. 17 Oh, so part ofy'all's role, 18 you at AstraZeneca along with your 19 medical marketing services company,.. 20 Parexel, helped determine what y'all felt 21 was needed in the literature? 22 MR. GOODELL: Object to 23 form. 24 BY MR. ALLEN: Page 600 1 Q. Is that what you just said? 2 MR. GOODELL: Object to 3 form. 4 THE WITNESS: It's not what 5 I said. 6 BY MR. ALLEN: 7 Q. Well, I thought I heard the 8 phrase that -- on this data gap analysis 9 there would be an evaluation to determine 1 0 what was needed in the literature. 11 Did I not hear that phrase? 12 A. You did say that -- I did 13 say that. 14 Q. Yes, sir. 15 And so who was trying to 1 6 determine what was "needed in the 1 7 literature"? 18 A. Parexel generated a data gap 19 analysis. I don't know what the process 2 0 was for subsequently looking at that 21 analysis, but Parexel did not determine 22 the priorities. 23 Q. No. What Parexel did is 2 4 what you testified to under oath. 67 (Pages 597 to 600)

Page 601 1 They helped evaluate "the 2 gaps in the literature." Right? 3 A. That's correct. 4 Q. Okay. By the way, you know 5 what, in all fairness to AstraZeneca, 6 what y'all are doing here with Parexel in 7 the medical marketing services, your 8 competitors were doing the same thing, 9 weren't they? 10 MR. GOODELL: Object to 11 form. 12 BY MR. ALLEN: 13 Q. Sir? 14 A. I have no idea what the 15 competitors are doing. 16 Q. I mean, Pfizer's doing it 1 7 with Geodon; Bristol-Myers is doing it 18 with Abilify; Janssen is doing it with 19 Risperdal; and Eli Lilly is doing it with 20 Zyprexa. Is that right? 21 MR. GOODELL: Object to 22 form. 23 THE WITNESS: As I said 2 4 before, I have no idea what the Page 602 1 other companies are doing. 2 BY MR. ALLEN: 3 Q. SO you have no idea. 4 Is your testimony under 5 oath, your right hand, is you have no 6 idea whether or not the competitive 7 companies ofsecond generation 8 antipsychotics have publication plans and 9 utilize outside consulting services to 10 help author and produce and publish 11 manuscripts in the literature? Is that 12 your testimony? 13 MR. GOODELL: Object to 14 form. 15 THE WITNESS: You didn't ask 1 6 me that before. Are you asking me 17 that now? 18 BY MR. ALLEN: 19 Q. Yes, sir. 20 A. I would imagine they do. 21 Q. Why would you imagine they 22 do? 2 3 A. Because AstraZeneca has done 24 that. Page 603 1 Q. SO really what the jury sees 2 in Exhibit 29, this is just common. 3 everyday industry practice, isn't it? 4 MR. GOODELL: Object to 5 form. 6 THE WITNESS: To look at. 7 gaps in the knowledge base and try 8 to fill them? Yes. 9 BY MR. ALLEN: 10 Q. Sir, I'm sorry. 11 It's common industry 12 practice for pharmaceutical companies to 13 hire medical marketing services to assist 14 them in the implementation ofpublication 15 plans, to have manuscripts published in 1 6 the scientific and medical literature; is 1 7 that true? 18 MR. GOODELL: Object to 19 form. 20 THE WITNESS: Again, I don't 2 1 know what general practice is. 2 2 AstraZeneca contracted with 2 3 Parexel, not to provide medical 2 4 marketing but to provide Page 604 1 assistance with editorial services 2 on the BEST team. 3 BY MR. ALLEN: 4 Q. You think the other -- do 5 you think AstraZeneca is out there by 6 themselves in this conduct in this 7 regard, or do you believe or know whether 8 or not the competitors in the 9 pharmaceutical companies -- in 10 pharmaceutical industries do the same 11 thing or approximately the same thing? 12 Do you know? 13 A. I don't know whether they do 14 the same thing. 15 Q. Okay. You don't know. 16 And you're -- how long have 1 7 you been employed by AstraZeneca or at 18 Zeneca? 19 A. Nine years. 20 Q. And you have been involved 2 1 and you are paid money by the 2 2 pharmaceutical companies, and you can't 2 3 tell us -- and you're a board certified. 2 4 psychiatrist. Right? 68 (Pages 601 to 604)