3537 1 SUPERIOR COURT OF THE STATE OF CALIFORNIA 2 IN AND FOR THE COUNTY OF SANTA BARBARA 3 SANTA MARIA BRANCH; COOK STREET DIVISION 4 DEPARTMENT SM-2 HON. RODNEY S. MELVILLE, JUDGE 5 6 7 THE PEOPLE OF THE STATE OF ) 8 CALIFORNIA, ) 9 Plaintiff, ) 10 -vs- ) No. 1133603 11 MICHAEL JOE JACKSON, ) 12 Defendant. ) 13 14 15 16 17 REPORTER’S TRANSCRIPT OF PROCEEDINGS 18 19 FRIDAY, MARCH 25, 2005 20 21 8:30 A.M. 22 23 (PAGES 3537 THROUGH 3594) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 3537 1 APPEARANCES OF COUNSEL: 2 3 For Plaintiff: THOMAS W. SNEDDON, JR., 4 District Attorney -and- 5 RONALD J. ZONEN, Sr. Deputy District Attorney 6 -and- GORDON AUCHINCLOSS, 7 Sr. Deputy District Attorney, -and- 8 MAG NICOLA, Deputy District Attorney 9 1112 Santa Barbara Street Santa Barbara, California 93101 10 11 12 For Defendant: COLLINS, MESEREAU, REDDOCK & YU 13 BY: THOMAS A. MESEREAU, JR., ESQ. -and- 14 SUSAN C. YU, ESQ. 1875 Century Park East, Suite 700 15 Los Angeles, California 90067 16 -and- 17 SANGER & SWYSEN BY: ROBERT M. SANGER, ESQ. 18 233 East Carrillo Street, Suite C Santa Barbara, California 93101 19 -and- 20 OXMAN and JAROSCAK 21 BY: R. BRIAN OXMAN, ESQ. 14126 East Rosecrans Boulevard 22 Santa Fe Springs, California 90670 23 24 25 26 27 28 3538 1 I N D E X 2 3 Note: Mr. Sneddon is listed as “SN” on index. 4 Mr. Zonen is listed as “Z” on index. Mr. Auchincloss is listed as “A” on index. 5 Mr. Mesereau is listed as “M” on index. Ms. Yu is listed as “Y” on index. 6 Mr. Sanger is listed as “SA” on index. Mr. Oxman is listed as “O” on index. 7 Mr. Nicola is listed as “N” on index. 8 9 PLAINTIFF’S WITNESSES DIRECT CROSS REDIRECT RECROSS 10 SUTCLIFFE, Timothy 3541-SA 3548-A 3557-SA 11 (Cont’d) 12 3561-A 3564-SA (Further) (Further) 13 14 ROMERO, Alicia 3567-N 3582- SA 3586-N 3588-SA 15 TORRES, Nancy Diana 3590-N 16 17 18 19 20 21 22 23 24 25 26 27 28 3539 1 E X H I B I T S 2 FOR IN 3 PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 4 769 Notebook containing 19 pages 3552 5 6 770 Disk of exhibits released per court order 3581 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3540 1 Santa Maria, California 2 Friday, March 25, 2005 3 8:30 a.m. 4 5 THE COURT: Good morning. 6 THE JURY: (In unison) Good morning. 7 COUNSEL AT COUNSEL TABLE: (In unison) 8 Good morning, Your Honor. 9 THE COURT: You may proceed, Counsel. 10 MR. SANGER: Thank you, Your Honor. 11 12 TIMOTHY SUTCLIFFE 13 Having been previously sworn, resumed the 14 stand and testified further as follows: 15 16 CROSS-EXAMINATION (Continued) 17 BY MR. SANGER: 18 Q. Okay. Good morning. 19 A. Good morning. 20 Q. How are you doing? 21 A. Good. 22 Q. I just have a few more questions for you. 23 At the end of the day yesterday, you 24 testified, and there was a slide presentation 25 wherein 19 prints were shown, latent prints; is that 26 correct? 27 A. Correct. 28 Q. Just to remind the jury, you had the big 3541 1 charts on poster board, and then a Power Point 2 presentation was presented to the jury on the 3 screen, correct? 4 A. That’s correct. 5 Q. Those were 19 -- 6 MR. AUCHINCLOSS: I’ll just object as 7 misstates the evidence; that this witness was shown 8 only 16 cards, exhibits. 9 MR. SANGER: Okay. 10 Q. All right. You’re aware that there were 19 11 prints, you looked at some of them and you did not 12 identify them; is that correct? 13 A. That’s correct. Those were processed by 14 another investigator. 15 Q. You had a total of 19 prints up there, and 16 you were able to identify 16 as something you 17 processed? 18 A. I had a hand in processing 16 of them, yes. 19 Q. There you go. Of the 16 you processed, and 20 the other three that you’re aware of, totaling 19, 21 those are from a collection of how many usable 22 latent prints? 23 A. From what I understand, there was -- 24 MR. AUCHINCLOSS: I’ll object as lacks 25 foundation. 26 THE COURT: Sustained. 27 Q. BY MR. SANGER: All right. Your unit was 28 responsible for processing the prints; is that 3542 1 correct? 2 A. That’s correct. 3 Q. And by that we mean trying to locate all of 4 the usable prints, the prints that looked like they 5 might have enough detail to use them for comparison 6 purposes, correct? 7 A. Correct. 8 Q. And who is in charge of your unit? Who was 9 in charge of this process? 10 A. As far as looking at the -- 11 Q. As far as developing the prints so that you 12 get to the point where you have visible prints. 13 A. Well, I.D. Technician Torres and I were 14 involved in the process in Santa Maria. And 15 Detective Wittenbrock and I.D. Tech Shelly were 16 involved in the process in Santa Barbara. 17 Q. All right. And did you confer with 18 Detective Wittenbrock and I.D. Tech Shelly to 19 determine the status of their work? 20 A. Yes. 21 Q. And did you look at the materials that they 22 had accumulated? 23 A. No. 24 Q. You haven’t looked at them at all? 25 A. I have seen some of the prints that were 26 displayed, but not all of the prints that they 27 submitted as useable. 28 Q. Okay. And so the team was -- the team was 3543 1 comprised of the four of you, two in Santa Maria, 2 two in Santa Barbara? 3 A. Correct. 4 Q. And did you ever have a final -- well, let’s 5 not put it that way. Did you ever have any kind of 6 a meeting where you sat down, and you said, “Okay, 7 this is the body of material that we have, we’re 8 going to turn it over to the latent print examiners 9 to take a look at it”? 10 A. No. 11 Q. How many prints did you come up with in your 12 operation in Santa Maria, that being the operation 13 between you and I.D. Tech Torres? How many prints? 14 A. We submitted, I believe, a total of about 15 600, approximately. I think there was 600 that we 16 submitted. 17 Q. And so I guess what you’re saying is, you 18 have no idea how many were submitted by Detective 19 Wittenbrock and I.D. Tech Shelly in Santa Barbara? 20 A. I’m not sure of the exact amount. I know 21 there was, I think in the neighborhood of a total of 22 700, but I’m not sure of the exact figure. 23 Q. Total of 700 from them, or 700 -- 24 A. 700 total. 25 Q. Okay. So you submitted the bulk of them. 26 They came up with a smaller number? 27 A. Correct. We had the bulk of the items. 28 Q. So out of the 600 prints or so that you 3544 1 developed, the 600 or so usable prints that you 2 developed, there were 16 that you have shown us 3 yesterday; is that correct? 4 A. Correct. 5 Q. And out of the approximate other hundred, 6 apparently the other three were the result of that; 7 is that correct? 8 A. That’s my understanding. 9 Q. Now, of all those usable prints, most of 10 them were negative for the -- is that your 11 understanding? 12 A. Yes. 13 Q. All right. Okay. 14 MR. AUCHINCLOSS: I’ll object and move to 15 strike as ambiguous, vague, “negative.” 16 THE COURT: Sustained, stricken. 17 Q. BY MR. SANGER: The process that you used 18 involved a Scenescope. 19 A. Correct. 20 Q. And reminding everybody - they’ve probably 21 got that by now - you talked about the ALS also in 22 your testimony yesterday, and I want to clarify 23 this. ALS is different than Scenescope when you’re 24 using those terms; is that correct? 25 A. That is correct. 26 Q. And you mentioned that there had been an ALS 27 evaluation of the materials in Item 317 that 28 occurred before you had begun to look at them for 3545 1 prints; is that correct? 2 A. That’s my understanding. I don’t believe I 3 did Item 317 ALS, but I know I did ALS on certain 4 items, and I’m assuming that was done on others. 5 Q. You understand that somebody else did that? 6 A. That’s my understanding, but I don’t believe 7 I said specifically I did that one. 8 Q. And that ALS -- whatever ALS process was 9 done either by you or anybody else, did that do 10 anything to affect the ability to obtain prints? 11 A. No, it did not. 12 Q. Now, you indicated that in your process, you 13 did the super glue fuming first, then you did the 14 Scenescope, then you did the ninhydrin process; is 15 that correct? 16 A. That’s correct. 17 Q. So therefore, you did not use the Scenescope 18 before doing the super glue fuming; is that correct? 19 A. Not in our process, no. 20 Q. Now, you’re familiar with the Scenescope 21 technology, I take it, correct? 22 A. Yes. 23 Q. And you’re aware that you can use the 24 Scenescope before you do any chemical alterations to 25 the paper; is that correct? 26 A. That’s correct. We had not used in our 27 process protocol, but we had used the Scenescope to 28 look at pages prior to doing our protocol to see if 3546 1 we could observe any images. And we did not have 2 what I would consider sufficient results that way, 3 so we went to doing the super glue technique. 4 Q. So how -- in other words, before you tamper 5 with it, and I don’t mean that in a bad way, but 6 before you chemically alter with super glue, it is 7 possible to use a Scenescope and try to find prints 8 in their more or less natural state, correct? 9 A. That’s correct. 10 Q. And you’re saying you tried that on a few 11 pages first? 12 A. We did some test pages. 13 Q. About how many test pages did you do? 14 A. Just a few. I don’t know exactly how many. 15 Q. And how many pages did you have overall? 16 A. Of -- 17 Q. That you ultimately examined? 18 A. Over, I don’t know, a thousand. 19 Q. All right. So it was -- it was your 20 determination not to do a thorough Scenescope 21 examination of the thousands of pages before doing 22 the super glue fuming as a result of that test; is 23 that correct? 24 A. That’s correct. And one of the things 25 that’s mentioned in the Scenescope literature, and 26 also in talking to their specialist, is that if you 27 cannot visualize prints, your best method is to then 28 move to the super glue, because it will have the 3547 1 best results, especially with the Scenescope. Best 2 results are with super glue process. 3 MR. SANGER: I’m going to move to strike 4 that as hearsay and nonresponsive after, “Yes, I 5 think it was” -- or after, “That’s correct.” 6 THE COURT: Stricken after, “That’s correct.” 7 I wonder if you could try to speak a little 8 louder or lean a little closer. I can hear you, but 9 it’s -- go ahead. 10 MR. SANGER: And I have no further questions 11 at this time. 12 (Laughter.) 13 14 REDIRECT EXAMINATION 15 BY MR. AUCHINCLOSS: 16 Q. Good morning, Detective Sutcliffe. 17 A. Good morning. 18 Q. I believe Mr. Sanger used the word 19 “chemically alter.” Is that an accurate description 20 of what happens when you fume a page with the super 21 glue? 22 A. The super glue fumes are adhering to the 23 residues that are left on the page, so -- 24 Q. Okay. Does the fingerprint itself get 25 altered? 26 A. No -- 27 MR. SANGER: Objection. That’s leading. 28 MR. AUCHINCLOSS: This is an expert witness. 3548 1 THE COURT: The answer was, “No.” Next 2 question. 3 Q. BY MR. AUCHINCLOSS: Now, in your experience 4 as a forensics detective, how many times, if you can 5 estimate, have you been asked to look for 6 fingerprints on a given item? 7 A. Daily. 8 Q. Okay. Hundreds of times? 9 A. Thousands of times. 10 Q. Thousands of times, in hundreds of cases or 11 more? 12 A. Yes. 13 Q. When you look for a fingerprint on an item, 14 do you always find it? 15 A. No. 16 Q. Do you always find some fingerprints on an 17 item you’re looking for fingerprints on? 18 A. No, we do not. 19 Q. If you were asked to characterize the 20 percentage of items that you looked for fingerprints 21 on and you actually find a usable fingerprint on, 22 what percentage would you say? 23 MR. SANGER: Objection. Relevance; improper 24 foundation. 25 THE COURT: Sustained; relevance. 26 MR. AUCHINCLOSS: This is offered not only 27 for the magazines, but for other evidence in this 28 case. 3549 1 THE COURT: You may proceed. 2 MR. AUCHINCLOSS: Not relevant? 