Jasopersaud v. Tao

In Jasopersaud v. Tao, 169 A.D.2d 184, the Second Department in 1991 attempted to do this. In that case, the plaintiff was directed to disclose the expert's board certifications, the jurisdictions where she was licensed, the medical school attended, the area of expertise, and the institutions where the expert did post graduate work. However, the dates of these events could be withheld, as well as the institutions where the expert was presently affiliated, as the court concluded that the additional information "could effectively lead to disclosure of the expert's identity." (169 A.D.2d at 188.)