3 All right. 4 Q. Mr. Sanger asked you some questions 5 yesterday about the use of digital cameras with the 6 Scenescope. 7 A. Correct. 8 Q. And have you had a chance to do some 9 research on that topic as to whether or not a 10 digital camera is sufficient or adequate to use with 11 a Scenescope in capturing fingerprint images? 12 A. Yes, I have. 13 Q. What did you do? 14 A. I contacted the Spex Corporation this 15 morning and talked with a representative there. 16 Q. Have you -- did you find out whether or not 17 Spex Corporation actually offers their Scenescope 18 with a digital camera, as you mentioned you believe 19 it did yesterday? 20 A. Yes, they do. 21 MR. SANGER: Objection. Asked and answered; 22 and also for hearsay, for that matter. 23 MR. AUCHINCLOSS: It goes to -- it’s expert 24 testimony, Your Honor. 25 THE COURT: Hearsay; sustained. 26 Q. BY MR. AUCHINCLOSS: Do you know, based upon 27 your training, education, and experience, including 28 any training you’ve received from the Scenescope 3550 1 Corporation, as to whether or not a digital camera 2 is sufficient to capture fingerprint images using a 3 Scenescope? 4 MR. SANGER: Objection. That calls for 5 hearsay; and it’s also vague. 6 THE COURT: Overruled. 7 You may answer that question. 8 THE WITNESS: Yes, I do. 9 Q. BY MR. AUCHINCLOSS: And do you know if a 10 four-megapixel camera is sufficient, pursuant to 11 Scenescope recommendations, to capture such images? 12 A. Yes. And actually, they had offered 13 originally a three-megapixel -- 14 MR. SANGER: Move to strike after the 15 answer, “Yes.” 16 THE COURT: Stricken. 17 Q. BY MR. AUCHINCLOSS: Do you know if 18 Scenescope has even recommended a lesser resolution 19 camera, such as a three-megapixel camera, to capture 20 fingerprint images? 21 A. Yes, they do. 22 MR. SANGER: Objection; calls for hearsay. 23 MR. AUCHINCLOSS: It’s his training. 24 THE COURT: Sustained. 25 Q. BY MR. AUCHINCLOSS: When you use the 26 digital camera, what -- does the camera itself have 27 different levels of resolution that you can set the 28 camera to? 3551 1 A. Yes. 2 Q. And what level of resolution do you use on 3 this four-megapixel camera? 4 A. We use JPEG, the highest resolution, lowest 5 compression. 6 Q. Okay. And does that capture the clearest 7 images? 8 A. Yes, in JPEG format. 9 MR. AUCHINCLOSS: One last bit of 10 housekeeping, Your Honor. I provided counsel with a 11 copy of what I have marked as People’s Exhibit 769. 12 These are the images that I have provided, showed on 13 the Power Point, but I didn’t introduce yesterday. 14 And I’d like to just ask the witness a couple of 15 foundational questions concerning this exhibit. 16 THE COURT: All right. 17 MR. SANGER: Well, I’m going to object. 18 It’s beyond the scope of direct. Beyond the scope 19 of cross. 20 MR. AUCHINCLOSS: I believe there was some 21 questions about the testimony yesterday concerning 22 given images. And if there is a problem, I would 23 ask to reopen for that limited purpose. 24 MR. SANGER: Does Your Honor know what 25 pictures he’s talking about? They’re the ones 26 subject to the 352. 27 THE COURT: No, I don’t. 28 MR. AUCHINCLOSS: I’ve got a copy. 3552 1 THE COURT: These are the pictures he showed 2 yesterday. 3 MR. AUCHINCLOSS: That’s correct. 4 THE COURT: I’ve already ruled on the 352. 5 MR. SANGER: Well, my objection is that this 6 is beyond the scope of cross. I didn’t ask about 7 these pictures. I was just referring to the 352 so 8 Your Honor would know what we were talking about. 9 THE COURT: All right. Thank you. 10 The questions that you wanted to ask him are 11 foundational questions that you omitted to ask on 12 direct? 13 MR. AUCHINCLOSS: Well, just concerning this 14 particular exhibit. I just want to tie this 15 particular exhibit up with the presentation that we 16 gave yesterday. 17 THE COURT: All right. I’ll allow that. 18 MR. AUCHINCLOSS: All right. 19 THE COURT: Whose is this? 20 Q. BY MR. AUCHINCLOSS: Detective, I show you 21 Exhibit 769. It is a notebook which appears to have 22 19 pages in it, and I want you to look particularly 23 to page number two. I’m going to -- I’m going to 24 name some different page numbers. 25 Let’s do it this way. I’ll provide with you 26 page numbers, and I’ll ask you if these page numbers 27 correspond -- if the fingerprint on these particular 28 pages correspond with the 16 print cards that you 3553 1 identified yesterday as being prints that you 2 located. 3 A. Okay. 4 Q. All right. And I’ll do it serially. Well, 5 we can do it one at a time. 6 Does page number two correspond to the print 7 card noted as Exhibit No. 725, 02? 8 A. Yes, it does. 9 Q. Does page number three correspond with the 10 Exhibit No. 726, Print Card 03? 11 A. Yes, it does. 12 Q. And those were prints that you found, 13 correct? 14 A. That’s correct. 15 Q. And these are identical photos as to what 16 was shown yesterday as to where these prints were 17 located on these particular pages? 18 A. That’s correct. 19 Q. All right. Does page number five, the 20 ninhydrin print, correspond to the fingerprint 21 that’s noted on Exhibit 728, 05? 22 A. Yes, it does. 23 Q. Does page number six of this exhibit 24 correspond with the fingerprint that is shown on 25 Exhibit 729, 06? 26 A. Yes, it does. 27 Q. Does page number seven of Exhibit 769 28 correspond -- have a fingerprint on it that 3554 1 corresponds with the fingerprint on Exhibit 730, 2 identified as Card 07? 3 A. Yes, it does. 4 Q. Does page number eight, the fingerprint 5 thereon, correspond with the fingerprint that’s 6 located on Card No -- Exhibit No. 731, Card No. 08? 7 A. Yes, it does. 8 Q. Showing you page number nine of that 9 exhibit, does the fingerprint on that page 10 correspond with the fingerprint on Card No. 9, 11 Exhibit No. 732? 12 A. Yes, it does. 13 Q. Skipping ahead to page number 12, does that 14 fingerprint on Exhibit 769 correspond -- on page 12, 15 correspond to the fingerprint on Exhibit No. 735, 16 Card 12? 17 A. Yes, it does. 18 Q. Skipping one page. Page 14, does the 19 fingerprint on that card correspond with the 20 fingerprint on the card noted as Exhibit 737, 21 No. 14? 22 A. Yes, it does. 23 Q. Looking at page 15, does the fingerprint on 24 that page correspond with the fingerprint on Exhibit 25 No. 738, noted as Card 15? 26 A. Yes, it does. 27 Q. Going ahead to 16, page 16, does the 28 fingerprint on that card correspond to the 3555 1 fingerprint on Exhibit 739, noted as Card 16? 2 A. Yes, it does. 3 Q. And lastly, showing you page 17 -- that’s 4 not yours, sorry. 5 I’m going to show you Card 18. Does Card 18 6 correspond with the fingerprint that is noted on 7 page 18 -- does this correspond with Exhibit No. 8 741, Card 18? 9 A. Yes, it does. 10 Q. All right. And you located each of those 11 fingerprints? 12 A. That’s correct. 13 Q. And this exhibit contains the fingerprint 14 that you’ve noted with the exact page that it was 15 located on and the location of the fingerprint on 16 that page? 17 A. That’s correct. 18 Q. Thank you. 19 Move to admit Exhibit 769 into evidence at 20 this time. 21 MR. SANGER: I’m not sure that 769 have the 22 other pages in it that haven’t been identified yet. 23 MR. AUCHINCLOSS: That’s fair. That’s fair. 24 Actually, I will reserve that. I’ll hold off on 25 moving to admit that into evidence. There’s 26 additional foundation that I need to add. 27 THE COURT: All right. 28 MR. AUCHINCLOSS: All right. Thank you. 3556 1 No further questions. 2 3 RECROSS-EXAMINATION 4 BY MR. SANGER: 5 Q. Do you have 741 in front of you, Exhibit 6 741? 7 A. Is that -- 8 MR. SANGER: May I approach, Your Honor? 9 THE COURT: Yes. 10 MR. SANGER: If I can assist. 11 Q. That is 741. 12 A. Thank you. 13 Q. Exhibit 741 you have now identified as 14 relating to a particular page in the book that was 15 just marked for identification, correct? 16 A. Correct. 17 Q. Now, that was originally attributed to a 18 totally different magazine, a different exhibit, was 19 it not? 20 A. Correct. That placard number belonged to 21 321-D, which was a “Hawk” magazine. 22 Q. Okay. And did you confer with Detective 23 Spinner about the misidentification of that 24 particular -- the location of that particular print? 25 A. I conferred with him about the misleading of 26 the binders, yes. 27 Q. So there was a misattribution, in your 28 opinion at this time, of that print to, in essence, 3557 1 the wrong magazine? 2 MR. AUCHINCLOSS: I’ll object as vague as to 3 “misattribution.” 4 THE COURT: Overruled. 5 THE WITNESS: I don’t know what that means. 6 Q. BY MR. SANGER: Okay. That’s a good point. 7 When your team -- when the fingerprint team 8 was working on this, that particular print was 9 originally identified to - I want to get the right 10 number here - 321-D, correct? 11 A. That’s correct. 12 Q. And 321-D -- I’m sorry? 13 A. I was going to say that was based on us 14 receiving the binder with the label, and when we 15 opened the binder, we went to work on that 16 particular magazine, which was “Finally Legal.” 17 Q. Okay. The binder was labeled as 321-D? 18 A. Mislabeled. 19 Q. All right. We’ll get to misattribution 20 anytime now. 21 All right. The binder was mislabeled as 22 321-D, correct? 23 A. And that was the only identifier on the 24 binder. 25 Q. Okay. So there was no other way to 26 establish, as you look at it, as to what exhibit 27 that actually was? 28 A. Correct. 3558 1 Q. And you would agree, based on your training 2 and experience, that it’s important to try to label 3 all these things carefully so that ultimately, if 4 you’re called to testify in court, you can get it 5 right? 6 A. Absolutely. 7 Q. Okay. And eventually it was determined, you 8 believe at this time, that that print really came 9 off a different magazine? 10 A. Oh, I know it did. 11 Q. Okay. That’s your testimony at this point. 12 A. Correct. 13 Q. All right. And by the way, the fingerprints 14 that you lifted, do you have any way to determine 15 the age of the fingerprints? 16 A. No. 17 Q. So you can’t tell if one was laid down 18 before another, correct? 19 A. Correct. 20 Q. And you can’t tell, just even in general, 21 other than, for instance, looking at the date of a 22 magazine or something like that, you can’t tell 23 scientifically when a particular print was placed 24 there? 25 A. Correct. 26 Q. Okay. Now, Mr. Auchincloss led off with a 27 question about “chemically altered.” The fact is 28 that super glue fuming does chemically alter the 3559 1 exhibit, does it not, sir? 2 A. It adheres to the prints that are on -- or 3 whatever residue is left on there. I don’t believe 4 it chemically alters the prints, the chemical the 5 process, the super glue itself. 6 Q. All right. In talking about the word 7 “alter,” then, if you -- if you put super glue on 8 something, super glue is a chemical, right? 9 A. Correct. 10 Q. And you’re not altering the exhibit by 11 putting super glue on something; is that your 12 definition? 13 A. My understanding, yes. 14 Q. Okay. Now, aside from that, you do agree 15 with me that when you put super glue, the super glue 16 fuming causes the super glue to adhere to the page? 17 A. That’s correct. 18 Q. Okay. And to one extent, it may help to 19 enhance a fingerprint, right? 20 A. Definitely. 21 Q. Because it will tend to adhere to the 22 portions of the fingerprint that correspond to the 23 ridges on the finger that left the print, correct? 24 A. Correct. 25 Q. If you overfume, if you fume too long or too 26 thoroughly on a piece of paper, you can actually 27 obscure portions of the fingerprint, correct? 28 A. That would be true. 3560 1 Q. All right. And that’s not chemically 2 altering, as far as you’re concerned? 3 A. Correct. 4 MR. SANGER: Okay. Thank you. No further 5 questions. 6 MR. AUCHINCLOSS: Could I have just a 7 moment, Your Honor? I’m trying to call up an image 8 on my computer that I’d like to show the detective. 9 THE COURT: Yes. 10 THE CLERK: Do you have an exhibit number? 11 MR. AUCHINCLOSS: It is -- no, that’s not 12 it. It’s -- 13 (Discussion off the record.) 14 MR. AUCHINCLOSS: I’ll do it without the 15 exhibit. 16 Your Honor, could you project “Input 1,” 17 please? 18 19 FURTHER REDIRECT EXAMINATION 20 BY MR. AUCHINCLOSS: 21 Q. Detective, is this the fingerprint that 22 counsel just questioned you about? 23 A. Yes, it is. 24 Q. And I believe I questioned you about it, 25 that there was an error on that fingerprint because 26 it said 3 -- it says “321-D”? 27 A. That’s correct. 28 Q. And you said that’s incorrect? 3561 1 A. That is. 2 MR. SANGER: Objection. Leading; calling 3 for recitation of prior testimony. 4 THE COURT: Overruled. 5 Q. BY MR. AUCHINCLOSS: And in fact, that is 6 321-F? 7 A. That’s correct. 8 MR. SANGER: That’s leading, Your Honor. 9 MR. AUCHINCLOSS: It’s restating his 10 testimony, it’s not -- 11 MR. SANGER: Object to speaking -- 12 THE COURT: It is leading. I’ll sustain the 13 objection. 14 MR. AUCHINCLOSS: Okay. 15 Q. What is the accurate letter for that 16 particular item number? 17 A. The item number is 321-F. 18 Q. And you said you were certain that that item 19 number is 321-F? 20 A. That is correct. 21 MR. SANGER: Objection; leading. 22 THE COURT: Sustained. 23 Q. BY MR. AUCHINCLOSS: Are you certain that 24 that is Item 321-F? 25 A. Yes, I am. 26 Q. Why? 27 A. A couple of things. One, when we received 28 the magazine, and when we were doing our report at 3562 1 the time we were processing the magazine, we were 2 processing “Finally Legal.” That was the magazine. 3 Subsequently, when we noticed that the tags had been 4 switched, we noticed that 321-D was actually 5 associated with the “Hawk” magazine. 6 Q. Does the circle that you identified that 7 particular fingerprint with have any similarities to 8 the circle to the right that appears in the image? 9 A. Yes, it does. 10 Q. How so? 11 A. You can see that the -- at the edge of the 12 ruler up in the upper right-hand corner of the 13 photograph is the number “1,” and that is also 14 illustrated on the actual photograph of the page. 15 Q. All right. So -- Detective, I show you 16 Exhibit No. 559. It appears to be Item 321-F. Is 17 that the magazine that that fingerprint came from? 18 A. Yes, it is. 19 Q. And is there any indication or mark on this 20 magazine that tells you that this magazine is, in 21 fact, 321-F? 22 A. On the back page of the magazine there 23 should be a number in the bottom right-hand corner, 24 and it was identified as 321-F, and that was placed 25 there when they were first being separated. 26 Q. All right. Thank you, Detective. I have no 27 further questions. 28 // 3563 1 FURTHER RECROSS-EXAMINATION 2 BY MR. SANGER: 3 Q. Never trust a lawyer who says there’s only a 4 few questions. That’s why we started 35 minutes 5 ago. 6 You are in the Santa Barbara County 7 Sheriff’s Department, and you are a deputy sheriff; 8 is that correct? 9 A. That’s correct. 10 Q. And you worked as a deputy sheriff before 11 moving into the Forensics Bureau, correct? 12 A. That’s correct. 13 Q. And you went to the academy? 14 A. Correct. 15 Q. Which academy? 16 A. Ventura Academy. 17 Q. And that’s a POST, P-O-S-T, certified 18 academy, correct? 19 A. That’s correct. 20 Q. And in the academy, you studied the need to 21 be very accurate in recording material in police 22 reports and elsewhere for the purpose of 23 investigations, correct? 24 A. Absolutely. 25 Q. And the purpose of recording material 26 accurately is so that later, when speaking to other 27 officers or to counsel, or testifying in court, you 28 can present accurate testimony in a case; is that 3564 1 correct? 2 A. That’s correct. 3 Q. You then moved to the Forensics Bureau of 4 the sheriff’s department; is that right? 5 A. Correct. 6 Q. And the Forensics Bureau is, in essence, a 7 part of the sheriff’s department that deals 8 specifically with evidence, sometimes the scientific 9 processing of evidence; is that correct? 10 A. That’s correct. 11 Q. And in the course of your training to become 12 a member of the Forensics Bureau, was it emphasized 13 that it is extremely important to make sure that all 14 of the evidence tags and paperwork and everything 15 else is extremely accurate? 16 A. Absolutely. 17 Q. All right. So based on your training and 18 experience, this was not correct police procedure to 19 have this exhibit mislabeled in this case; is that 20 correct? 21 A. It should not have been mislabeled, that’s 22 correct. 23 Q. And tags should not be switched; is that 24 correct? I think those are your words, “the tags 25 were switched”? 26 A. Yes, meaning not purposely, but accidentally 27 switched. 28 Q. Well, tags should not be switched, correct? 3565 1 A. Correct. 2 Q. All right. And you caught this particular 3 one, right? 4 A. That was the only one. 5 Q. That’s the only one you caught? 6 A. We checked them all. 7 MR. AUCHINCLOSS: Objection; argumentative. 8 Q. BY MR. SANGER: You went back and you 9 checked them all? 10 MR. AUCHINCLOSS: There’s an objection. 11 THE COURT: Just a moment. 12 It’s overruled. The answer was, “We checked 13 them all.” Next question. 14 Q. BY MR. SANGER: “Checked them all” meaning 15 all the fingerprints? 16 A. Checked every magazine to make sure it was 17 properly labeled. 18 Q. I’m sorry, I meant all the materials that 19 you had for the fingerprints. 20 A. Correct. 21 Q. Were you aware of any other tags falling off 22 in this particular investigation? 23 A. Not to my knowledge. 24 MR. SANGER: Okay. Thank you. No further 25 questions. 26 MR. AUCHINCLOSS: No further questions. 27 THE COURT: Thank you. You may step down. 28 Call your next witness. 3566 1 MR. NICOLA: Alicia Romero, Your Honor. 2 THE COURT: Come forward, please. You were 3 sworn yesterday. You’re still under oath. You may 4 be seated. 5 THE WITNESS: Okay. Thank you. 6 MR. NICOLA: Good morning. 7 THE WITNESS: Hi, good morning. 8 MR. NICOLA: Would you take a look at these 9 while I’m getting ready. 10 11 ALICIA ROMERO 12 Having been previously sworn, resumed the 13 stand and testified further as follows: 14 15 DIRECT EXAMINATION 16 BY MR. NICOLA: 17 Q. Good morning, Miss Romero. 18 A. Good morning. 19 Q. As soon as you sat down, I handed you two 20 envelopes, and asked you to take a peek through 21 those. 22 A. Okay. 23 MR. SANGER: Your Honor, I’m going to ask 24 for the opportunity to see what she’s taking a peek 25 at. 26 THE COURT: Go ahead. 27 MR. NICOLA: Go ahead. 28 THE COURT: The audience couldn’t hear you, 3567 1 though, when you said that. 2 MR. SANGER: Can I restate it, or just -- 3 THE COURT: Yes, go ahead. 4 MR. SANGER: I asked if I could have the 5 opportunity to take a peek at what she’s taking a 6 peek at. 7 MR. AUCHINCLOSS: Your Honor, could we go to 8 “Input 1,” please, and go back to the black screen? 9 Thank you. 10 MR. SANGER: That’s fine. Let me just take 11 a look at the envelope here. 12 THE WITNESS: These came from this envelope 13 here. 14 MR. SANGER: All right. Okay. That’s fine. 15 Thank you. 16 Thank you, Your Honor. 17 THE COURT: All right. Go ahead, Counsel. 18 Q. BY MR. NICOLA: Do you recognize the 19 documents contained in both of those envelopes that 20 you looked at? 21 A. Yes, I do. 22 Q. Okay. 23 A. Are you referring to these? 24 Q. Yes. 25 A. Yes. 26 THE BAILIFF: She’s got to scoot up and 27 speak into the microphone. 28 THE WITNESS: Oh, yes. 3568 1 MR. NICOLA: Did you hear that? 2 Q. Now, before we start talking about the 3 contents of either of those envelopes, would you 4 please let the jury know who you are and where 5 you’re employed. 6 A. Okay. My name’s Alicia Romero and I work at 7 the Santa Barbara Superior Court. 8 BAILIFF CORTEZ: Closer to the mike, please. 9 THE WITNESS: My name is Alicia Romero, and I 10 work at the Santa Barbara Superior Court. I 11 supervise the courtroom clerks, both criminal and 12 civil, and I also am the supervisor of the exhibit 13 clerk, and I also handle the exhibits also. 14 Q. BY MR. NICOLA: With respect to your duties 15 as handling exhibits for the Superior Court, were 16 you involved in handling the exhibits lodged in the 17 grand jury proceeding in the case of People vs. 18 Michael Jackson? 19 A. After the grand jury they were delivered to 20 me, and I’ve had them in my possession in a vault 21 all this time. 22 Q. Okay. 23 A. Except for certain orders to release. 24 Q. Okay. That’s where we’re going next. 25 When the grand jury exhibits came to you, 26 what did you first do with them? 27 A. Since it was after hours, we received them, 28 and I locked them right away in the exhibit room, 3569 1 which has a vault that -- it’s real thick, with a 2 combination lock, until the next morning. 3 Q. Okay. Did you conduct an inventory on the 4 exhibits after that? 5 A. First thing the next morning. 6 Q. Okay. And you made sure that all the 7 exhibits that had been entered into the grand jury 8 were accounted for in your vault, correct? 9 A. Correct. 10 Q. Okay. And is that part of your official 11 function? 12 A. On grand jury exhibits, there’s times where 13 I would get orders from Gary Blair to handle them 14 myself. 15 Q. Okay. And in this particular case you were 16 ordered by Gary Blair? 17 A. Correct. 18 Q. Did anybody have access to the grand jury 19 exhibits that were lodged with you? 20 A. The only other person would have been my 21 exhibit clerk at the time, but she was also informed 22 that anything to do with this grand jury exhibits, 23 that she was to contact me and I would handle it. 24 And I also had the -- my other supervisor, Flota 25 Pritchard, in my absence, if it was an emergency 26 need, that she could have access to it also. Other 27 than that, it was just her and I that were to handle 28 them. 3570 1 Q. Do you know whether any emergencies came up 2 where somebody other than you had to get in there? 3 A. I believe -- 4 MR. SANGER: Calls for hearsay, Your Honor. 5 THE COURT: Sustained. 6 Q. BY MR. NICOLA: Did you keep records of 7 every time that the grand jury exhibits were 8 accessed? 9 A. Yes, I did. 10 Q. And were those records kept within the scope 11 of your employment as a public employee? 12 A. Yes. 13 Q. And were you under a duty to record whenever 14 the grand jury exhibits were opened? 15 A. Yes. 16 Q. And if another clerk, another public 17 employee working for you, had access or needed 18 access to the grand jury exhibits, it was part of 19 your duty to record who entered the grand jury 20 exhibits? 21 A. Yes. 22 Q. And when? 23 A. Yes. 24 Q. And get some kind of identification from who 25 had access to the grand jury evidence? 26 A. Yes. Unless we knew who that person was. 27 Uh-huh. 28 Q. Okay. Do you have a record sitting in front 3571 1 of you who had access to the grand jury exhibits? 2 A. Yes, I do. 3 Q. In your review of those documents, can you 4 please tell the jury the first time that the grand 5 jury exhibits were accessed and viewed by people 6 other than the Superior Court clerks? 7 A. Stephen Dunkle and Amy Cassel. 8 Q. Did you take some form of identification 9 from Mr. Dunkle? 10 A. Yes. Yes. 11 Q. Okay. Is that noted on your log? 12 A. I have their business cards attached to 13 this. 14 Q. Okay. And Stephen Dunkle works for Sanger & 15 Swysen? 16 A. Correct. 17 Q. Attorneys at Law? 18 A. Correct. 19 Q. And Amy Cassel works for Mason Investigative 20 Group? 21 A. Yes. 22 Q. An investigator? 23 A. Correct. 24 Q. Okay. And what date did they come look at 25 the exhibits? 26 A. June 9th, 2004. 27 Q. Okay. And how long -- what time did they 28 come in and what time did they leave, if that is 3572 1 noted on your log? 2 A. Yes, it is. They came in at 2:53, and they 3 left at 3:45. 4 Q. Okay. And which grand jury exhibits did 5 they look at? 6 A. This one I just put that they had viewed 7 most of them. I didn’t specify particularly which 8 ones they viewed. 9 Q. Okay. Just most of them? 10 A. Uh-huh. Correct. 11 Q. And do you have an indication there that 12 they used gloves? 13 A. On this particular one, yes. 14 Q. Okay. Now, prior to anybody coming to view 15 the grand jury exhibits, was a court order required? 16 A. Yes. 17 Q. Okay. When is the next time somebody came 18 to view the grand jury exhibits, please? 19 A. July 20th, 2004. 20 Q. And that was Detective Craig Bonner? 21 A. Correct. 22 Q. Okay. And that was pursuant to a court 23 order as well, correct? 24 A. Correct. 25 Q. Now, was his role that day to take pictures 26 of certain items? 27 A. Yes. 28 Q. And that’s what the court order spelled out, 3573 1 correct? 2 A. Yes. 3 Q. And one of those items was Grand Jury 4 Exhibit No. 53? 5 A. Yes. 6 MR. NICOLA: May I approach the witness, 7 Your Honor? 8 THE COURT: Yes. 9 Q. BY MR. NICOLA: I’ve placed before you 10 Exhibit No. 470. 11 A. No. 470? 12 Q. When we do the trial, we renumber all the 13 exhibits. 14 A. Oh, okay. 15 Q. You’re looking at a grand jury exhibit 16 sticker on the back of that briefcase, are you not? 17 A. Yes, I am. 18 Q. Is that exhibit -- Grand Jury Exhibit No. 19 53? 20 A. Yes, it is. 21 Q. Okay. Is that the exhibit that Detective 22 Bonner opened in your presence and took photographs 23 of everything that was in there? 24 A. Yes. 25 Q. Okay. And were you present with him at the 26 time that he did that? 27 A. Yes, the entire time. 28 Q. Did you ever leave grand jury evidence -- 3574 1 for example, on the June 9th date, did you leave the 2 grand jury evidence unattended? 3 A. No. 4 Q. Okay. So you observed everything that would 5 happen with the exhibits? 6 A. Yes. 7 Q. And that’s how you were assured there would 8 be no tampering, correct? 9 A. Yes. 10 Q. Did you watch Detective Bonner remove the 11 contents of the briefcase and begin photographing 12 page for page? 13 A. Yes. 14 Q. And Detective Bonner was wearing gloves on 15 that occasion as well, correct? 16 A. Yes. 17 Q. When he was finished photodocumenting all 18 the contents of Grand Jury Exhibit 53, also known as 19 People’s Exhibit 470, did he replace all the items 20 in the same order that he removed them and close the 21 briefcase again? 22 MR. SANGER: Objection. Compound; and 23 leading. 24 MR. NICOLA: Should I rephrase? 25 THE COURT: Sustained. 26 Q. BY MR. NICOLA: Okay. When he finished 27 taking the pictures, he put it all back together 28 again? 3575 1 A. He placed them back in the suitcase. 2 Whether they were in the same order that they were 3 taken out, I do not know. 4 Q. So he may have shuffled them, as far as you 5 know? 6 A. Correct. 7 Q. Did he close the briefcase and hand it back 8 to you? 9 A. Yes. 10 Q. Did he examine other exhibits on that same 11 day? 12 A. Yes, he did. 13 Q. Okay. And did he, in your presence, take 14 care to handle only one exhibit at a time? 15 A. Yes. 16 Q. You made sure of that, I take it? 17 A. Yes. 18 Q. Okay. When Detective Bonner left, left from 19 taking pictures of the exhibits, where did Exhibit 20 No. 53, also known as Exhibit 470, the black 21 briefcase, where did that stay? 22 A. Once he left? It was given back to me and I 23 put it back in the vault. 24 Q. Okay. Did you have occasion to pull Exhibit 25 No. 470, the black briefcase, marked Grand Jury 26 Exhibit 53, out from the evidence vault again? 27 A. Do you mean at a later time? Or the same 28 day? 3576 1 Q. Later time. 2 A. Yes. 3 Q. Would you turn to your log of exhibits and 4 confirm for us whether somebody entered to view 5 exhibits on July 21st? 6 A. Yes. 7 Q. Who was there on July 21st? 8 A. Mr. Sanger and Stephen Dunkle. 9 Q. Stephen Dunkle would be the attorney who 10 first came to view? 11 A. Yes. 12 Q. And “Mr. Sanger” being Mr. Sanger seated to 13 my right? 14 A. Yes. Robert Sanger. 15 Q. And did they examine Exhibit No. 53 as well? 16 A. Yes. 17 Q. Did they do that in your presence? 18 A. Yes. 19 Q. Did they open it? 20 A. Yes. 21 Q. And do you recall whether they looked 22 through all the contents? 23 A. I do not recall if they looked through all 24 of it. I -- I seem vaguely to remember that they 25 viewed some of it, and just saw that they were 26 magazines. 27 Q. Okay. When they were finished with Exhibit 28 No. 53, also known as People’s 470, the black 3577 1 briefcase -- 2 A. Uh-huh. 3 Q. -- what did you do with it? 4 A. After they finished viewing all the 5 exhibits, I put everything back in the vault. 6 Q. Okay. Do your records show whether Exhibit 7 No. 53, People’s 470, was viewed again prior to its 8 release? 9 A. Yes. 10 Q. When was it next looked at? 11 A. July 27th, 2004. 12 Q. And by whom? 13 A. Stephen Dunkle and Susan Watts. 14 Q. That’s a third trip by Attorney Dunkle? 15 A. Correct. 16 Q. And Susan Watts, did she leave you some kind 17 of identifying business card? 18 A. No, she did not. 19 Q. Did Mr. Dunkle just vouch for her? 20 A. Yes. 21 Q. Which exhibits did they look at? 22 A. Looking at this list, it looks like all of 23 them. I could read out each number, if you like, 24 but I have a whole list of numbers. 25 Q. Most, if not all the exhibits? 26 A. Correct. 27 Q. Okay. Was Exhibit 53 viewed by Mr. Dunkle 28 and Ms. Watts? 3578 1 A. Yes. 2 Q. Do you recall if they were wearing gloves 3 when they went through the exhibits? 4 A. The procedure was to wear gloves. 5 Q. Okay. Was there -- 6 A. I’m sorry. 7 Q. Let me back up to the date that Mr. Sanger 8 and Mr. Dunkle reviewed the exhibits on July 21st. 9 Were they wearing gloves? 10 A. Mr. Dunkle was. I believe Mr. Sanger was 11 letting Mr. Dunkle handle them on that date, from 12 what I recall. 13 Q. And how long were Mr. Dunkle and Miss Watts 14 viewing the evidence on July 27th of 2004? 15 A. About one hour and ten minutes. They came 16 in at 1:10 p.m. and left about 2:40 p.m. 17 Q. Okay. Do your records show anyone else 18 coming to look at Grand Jury Exhibit No. 53, also 19 known as People’s 470, prior to the date of its 20 release? 21 A. No. 22 Q. Okay. What is the procedure for releasing a 23 grand jury exhibit prior to trial? 24 A. I’m sorry, what was that question again? 25 Q. Let me rephrase it. What is the procedure 26 to release a grand jury exhibit to one of the 27 parties prior or before the trial starts? 28 A. The parties would have to get a stipulated 3579 1 order signed by the Judge. 2 Q. Okay. And what would you require from the 3 person who would come to pick the item from you? 4 A. Identification, and I would have the 5 original -- a copy of the order from the clerk. 6 Q. Okay. Would you take any precautions in 7 preserving either digitally or on some kind of copy 8 the contents of the exhibit that were removed by one 9 of the parties? 10 A. Yes. 11 Q. Okay, you would. And in the case of Exhibit 12 No. 53, also known as 470, the black briefcase, was 13 that exhibit removed by Detective Craig Bonner 14 pursuant to a Judge’s order? 15 A. Yes, it was. 16 Q. Okay. And on what date was that exhibit 17 removed from your custody? 18 A. On October 1st, 2004. 19 Q. Did you make Mr. Bonner, excuse me, 20 Detective Bonner, leave you a record of the items 21 that he removed? 22 A. Yes. 23 Q. And how did he leave that with you? 24 A. He left me a disk. 25 Q. Is that in one of your envelopes there? 26 A. Yes, it is. 27 Q. Okay. I’d like to put an exhibit sticker on 28 that, please. 3580 1 That would be Item 770, next in order. 2 Could you please describe the Item 770 that 3 I just marked the sticker on? Show the jury what is 4 on the front and on the back; tell them. 5 A. This is a disk. These are a disk of the 6 exhibits that were released per court order. I also 7 made a notation, by a post-it, of the date that the 8 court order was ordered and the date of the receipt. 9 Q. Is there a list of exhibit items that are 10 contained on that CD? 11 A. Yes, there is. 12 Q. And what does that list say? 13 A. They have Exhibits 33, 34, 52, 53, 73-A, 14 73-B, 73-C, 80, 82, and 91. These are all grand 15 jury numbers. 16 MR. NICOLA: Okay. I’d like to admit 770 17 into evidence, Your Honor. 18 MR. SANGER: Objection, Your Honor, it’s not 19 relevant. There may be a part of it that’s relevant 20 to what just happened. But there’s a great deal of 21 irrelevant material on it. 22 THE COURT: At this time I’ll sustain the 23 objection. I’ll take it up later, if necessary. 24 MR. NICOLA: I have no further questions. 25 THE COURT: Cross-examine? 26 // 27 // 28 // 3581 1 CROSS-EXAMINATION 2 BY MR. SANGER: 3 Q. Miss Romero, how are you? 4 A. I’m fine. 5 Q. Okay. We let you talk today. 6 First of all, is there anything unusual 7 about a defense lawyer coming to -- or a defense 8 lawyer and investigator coming to look at grand jury 9 exhibits? 10 A. No. 11 Q. And at the time that Mr. Dunkle from my 12 office came, and the one time that I came to look at 13 the grand jury exhibits, was the grand jury process 14 completed? 15 A. Yes. 16 Q. In other words, the grand jury had already 17 looked at everything, they’d returned their 18 Indictment, and you were now safekeeping the 19 exhibits? 20 A. Correct. 21 Q. All right. And in particular, we, that is, 22 the defense, who’se representing Mr. Jackson, had to 23 have a court order in order to look at the exhibits; 24 is that correct? 25 A. Right. 26 Q. When Mr. Dunkle and Ms. Cassel came -- Miss 27 Cassel being an investigator and Mr. Dunkle being a 28 lawyer in my office. When they came, did they ask 3582 1 you if they could take photographs of the exhibits? 2 A. Yes, they did. 3 Q. And you told them that they could not; is 4 that correct? 5 A. Correct. 6 Q. So it was necessary for us to go back and 7 get a further court order in order to be allowed to 8 take photographs; is that correct? 9 A. Right. 10 Q. Now, you remember that Miss Watts came with 11 Mr. Dunkle on the third occasion, correct? 12 A. Correct. 13 Q. And at that time, had they received the 14 court order to allow photographs to be taken? 15 A. I have to check my notes here. 16 Q. Sure, take your time. 17 A. This was with Miss Watts, right? And -- 18 Q. Yes. I’ll let you take a look. If it’s too 19 much trouble, I can ask you another question, which 20 is, did Miss Watts take photographs? Let me try 21 that. 22 A. Yes. 23 Q. All right. So I would assume that you would 24 not have allowed her to take the photographs unless 25 you had an order permitting that; is that correct? 26 A. Correct. 27 Q. And do you recall Miss Watts being an 28 investigator for our law firm? 3583 1 A. Yes. 2 Q. Okay. Now, in between Mr. Dunkle and I came 3 in and looked at the exhibits. At that time we were 4 still not allowed to take photographs; is that 5 correct? 6 A. Correct. I don’t seem to have an order 7 allowing you to take photos yet at that time. 8 Q. At that time? 9 A. When you came, uh-huh. 10 Q. All right. Now, just to do the whole thing 11 at once so we can break it down, during the time 12 that Mr. Dunkle was there from my office, the one 13 that I was there and the two investigators, in other 14 words, those three times, did all of the personnel 15 from my office, including myself, follow all of your 16 directions with regard to preserving and avoiding 17 any contamination of the evidence? 18 A. As I recall, yes. 19 Q. And you were sitting there at the table each 20 time taking the evidence out and allowing whoever it 21 was, whether it was me or any of the others, to look 22 at it, correct? 23 A. Correct. 24 Q. And none of us touched the evidence in any 25 way that you did not want us to do; is that correct? 26 A. Correct. 27 Q. All right. And by the time that we did 28 that, by the time these inspections by the defense 3584 1 occurred, were you told to wear gloves and to 2 preserve the evidence? 3 A. Yes, we were. From the very first visit, 4 Mr. Dunkle, and I think it was Cassel, were told to 5 wear gloves at all times. 6 Q. And we all complied with that, right? 7 A. Correct. 8 Q. All right. Now, prior to that, on the day 9 that you got the materials from the grand jury, my 10 understanding is all you did was take them in a box 11 or so? 12 A. Yes. Gary Blair and Christie Russell, that 13 was the courtroom clerk, brought them about almost 14 six o’clock that evening. And Christie and I, we 15 put it in the vault immediately. 16 Q. All right. Were anybody -- was anybody 17 wearing gloves? 18 A. No. 19 Q. Okay. And after you put them in the vault, 20 you locked it up, and then you came back the next 21 day, correct? 22 A. First thing the next morning, yes. 23 Q. And who assisted you in inventorying the 24 material? 25 A. The courtroom clerk that took the 26 Indictment. 27 Q. And the courtroom clerk was? 28 A. Christie Russell. 3585 1 Q. So you and Miss Russell then took the boxes 2 out, and you went through each exhibit to catalog 3 and make sure it was all there; is that right? 4 A. Correct. 5 Q. And did you -- did each of you wear gloves? 6 A. No, we did not. 7 Q. And you were not instructed by law 8 enforcement or other court personnel or anybody else 9 that you should wear gloves; is that correct? 10 A. Correct. 11 Q. Okay. Okay. Thank you. I have no further 12 questions. 13 MR. NICOLA: Just a few, please. 14 15 REDIRECT EXAMINATION 16 BY MR. NICOLA: 17 Q. Go ahead. 18 A. I’m doing my work. Okay. 19 Q. Essentially there was nothing improper in 20 the way that the exhibits were handled by other 21 parties in this case, correct? 22 A. Correct. 23 Q. Okay. 24 A. Correct. 25 Q. When you did your inventory of the exhibits 26 for the first time, did you open up item -- Exhibit 27 No. 470, which is the black briefcase that you know 28 as Exhibit 53? 3586 1 A. Yes. 2 Q. Okay. And did you look at every single page 3 that was in there? 4 A. No, we did not. 5 Q. How did you handle that? Could you explain 6 that for the jury, please? 7 A. Okay. When we were inventorying, we had 8 this black suitcase. We have to account for every 9 exhibit, so when we got to the black suitcase, our 10 procedure is, “Is there anything in there that was 11 overlooked that we should make a note on the exhibit 12 card?” 13 So we looked in it, and all we saw was 14 magazines, and we just sort of like -- I think it 15 was myself rather than Christie, we just sort of 16 moved it, just magazines, and then we just closed 17 it, but we didn’t touch all the exhibits. 18 Q. You don’t work for law enforcement, do you? 19 A. No, I don’t. 20 Q. And law enforcement doesn’t get to tell 21 court clerks what to do, right? 22 MR. SANGER: Objection; calls for 23 speculation. 24 THE COURT: Sustained. 25 MR. NICOLA: It’s rebuttal to his question. 26 I’ll rephrase it, Your Honor. 27 Q. When Mr. Sanger asked you whether you were 28 told what to do with the exhibits by law 3587 1 enforcement, is that a common procedure for you? 2 A. It wasn’t necessarily by law enforcement. 3 It was from Gary Blair. 4 Q. Okay. So my question is, does law 5 enforcement generally direct you how to handle 6 exhibits once they’re lodged with the Court? 7 A. No, they do not. 8 Q. They become court property at that point, 9 correct? 10 A. Correct. 11 MR. NICOLA: Okay. I have nothing further. 12 13 RECROSS-EXAMINATION 14 BY MR. SANGER: 15 Q. Okay. But law enforcement did tell you 16 that -- after you had inventoried everything, at 17 some point before my office came to look at the 18 materials, somebody told you that everybody should 19 wear gloves when dealing with this material, 20 correct? 21 A. It was Gary Blair. And I believe Detective 22 Bonner at one time did mention, “You clerks” -- I 23 mean, “You should really wear gloves when you’re 24 handling it.” It wasn’t an order. It was more like 25 a request. 26 Q. All right. 27 A. But I took my instructions from Gary Blair. 28 Q. Gary Blair is the court administrator? 3588 1 A. Yes, he is. 2 Q. So he would be your boss as it were? 3 A. Correct. 4 Q. When you say you don’t take direction from 5 law enforcement on handling exhibits -- well, I 6 don’t know what you said, but let me -- I don’t want 7 to put words in your mouth. 8 Let’s put it this way: The fact is, that 9 you’ve been a courtroom clerk in the past, correct? 10 A. Correct. 11 Q. And the fact is, if law enforcement is 12 handling something with gloves and they indicate 13 there may be some reason to check something for 14 fingerprints, you would act accordingly, correct? 15 A. Correct. 16 Q. Okay. So if law enforcement were to tell 17 you -- if they had told you before you took 18 possession of these items that you shouldn’t go 19 through them because they may be checking them for 20 fingerprints, you would have honored that request, 21 right? 22 A. Yes, I would have. 23 Q. Okay. And that has happened before, has it 24 not? 25 A. Correct. 26 MR. SANGER: Okay. All right. Thank you. 27 No further questions. 28 MR. NICOLA: No redirect, Your Honor. 3589 1 THE COURT: All right. Thank you. You may 2 step down. 3 THE WITNESS: Thank you. 4 MR. AUCHINCLOSS: We’ll call Nancy Torres as 5 our next witness. 6 THE COURT: All right. 7 Come forward, please. When you get to the 8 witness stand, please remain standing. 9 Face the clerk over here. And raise your 10 right hand. 11 12 NANCY DIANA TORRES 13 Having been sworn, testified as follows: 14 15 THE WITNESS: I do. 16 THE CLERK: Please be seated. State and 17 spell your name for the record. 18 THE WITNESS: Nancy Diana Torres; 19 T-o-r-r-e-s. 20 THE CLERK: Thank you. 21 22 DIRECT EXAMINATION 23 BY MR. AUCHINCLOSS: 24 Q. Good morning, Miss Torres. 25 A. Good morning. 26 Q. Who do you work for, please? 27 A. I work for the Santa Barbara Sheriff’s 28 Department, Forensics Unit. 3590 1 Q. And what do you do for the Santa Barbara 2 Sheriff’s Forensic Unit? 3 A. I’m an identification technician in the 4 Forensics Unit. 5 Q. What is an identification technician? 6 A. We basically do the same thing as a 7 forensics detective. We go out to a crime scene and 8 process it. We also do fingerprint work. 9 Q. How long have you been an identification 10 technician? 11 A. I have been employed as an I.D. technician 12 for five years. 13 Q. Have you received any training that 14 qualifies you for that position? 15 A. Yes, I have gone to basic fingerprint 16 pattern-type recognition courses, latent print 17 comparison and techniques courses, as well as basic 18 forensic ridgeology courses. And I have a 19 bachelor’s of science degree in chemistry. 20 Q. Have you had some experience in the field 21 that has helped you learn your craft in fingerprint 22 identification procedures? 23 A. Yes. Every day we do fingerprint 24 comparisons. 25 Q. And what techniques are you familiar with in 26 terms of finding fingerprints? 27 A. Well, we use a lot of various chemical 28 techniques, and -- as well as visual techniques that 3591 1 we use. 2 Q. Did you participate in the location of 3 fingerprints on a series of magazines for the case 4 of People v. Michael Jackson? 5 A. Yes, I did. 6 Q. I’d like to show you some exhibits at this 7 time, and begin by asking you, did you participate 8 in the procedure of attempting to locate prints on 9 these items with another I.D. technician? 10 A. Yes, I did. 11 Q. And who was that? 12 A. It was -- my partner was Detective 13 Sutcliffe. 14 Q. Okay. And was he present with you during 15 the entire time that you did the examination of 16 these magazines? 17 A. Yes, he was. 18 Q. All right. Showing you People’s 725, Card 19 02, did you help in the processing of this 20 particular magazine? 21 A. Yes, I did. 22 Q. What was your duty on this magazine? 23 A. I helped with the ninhydrin processing 24 portion of it. 25 Q. Okay. Exhibit 726, 03, did you help process 26 this particular magazine? 27 A. Yes, I did. 28 Q. What was your duty or what did you do on 3592 1 this particular magazine? 2 A. I helped with the ninhydrin processing of 3 them. 4 Q. Exhibit 728, Card 05, same question, did you 5 help in processing this? 6 A. Yes. 7 Q. What did you do? 8 A. A ninhydrin processing as well. 9 Q. Same question for 729, Card 06? 10 A. Yes. With the ninhydrin processing. 11 Q. Exhibit 730, Card 07, same question? 12 A. Yes. And the ninhydrin processing as well. 13 Q. 731, Card No. 8? 14 A. Yes. With the ninhydrin processing as well. 15 Q. All right. 732, Card 09? 16 A. Yes. Ninhydrin process. 17 Q. All right. Now, calling your attention to 18 Exhibit 733, Card 10, what did you do in processing 19 this particular latent? 20 A. I photographed the latent with a Scenescope 21 and I also helped with the ninhydrin processing. 22 Q. Okay. Were you the finder of this 23 particular print? 24 A. Yes, I was. 25 THE COURT: All right. We’ll take our break. 26 (Recess taken.) 27 --o0o-- 28 3593 1 REPORTER’S CERTIFICATE 2 3 4 THE PEOPLE OF THE STATE ) 5 OF CALIFORNIA, ) 6 Plaintiff, ) 7 -vs- ) No. 1133603 8 MICHAEL JOE JACKSON, ) 9 Defendant. ) 10 11 12 I, MICHELE MATTSON McNEIL, RPR, CRR, 13 CSR #3304, Official Court Reporter, do hereby 14 certify: 15 That the foregoing pages 3541 through 3593 16 contain a true and correct transcript of the 17 proceedings had in the within and above-entitled 18 matter as by me taken down in shorthand writing at 19 said proceedings on March 25, 2005, and thereafter 20 reduced to typewriting by computer-aided 21 transcription under my direction. 22 DATED: Santa Maria, California, 23 March 25, 2005. 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 3594 1 SUPERIOR COURT OF THE STATE OF CALIFORNIA 2 IN AND FOR THE COUNTY OF SANTA BARBARA 3 SANTA MARIA BRANCH; COOK STREET DIVISION 4 DEPARTMENT SM-2 HON. RODNEY S. MELVILLE, JUDGE 5 6 7 THE PEOPLE OF THE STATE OF ) 8 CALIFORNIA, ) 9 Plaintiff, ) 10 -vs- ) No. 1133603 11 MICHAEL JOE JACKSON, ) 12 Defendant. ) 13 14 15 16 17 REPORTER’S TRANSCRIPT OF PROCEEDINGS 18 19 FRIDAY, MARCH 25, 2005 20 21 8:30 A.M. 22 23 (PAGES 3595 THROUGH 3725) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 3595 1 APPEARANCES OF COUNSEL: 2 3 For Plaintiff: THOMAS W. SNEDDON, JR., 4 District Attorney -and- 5 RONALD J. ZONEN, Sr. Deputy District Attorney 6 -and- GORDON AUCHINCLOSS, 7 Sr. Deputy District Attorney, -and- 8 MAG NICOLA, Sr. Deputy District Attorney 9 1112 Santa Barbara Street Santa Barbara, California 93101 10 11 12 For Defendant: COLLINS, MESEREAU, REDDOCK & YU 13 BY: THOMAS A. MESEREAU, JR., ESQ. -and- 14 SUSAN C. YU, ESQ. 1875 Century Park East, Suite 700 15 Los Angeles, California 90067 16 -and- 17 SANGER & SWYSEN BY: ROBERT M. SANGER, ESQ. 18 233 East Carrillo Street, Suite C Santa Barbara, California 93101 19 -and- 20 OXMAN and JAROSCAK 21 BY: R. BRIAN OXMAN, ESQ. 14126 East Rosecrans Boulevard 22 Santa Fe Springs, California 90670 23 24 25 26 27 28 3596 1 I N D E X 2 3 Note: Mr. Sneddon is listed as “SN” on index. 4 Mr. Zonen is listed as “Z” on index. Mr. Auchincloss is listed as “A” on index. 5 Mr. Mesereau is listed as “M” on index. Ms. Yu is listed as “Y” on index. 6 Mr. Sanger is listed as “SA” on index. Mr. Oxman is listed as “O” on index. 7 Mr. Nicola is listed as “N” on index. 8 9 PLAINTIFF’S WITNESSES DIRECT CROSS REDIRECT RECROSS 10 11 TORRES, 3611-SA Nancy Diana 12 13 SHELLEY, Michelle 3617-A 3623-SA 3528-A 14 WITTENBROCK, James 3629-A 3637-SA 3642-A 15 SPINNER, Robert 3644-N 16 17 18 19 20 21 22 23 24 25 26 27 28 3597 1 E X H I B I T S 2 FOR IN 3 PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 4 471 Photo of female image 3711 5 472 Photo of female image 3711 6 473 Photo of female image 3711 7 474 Photo of female image 3711 8 475 Photo of female image 3711 9 476 Hustler centerfold, 10 August 1992 3711 11 477 Playboy centerfold, Miss October 3711 12 478 Registration card for 13 briefcase 3711 14 479 Playboy centerfold, Miss November 3711 15 480 Playboy centerfold, 16 Miss March 3711 17 481 Hustler centerfold, June 1993 3711 18 482 Page 28 from “G-Spot” 19 article 3711 20 483 Playboy centerfold, unknown date 3711 21 484 Penthouse Page No. 153-154 3711 22 485 Centerfold, Miss May 3711 23 486 Penthouse, Page 8 3711 24 487 Penthouse centerfold 3711 25 488 Playboy centerfold 3711 26 489 Penthouse centerfold 3711 27 490 Penthouse, August 1991 3711 28 491 Penthouse centerfold 3711 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 492 Club International centerfold 3711 5 493 Penthouse, double page 6/211 3711 6 494 Penthouse centerfold 3711 7 495 Penthouse, May 1992 3711 8 496 Hustler, Centerfold Special Holiday Honey 1991 3711 9 497 Penthouse centerfold 3711 10 498 Penthouse centerfold 3711 11 499 Penthouse, November 1991, 12 page 159/160 3711 13 500 Playboy centerfold, Miss July 3711 14 501 Playboy centerfold, 15 Miss November 3711 16 502 Playboy centerfold, Miss February 3711 17 503 Playboy centerfold, 18 Miss December 3711 19 504 Al Goldtein’s 100 Best Adult Videos advertisement 3711 20 505 Playboy centerfold 3711 21 506 Hustler cover, May 1992 3711 22 507 Page from unknown magazine 3711 23 508 Playboy centerfold, Miss May 3711 24 509 Brown paper envelope 3713 25 510 Stiff Dick for Lynn 26 in binder 3713 27 511 Barely Legal 3713 28 512 Just Legal (Premier Issue) 3714 in binder 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 513 Finally Legal in binder 3714 5 514 Playboy, February 1993 in binder 3714 6 515 Hustler, Barely Legal 7 in binder 3714 8 516 Playboy, December 1994 in binder 3715 9 517 Playboy, May 1994 in binder 3715 10 518 Hustler, Barely Legal 11 in binder 3715 12 519 Penthouse in binder 3715 13 520 Visions of Fantasy; A Hard Rock Affair in binder 3712 14 521 Visions of Fantasy, Sam Jose’s 15 Black Starlett in binder 3716 16 522 Double Dicking Caroline in binder 3716 17 523 Big Tits and a Hard Stud 18 in binder 3716 19 524 Hustler 3716 20 525 “The Second Female G-Spot” article in binder 3717 21 526 File folder title PRN 3717 22 527 File folder titled “Thank 23 You” 3717 24 528 Celebrity Skin in binder 3717 25 529 Original evidence bag which contained all of 317 3712 26 530 People Magazine page, 27 9-11-00 3701 28 3600 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 531 Oui, March 1998 in binder 3701 5 532 Over 50, Volume 5, #9, 1996 in binder 3700 6 533 XX rated, April 1995; XX 7 Close Up, April 1995 in binder 3701 8 534 Just 18, Volume 4, 9 Issue No. 10 3700 10 535 Plumpers centerfold 3700 11 536 Hustler, August 1992 in binder 3700 12 537 Hustler, April 1998 13 (No cover) in binder 3699 14 538 Penthouse, March 1992 in binder 3699 15 539 Juggs, June 1996 16 in binder 3699 17 540 44 Plus, June 1996 in binder 3699 18 541 Plumpers, May 1996 19 in binder 3698 20 542 Club International, March 1998 in binder 3698 21 543 Live Young Girls, September 22 2003 in binder 3701 23 544 Finally Legal, July 2003 in notebook 3702 24 545 Finally Legal Freshman Class 25 Orgy, August 2002 in binder 3702 26 546 Purely 18, October 2002 3703 in binder 27 547 Purely 18, December 2002 28 in binder 3703 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 548 Tight, November 2002 4 in binder 3703 5 549 Hawk, November 2002 in binder 3704 6 550 Hawk, January 2003 7 in binder 3704 8 551 Live Young Girls, June 2003 in binder 3704 9 554 Girlfriends in binder 3709 10 555 Live Young Girls in binder 3709 11 556 Parade 3709 12 557 Finally Legal, February 2003 13 in binder 3710 14 558 Girls of Barely Legal in binder 3710 15 559 Hawk, February 2003 in binder 3710 16 560 Girlfriends, Special Ediitons 17 in binder 3711 18 563 White binder containing The Girls of Penthouse, August 19 2003 in binder 3708 20 564 White binder containing Barely Legal, July 2003 21 in binder 3708 22 566 White binder containing Gallery 9/2002 3708 23 567 White binder containing 24 Gallery 5/2002 3708 25 580 Binder containing Playboy 26 Couples Volume 2, Issue 2 3707 27 584 Original evidence bag 3707 28 3602 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 585 White binder containing Barely Legal, Anniversary 5 2002 3707 6 586 Original evidence bag 3705 7 587 White binder containing Naughty Neighbors, December 8 2002 3705 9 714 Brown evidence bag containing Exhibits #584 and #585 3707 10 716 Brown evidence bag containing 11 Exhibits #586 and 587 3643 12 724 Photo of fingerprint, Item 304-D, Barely Legal, July 13 2003, Page 52, Quadrant 12, 3621 3643 Latent 1 14 727 Photo of fingerprint, Item 15 317-O, Hustler Barely Legal 3621 3643 16 742 Photo of fingerprint, Item 363-M, Club International 3622 3643 17 743 Expanded M.J. fingerprint 3650 3651 18 744 Blow-Up of Star Arvizo 19 fingerprint 3651 3651 20 745 Blow-Up of Gavin Arvizo fingerprint 3651 3652 21 746 Fingerprint comparison, 22 Item 304-D, Michael Jackson’s left little finger 3680 3680 23 747 Fingerprint comparison, 24 Item 317-L, Star Arvizo’s left middle finger 3680 3680 25 748 Fingerprint comparison, Item 26 317-L, Star Arvizo, right index finger 3670 3676 27 749 Fingerprint comparison, 28 Item 317-O, Michael Jackson’s left thumb print 3679 3680 3603 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 750 Fingerprint comparison, Item 317-R, Michael Jackson’s 5 left thumbprint 3680 3681 6 751 Fingerprint comparison, Item 317-R, Gavin Arvizo’s 7 left little finger 3681 3682 8 752 Fingerprint comparison, Item 317-R, Gavin Arvizo’s 9 left ring finger 3681 3682 10 753 Fingerprint comparison, Item 317-R, Gavin Arvizo’s 11 left index finger 3681 12 754 Fingerprint comparison, Item 317-S, Michael Jackson’s 13 right thumb print 3682 3682 14 755 Fingerprint comparison, Item 317-S, Michael Jackson’s 15 left ring finger 3682 3683 16 756 Fingerprint comparison, Item 317-T, Michael Jackson’s 17 left thumb print 3682 3683 18 757 Fingerprint comparison, Item 317-U, Gavin Arvizo’s 19 right middle finger 3666 3670 20 758 Fingerprint comparison, Item 317-YY, Gavin Arvizo’s 21 left index finger 3683 3683 22 759 Fingerprint comparison, Item 321-A, Michael Jackson’s 23 right thumb print 3683 3684 24 760 Fingerprint comparison, Item 321-A, Michael Jackson’s 25 right thumb print 3684 3684 26 761 Fingerprint comparison, Item 321-E, Michael Jackson’s 27 left thumb print 3684 3684 28 3604 1 E X H I B I T S 2 FOR IN PLAINTIFF’S NO. DESCRIPTION I.D. EVID. 3 4 762 Fingerprint comparison, Item 321-E, Michael Jackson’s 5 right thumb print 3684 3685 6 763 Fingerprint comparison, Item 321-F, Michael Jackson’s 7 right thumb print 3685 3685 8 764 Fingerprint comparison, Item 363-M, Michael Jackson’s 9 right thumb print 3685 3685 10 772 Power Point, Item 317-U 3667 3712 11 773 Power Point, Item 317-L 3671 3712 12 774 Power Point, Item 317-O 3578 3712 13 775 Chart showing basic fingerprint patterns 3717 3718 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3605 1 THE COURT: Counsel? 2 MR. AUCHINCLOSS: Thank you, Your Honor. 3 Q. All right. Miss Torres, where I left off, 4 we were at Item No. 10, and I believe 733, and you 5 said you identified that particular fingerprint with 6 the Scenescope? 7 A. Yes, I did. 8 Q. Have you had training with the Scenescope? 9 A. Yes, we had training with the Scenescope. 10 Q. And have you used it, had some experience 11 using it before this case? 12 A. Before this case, we only had the training 13 that we received, and that was basically it. 14 Q. You say “we,” or “you”? 15 A. We as a unit -- 16 MR. SANGER: I can’t hear the answer. 17 THE COURT: I didn’t either. 18 THE WITNESS: We as a unit received training 19 using the Scenescope. 20 Q. BY MR. AUCHINCLOSS: Okay. And who did you 21 receive that training from? 22 A. Spex. 23 Q. Okay. The manufacturer came out and trained 24 you? 25 A. Yes. 26 Q. All right. Now, moving on to Exhibit 734, 27 Card No. 11, how did you help in the processing of 28 this fingerprint? 3606 1 A. I photographed the latent print with a 2 Scenescope and I helped with the ninhydrin 3 processing. 4 Q. Okay. Now, when you say you helped with the 5 ninhydrin processing of these items, this would be 6 not for this particular print that is green. Is it 7 fair to say that a green print indicates it’s a 8 Scenescope print? 9 A. Correct. 10 MR. SANGER: I’m sorry. Objection; leading. 11 MR. AUCHINCLOSS: It’s expert testimony. 12 THE COURT: Sustained. 13 Q. BY MR. AUCHINCLOSS: All right. What does 14 the green indicate? 15 A. It indicates that the latent was 16 photographed using a Scenescope. 17 Q. All right. Thank you. 18 Moving on to Exhibit 735, Card No. 12. 19 A. I helped with the ninhydrin processing. 20 Q. On that particular latent? 21 A. Yes. 22 Q. Did you assist in processing Exhibit No. 23 736, Card 13? 24 A. Yes, I photographed using the Scenescope and 25 helped with the ninhydrin processing. 26 Q. All right. Looking at Exhibit 737, Card 14, 27 did you assist in processing this print? 28 A. Yes, with the ninhydrin process. 3607 1 Q. So that would be just on this page? This 2 print wasn’t a ninhydrin print, was it? 3 A. No, it was photographed using the 4 Scenescope. 5 Q. All right. As far as the particular exhibit 6 on 738, Card No. 15? 7 A. I assisted with the ninhydrin processing. 8 Q. Of this page? 9 A. Of that page. 10 Q. Exhibit 739, Card No. 16? 11 A. I assisted with the ninhydrin processing on 12 that page. 13 Q. Exhibit No. 740, Card No. 18? 14 A. I photographed the latent print using the 15 Scenescope, and assisted with the ninhydrin 16 processing. 17 Q. And Card 741 -- or I’m sorry, Exhibit 741, 18 Card 18. 19 A. I assisted with the ninhydrin processing. 20 Q. Thank you. 21 Your Honor, if we could have “Input No. 1” 22 at this time? 23 All right. Miss Torres, calling your 24 attention to only those prints in which you said you 25 were the identification technician who found the 26 prints, I’m now asking you -- I’m showing you Card 27 No. 10, which is Exhibit 733. Were you the finder 28 of this particular fingerprint? 3608 1 A. Yes, I was. 2 Q. And where did you find that print? 3 A. On Item 317, Sam, a “Penthouse” magazine, 4 page 87, Quadrant 7 and labeled as Latent 1. 5 Q. And that “Latent 1,” what does that 6 indicate? 7 A. That that was the first latent that we 8 located using the Scenescope. 9 Q. All right. Calling your attention now to 10 Card No. 11, which is Exhibit 734, did you locate 11 that print? 12 A. Yes, I did. 13 Q. And where did you locate it? 14 A. On Item 317, Tom, T, “Visions of Fantasy, 15 A Hard-Rock Affair”, September 1993, page three, 16 Quadrant 4 and 5, and labeled as Latent 1. 17 Q. All right. Moving on to Card No. 13, 18 Exhibit No. 736, did you find that fingerprint? 19 A. Yes, I did. 20 Q. And where did you find it? 21 A. On Item 317-YY, “Al Golstein’s 100 Best 22 Adult Videos,” page A, Quadrant 15, and labeled as 23 Latent 1. 24 Q. And lastly, Exhibit No. 740, Card No. 17, 25 did you find that fingerprint? 26 A. Yes, I did. 27 Q. And where did you find that? 28 A. On Item 321-E, “Girls of Barely Legal,” page 3609 1 seven, Quadrant 15, and labeled as Latent 1. 2 MR. AUCHINCLOSS: Could we have the lights, 3 please? 4 Q. All right. Taking those four fingerprints 5 in order, I now show you Exhibit 769, page ten. 6 Does that show the fingerprint and the location on 7 the page where you found that fingerprint, Item 8 317-S, “Penthouse”, page 87, Quadrant 7, Latent 1? 9 A. Yes. 10 Q. Showing you now Page no. 11 of this exhibit, 11 does that show the fingerprint that you found on 12 that page and its location on Item 317-T, “Visions 13 of Fantasy, A Hard-Rock Affair,” September 1993, 14 page three, Quadrant 4 and 5, Latent No. 1? 15 A. Yes. 16 Q. Calling your attention now to page 13, does 17 that page show the latent fingerprint that you 18 located on Item No. 317-YY, “Al Golstein’s 100 Best 19 Adult Videos,” page A, Quadrant 15, Latent 1? 20 A. Yes. 21 Q. And lastly, page 17. Does page 17 show a 22 fingerprint and its location on a page of Item 23 321-E, “Girls of Barely Legal,” page seven, 24 Quadrant 15, Latent 1? 25 A. Yes. 26 MR. AUCHINCLOSS: If I could have “Input 1” 27 again, Your Honor. I’m going to bring those images 28 up on the screen right now. 3610 1 MR. SANGER: I’m going to object, Your 2 Honor. This is cumulative and 352. 3 MR. AUCHINCLOSS: We haven’t shown these 4 images yet. 5 THE COURT: Overruled. 6 Q. BY MR. AUCHINCLOSS: All right. Is this the 7 fingerprint that you located on Exhibit No. 733, 8 Card No. 10? 9 A. Yes. 10 Q. Next, does that picture, fingerprint, 11 indicate the location of the fingerprint that you 12 found on Exhibit No. 734, Item No. -- Card No. 11? 13 A. Yes. 14 Q. The next slide, does that slide show the 15 location of the fingerprint that you found on 16 Exhibit No. 736, Card No. 13? 17 A. Yes. 18 Q. And lastly, does that fingerprint indicate 19 the location on the page where you found the 20 fingerprint on Exhibit 740, Card No. 17? 21 A. Yes. 22 MR. AUCHINCLOSS: Thank you. No further 23 questions. 24 THE COURT: Cross-examine? 25 26 CROSS-EXAMINATION 27 BY MR. SANGER: 28 Q. Miss Torres, how are you? 3611 1 A. Good, thank you. 2 Q. How long have you been -- I think you said 3 you were with forensics for five years with the 4 sheriff’s department; is that correct? 5 A. Correct. 6 Q. Do you have any prior law enforcement 7 training? 8 A. No, I don’t. 9 Q. And you’re not a deputy sheriff or a sworn 10 peace officer; is that correct? 11 A. Correct. 12 Q. And in your five years, have you worked 13 exclusively on fingerprints? 14 A. I’ve worked on fingerprints and crime scene 15 investigations. 16 Q. Okay. So the answer would be no, you have 17 not worked exclusively on fingerprints, correct? 18 A. Correct. 19 Q. You’ve done a number of other tasks with 20 regard to crime scene investigations? 21 A. Correct. 22 Q. And you’re familiar with the need to 23 properly label and preserve evidence; is that 24 correct? 25 A. Yes. 26 Q. All right. Now, are you a latent print 27 examiner? 28 A. I am a latent print examiner in training. 3612 1 Q. Okay. A trainee. How long have you been in 2 that capacity? 3 A. I would say for the last four years. 4 Q. Okay. And are you certified by any 5 organization? 6 A. No. 7 Q. So you’re gaining your experience as a -- 8 let me withdraw that. 9 You’re gaining your training to be a latent 10 print examiner from your work at the sheriff’s 11 department? 12 A. From work and through training courses. 13 Q. You’re also taking some courses? 14 A. Exactly. 15 Q. All right. In this particular case, you did 16 not do any comparison of the fingerprints; is that 17 correct? 18 A. Correct. 19 Q. And your job was to pretty much bring the 20 prints up, best you can, and preserve them so that 21 they can be looked at by other people, correct? 22 A. Correct. 23 Q. All right. Now, you indicated that you used 24 the Scenescope, which we’ve heard about before in 25 this case, all right? 26 And how long -- let me withdraw that. 27 You’re here in Santa Maria; is that correct? 28 A. Correct. 3613 1 Q. How long has the Santa Maria office of the 2 sheriff’s department had a Scenescope? 3 A. We had had it only for a couple of months 4 prior to us receiving this case. 5 Q. Okay. When did you receive this case? 6 A. We were assigned to process the items on, I 7 believe -- if I may refer to my reports. 8 Q. Okay. If you can’t recall, you may do that. 9 A. The first item that we processed was -- we 10 began processing on September 16th of 2004. 11 Q. Okay. So when you say, “When we received 12 this case,” you mean when your forensics unit 13 received an assignment in this case, correct? 14 A. Yes. 15 Q. All right. And you recall having the 16 Scenescope for about two months before September 17 16th? 18 A. Several months. 19 Q. Okay. About when did you receive it? 20 A. I would say about five months prior. 21 Q. Five months prior. Okay. Had you ever used 22 the Scenescope before you received it? 23 A. We had had one training day on it, but our 24 Scenescope had a malfunction, so it had to be sent 25 back. 26 Q. When was that training day? 27 A. That was -- I don’t recall. 28 Q. Now, the Santa Barbara office of the 3614 1 sheriff’s department also had a Scenescope; is that 2 correct? 3 A. Correct. 4 Q. Did they get theirs at the same time? 5 A. Yes. 6 Q. And did you have training together? 7 A. On the same day. 8 Q. On the same day. And you’re saying -- 9 forgive me for asking again, but you’re saying you 10 don’t recall the training day? 11 A. I don’t recall the exact date of the 12 training day. 13 Q. Roughly when was it? 14 A. I don’t recall the exact month, if that’s 15 what you’re asking for. 16 Q. So you got the machine about five months 17 before September. So April? 18 A. About that time. 19 Q. Okay. Could have been May? 20 A. It could have been. 21 Q. All right. And did you have your training 22 day about the time you received the machine? 23 A. No, we had the training day before we 24 received our machine. 25 Q. Okay. And then at some point, the machine 26 didn’t work, you sent it back, got another machine. 27 When did you get the machine that worked? 28 A. When did we get the machine to work? I 3615 1 believe about a month or two before we began to 2 process the items. 3 Q. Okay. So July or so of 2004? 4 A. I would say. 5 Q. Okay. And did you process any prints in any 6 case for the purpose of testimony in court -- I mean 7 a real case. Did you process any prints in a real 8 case, before you started working on this case, using 9 the Scenescope? 10 A. No. 11 MR. SANGER: All right. I have no further 12 questions. 13 MR. AUCHINCLOSS: No further questions. 14 THE COURT: Thank you. You may step down. 15 THE WITNESS: Thank you. 16 MR. AUCHINCLOSS: My mistake, I should have 17 let the bailiff know to have our witness already 18 here. 19 THE COURT: Okay. 20 MR. AUCHINCLOSS: Our next witness we will 21 be calling is Michelle Shelley. And she’s on her 22 way down. 23 And if I could get a “Black Screen” again, 24 Your Honor, please. 25 Thank you. 26 THE COURT: Come to the front of the 27 courtroom, please. Remain standing when you get to 28 the witness stand. 3616 1 Face the clerk here and raise your right 2 hand. 3 4 MICHELLE SHELLEY 5 Having been sworn, testified as follows: 6 7 THE WITNESS: I do. 8 THE CLERK: Please be seated. State and 9 spell your name for the record. 10 THE WITNESS: My name is Michelle Shelley; 11 M-i-c-h-e-l-l-e, S-h-e-l-l-e-y. 12 THE CLERK: Thank you. 13 14 DIRECT EXAMINATION 15 BY MR. AUCHINCLOSS: 16 Q. Good morning, Miss Shelley. 17 A. Good morning. 18 Q. In 2004 -- 19 BAILIFF CORTEZ: Get the mike closer. 20 MR. AUCHINCLOSS: Thank you. 21 Q. In 2004, who were you employed by? 22 A. Santa Barbara County Sheriffs. 23 Q. And what did you do for the sheriff’s 24 department? 25 A. I was an I.D. technician. I worked for 26 Criminal Records, and then I was brought over to 27 work for the Forensics Division, this particular 28 case, due to my background. 3617 1 Q. And was this case the People v. Jackson 2 case? 3 A. Yes, it was. 4 Q. Tell me about your training to become an 5 I.D. technician. 6 A. I went to Western Mellon College majoring in 7 criminal history, concentrated in forensics, and I 8 worked for the Delaware State Police for two years. 9 Moved out here to California, and became employed by 10 Santa Barbara Sheriffs. I also have a diploma from 11 the American Institute of Applied Science in 12 forensics. 13 Q. And have you had any specialized training in 14 the location of latent fingerprints? 15 A. No, sir. 16 Q. All right. Have you had any on-the-job 17 training in the location of latent fingerprints? 18 A. Yes, sir. 19 Q. Could you describe that for me, please. 20 A. Just general working practice with a latent 21 examiner I worked with in Delaware, as well as here 22 with Santa Barbara Sheriff. 23 Q. Okay. Did part of your forensics training 24 include locating latent fingerprints and different 25 processes -- well, let me break that question up, 26 it’s compound -- locating latent fingerprints? 27 A. Yes. 28 Q. And did some of your general training in 3618 1 forensic science include processing various items to 2 make visible latent fingerprints? 3 A. Yes, it did. 4 Q. All right. Have you had experience with 5 cyanoacrylate ester fuming? 6 A. Yes, I have. 7 Q. Or super glue fuming? 8 A. Uh-huh. 9 Q. Prior to this case? 10 A. Yes. 11 Q. On how many occasions? 12 A. Specific numbers, I can’t remember. Quite a 13 few times. 14 Q. Quite a few times? 15 A. Uh-huh. 16 Q. All right. Can you tell me, what were you 17 called in to do? What were your duties with regard 18 to the case of People v. Michael Jackson? 19 A. I was brought in for extra help. I was 20 assisting Detective Spinner and Detective 21 Wittenbrock on processing some of the evidence, 22 splitting it up, putting it in plastic sleeves, 23 super gluing it, and then hydrating it. 24 Q. Who was it that was in charge of splitting 25 up the magazines initially and placing them in 26 sleeves? 27 A. Detective Spinner. 28 Q. Did you assist Detective Spinner in that 3619 1 task? 2 A. Yes. 3 Q. And who was also charged with the initial 4 fuming -- super glue fuming of all the magazines? 5 A. Detective Spinner. 6 Q. And did you assist Detective Spinner in that 7 task? 8 A. Yes. 9 Q. At some point did you team up with I.D. Tech 10 Wittenbrock to assist him in his look -- in his 11 analysis and checking for latents on some of these 12 exhibits? 13 A. Yes. 14 Q. And what was your assignment with Detective 15 Wittenbrock? 16 A. I was assisting him in pulling out the 17 pieces of magazine. Basically to speed up the 18 process, because we had such a vast volume, I would 19 pull them out, pass them over to him. He would then 20 scan them. I would assist in writing labels if we 21 found a print. I would also directly type in our 22 findings into our computer for our reports. 23 Q. All right. And did you assist him or 24 anybody else in the ninhydrin processing of some of 25 these magazines? 26 A. Yes, I did. 27 Q. Have you had previous training in using 28 ninhydrin? 3620 1 A. Yes, I have. 2 Q. And previous experience in using ninhydrin? 3 A. Yes. 4 Q. On how many occasions have you used it, if 5 you can recall, approximately? 6 A. Again, the super glue, numerous occasions. 7 I can’t exactly recall. 8 Q. All right. All right. I’m going to ask you 9 some specific questions about -- there I’ve done it. 10 About specific exhibits. And we’ll go 11 through these fairly rapidly, but I’m going to show 12 you each exhibit, and I want you to tell me if you 13 assisted in the processing of this particular 14 fingerprint or assisted in the processing of the 15 page that this fingerprint came from. 16 A. Okay. 17 Q. As in a ninhydrin that had previously been 18 found to be -- 19 THE BAILIFF: Can’t hear you back there. 20 THE WITNESS: Oh, sorry. 21 Q. BY MR. AUCHINCLOSS: All right. So, let’s 22 look first at Exhibit 1 -- I’m sorry, Card 1, 23 Exhibit 724. Did you have any part in the 24 processing of this particular page or fingerprint? 25 A. Yes, sir, I did the ninhydrin on that print. 26 Q. Okay. Looking now at Card 727 -- I should 27 say Card 4, Exhibit 727. 28 A. I did the ninhydrin on that as well. 3621 1 Q. Okay. And I should mention that neither of 2 these prints is a ninhydrin print; is that correct? 3 A. Correct. 4 Q. Moving on to -- moving on to Card 737, also 5 is Card 14. 6 A. I assisted with the fuming on that 7 particular card. 8 Q. Okay. Assisting Detective Spinner? 9 A. Yes, sir. 10 Q. Moving on to Card 15, Exhibit 738. 11 A. That is the same. I assisted Detective 12 Spinner in the fuming or -- yes, the fuming of that 13 card. 14 Q. All right. Exhibit 739, Card 16? 15 A. As well, I assisted Detective Spinner on the 16 fuming of that card. 17 Q. Exhibit 740, Card 17? 18 A. I assisted on the fuming, Detective Spinner, 19 of that card. 20 Q. Exhibit 741, Card 18? 21 A. I assisted on the fuming with Detective 22 Spinner on that card. 23 Q. And Exhibit 742, Card 19? 24 A. I worked on the fuming, with Detective 25 Spinner, on that card. I also did the ninhydrin 26 with Detective Wittenbrock on that card. 27 Q. But this is a fuming and Scenescope 28 identification on this? 3622 1 A. Yes, sir, it is. 2 MR. AUCHINCLOSS: Thank you. I have no 3 further questions. 4 THE COURT: Cross? 5 6 CROSS-EXAMINATION 7 BY MR. SANGER: 8 Q. Hi. 9 A. Hi. 10 Q. You are not employed by the sheriff anymore? 11 A. No, sir, I’m not. 12 Q. How are you employed now, just in general? 13 A. I’m currently in the process of returning to 14 my previous job with the Delaware State Police. 15 Q. Okay. And what was your previous job? 16 A. I was an I.D. technician for them. 17 Q. All right. So you went to college and 18 studied criminal justice? 19 A. Uh-huh. 20 Q. Criminal history, I think you said? 21 A. Criminal justice. 22 Q. Criminal justice, okay. 23 Did you, while you were in college, do any 24 actual fingerprint work? 25 A. Yes, sir, I did. 26 Q. And were you employed by the State of 27 Delaware while you were in college? 28 A. No, sir. I was employed with them after 3623 1 graduation. 2 Q. Oh. So while you were in college, did you 3 do work on actual cases, or did you do work in a 4 class? 5 A. I did work in a class, but it was on case 6 studies. 7 Q. Case studies. So it was part of classwork? 8 A. Yes, sir. 9 Q. So you were with the Delaware State Police 10 for two years? 11 A. Yes. 12 Q. And were your duties to do things other than 13 fingerprints? 14 A. No, sir. I specifically concentrated on 15 fingerprints. 16 Q. Just did fingerprints, okay. And you came 17 to Santa Barbara, and you worked in records for the 18 sheriff’s department; is that correct? 19 A. Yes, sir, I did. 20 Q. And records has nothing to do with 21 chemically enhancing fingerprints or that sort of 22 thing; is that correct? 23 A. No, sir, it was to get my foot into the 24 door, hopefully to transfer back into my field. 25 Q. Okay. I’m not trying to be rude to you. 26 A. No, not at all. 27 Q. But in other words, the work that you were 28 doing at Santa Barbara Sheriffs had nothing to do 3624 1 with what you wanted to do, which was be an I.D. 2 tech? 3 A. It was a means to an end, yes. 4 Q. And you applied for a position as an I.D. 5 tech in Santa Barbara? 6 A. Yes, I did. 7 Q. And other than working on this case as extra 8 help, you did not get that position; is that 9 correct? 10 A. No, I have since then moved back to 11 Delaware. 12 Q. But in any event, the answer to the question 13 is, you did not get the position in Santa Barbara, 14 other than working as extra help on Mr. Jackson’s 15 case? 16 A. Correct. 17 MR. AUCHINCLOSS: I’ll object as assuming 18 that she applied for a position. 19 THE COURT: Sustained. 20 Q. BY MR. SANGER: Did you apply for a position 21 as an I.D. tech in Santa Barbara? 22 A. After the Michael Jackson case was over, I 23 applied, and in the process moved to Delaware. 24 Q. Okay. Now, having said all of that, have 25 you used the Scenescope before you used it here on 26 the Michael Jackson case? 27 MR. AUCHINCLOSS: Objection, assumes facts 28 not in evidence, that she used the Scenescope. 3625 1 THE COURT: Overruled. 2 You may answer. 3 THE WITNESS: I’ve had some experience with 4 it. It’s not my specialty. 5 Q. BY MR. SANGER: Okay. What experience have 6 you had? 7 A. I have worked getting general education from 8 a previous latent examiner that I worked with in 9 Delaware. 10 Q. Are you a latent print examiner yourself? 11 A. No, I’m not. 12 Q. And you mentioned somebody in Delaware? 13 A. Yes, sir. 14 Q. Did that person have a Scenescope? 15 A. Yes, sir. 16 Q. And how many times did you actually use the 17 Scenescope in a criminal case? 18 A. Not personally on a criminal case. I would 19 look at it, getting general education. 20 Q. All right. So the first time you ever used 21 the Scenescope in a criminal case was in the Michael 22 Jackson case? 23 A. Correct. 24 Q. And were you making decisions as to how the 25 various items of evidence should be processed? 26 A. No, sir. 27 Q. You were pretty much helping and doing as 28 directed? 3626 1 A. Correct. 2 Q. And the people directing you were? 3 A. Detective Spinner and Detective Wittenbrock. 4 Q. All right. Is there anybody else on your 5 forensic unit, in your forensic unit, in Santa 6 Barbara doing this? 7 A. We have -- are generally headed by Sergeant 8 Julio Santana, who would give general direction, but 9 he’s the head of our department. 10 Q. Okay. Was he giving general -- I guess my 11 point is, was he working on this case? 12 A. He was heading the case. 13 Q. All right. Did he do any actual physical 14 work on this case? 15 A. Not to my knowledge. 16 Q. Okay. And the direct -- the directions that 17 you received came directly from either Detective 18 Wittenbrock or Detective Spinner; is that right? 19 A. Yes. 20 Q. All right. Did you receive training on the 21 Scenescope from the Spex company? 22 A. No, sir. 23 Q. Were you aware that there was a training day 24 held on the -- with regard to this instrument for 25 the Santa Barbara Sheriff’s personnel? 26 A. No, sir. 27 MR. SANGER: All right. No further 28 questions. 3627 1 MR. AUCHINCLOSS: Just one question. 2 THE WITNESS: Sure. 3 4 REDIRECT EXAMINATION 5 BY MR. AUCHINCLOSS: 6 Q. Miss Shelley, were you the finder, 7 photographer, for any fingerprint of these 19 prints 8 that we’ve talked about or that have been presented 9 in this case? 10 A. No. 11 MR. AUCHINCLOSS: Thank you. No further 12 questions. 13 MR. SANGER: No further questions. 14 THE COURT: All right. Thank you. You may 15 step down. 16 MR. AUCHINCLOSS: Call Detective Jim 17 Wittenbrock. 18 THE COURT: When you get to the witness 19 stand here, please remain standing. 20 Face the clerk and raise your right hand. 21 22 JAMES WITTENBROCK 23 Having been sworn, testified as follows: 24 25 THE WITNESS: Yes, I do. 26 THE CLERK: Please be seated. State and 27 spell your name for the record. 28 THE WITNESS: My name is James Wittenbrock; 3628 1 W-i-t-t-e-n-b-r-o-c-k. 2 THE CLERK: Thank you. 3 4 DIRECT EXAMINATION 5 BY MR. AUCHINCLOSS: 6 Q. Good morning, Detective Wittenbrock. 7 A. Good morning. 8 Q. Who are you employed by? 9 A. I’m retired now. 10 Q. All right. And who were you previously 11 employed by? 12 A. Santa Barbara Sheriff’s Department. 13 Q. And what did you do for the sheriff’s 14 department when you worked for them? 15 A. 28 years total. Out of -- the last four 16 years I was assigned as a detective in the Criminal 17 Investigations Division, Forensics Unit. 18 Q. All right. Have you had any training that 19 qualifies you for such a position? 20 A. Yes, sir. 21 Q. And can you describe that for us? 22 A. May I refer to a list? 23 Q. Sure, if it would help refresh your 24 recollection. 25 A. Limiting to more or less the fingerprints 26 and that part of the forensics detail, I had 40 27 hours of basic crime scene investigation in 2001. 28 24-hour fingerprint pattern recognition class put on 3629 1 by the Department of Justice. Another eight hours 2 in basic crime scene investigation. In 2002, 40 3 hours DOJ class on latent techniques. And again in 4 2000 at the DOJ, a latent print comparison class. 5 Q. And have you had some experience, actual 6 hands-on experience in this area? 7 A. Yes, sir. Even in patrol, we frequently 8 searched for prints and collect prints. Daily 9 duties while I was with the forensics detail, we’d 10 be searching, documenting, recording and looking at 11 prints on a very regular basis. 12 Q. Have you had training in the use of super 13 glue fuming techniques to enhance fingerprints? 14 A. Yes, sir. 15 Q. Have you had training in the use of 16 ninhydrin as a chemical process to reveal 17 fingerprints? 18 A. Yes. 19 Q. Have you had training in the use of the 20 Scenescope in using it to attempt to view latent 21 fingerprints? 22 A. I had some training when I was brought back 23 to assist. I went to the Santa Maria lab and spent 24 a day up there with the technicians and went through 25 the process, information on the Scenescope. I also 26 referred to the manual. 27 Q. All right. Is the Scenescope difficult to 28 use? 3630 1 A. No. 2 Q. Why do you say that? 3 A. It’s -- it’s a lens. You turn the switch on 4 and you focus it and you search. In this case, it 5 was searching a page, and it’s quite simple. 6 Q. So the Scenescope has how many parts to it? 7 A. It’s got the front filter and lens assembly. 8 It has an intensifier tube that attaches to that. 9 And in our case, we attached the digital camera 10 above that tube. 11 Q. So you’ve got a camera, the Scenescope and 12 something else. What did you call it? 13 A. The Scenescope is in two parts. 14 Q. Okay. 15 A. There’s -- the first part is similar to a 16 lens with a filter. The second part’s an electronic 17 intensifier, amplifier-type apparatus, and above 18 that we had the digital camera attached. 19 Q. All right. Is it any more complicated than 20 moving the different pieces around and focusing it 21 to get a clear image? 22 MR. SANGER: Objection. Vague; compound; 23 calls for speculation. 24 THE COURT: Overruled. 25 You may answer. Do you want the question 26 read back? 27 THE WITNESS: Yeah, please. Please. 28 MR. AUCHINCLOSS: Okay. 3631 1 THE WITNESS: I’m sorry, a little hard of 2 hearing. 3 (Record read.) 4 THE WITNESS: No. It’s -- the focusing would 5 take a few seconds, a few moments, but it wasn’t 6 difficult. 7 Q. BY MR. AUCHINCLOSS: All right. Did you 8 participate in a search for latent fingerprints on a 9 number of magazines in the case of People v. Michael 10 Jackson? 11 A. Yes, sir. 12 Q. And what was your assignment? 13 A. My assignment was to use the Scenescope and 14 search, in my case, several magazines for latents or 15 developing prints on the magazines. And after that, 16 they were processed with the ninhydrin, and then 17 another search of all those magazines I did all 18 myself. 19 Q. Had the magazines that you searched with the 20 Scenescope been previously processed in any fashion? 21 A. Yes, they had. 22 Q. In what fashion? 23 A. They’d received a cyanoacrylate fuming 24 process, which is commonly referred to as super glue 25 fuming. 26 MR. AUCHINCLOSS: All right. If I may 27 approach, Your Honor. 28 Q. I’ll show you a few exhibits. Three, to be 3632 1 specific. I show you Exhibit No. 724, Card No. 1. 2 Can you identify that for me, please? 3 A. Yes, I can. 4 Q. What is it? 5 A. That’s an image from the Scenescope I 6 photographed on Item 304-D. 7 Q. Using the Scenescope? 8 A. Yes. 9 Q. And can you tell me -- well, I’ll get to 10 that in a moment. 11 Showing you now Exhibit No. 727, Card 04, 12 can you identify that for me, please? 13 A. Yes, it was Item 317-OO. It was a latent 14 from using the Scenescope from page two. 15 Q. And did you locate that latent fingerprint? 16 A. Yes, I did. 17 Q. Finally, Exhibit No. 742, Card 19, can you 18 identify this for me, please? 19 A. Yes. This was Evidence Item 363-M, and this 20 latent I photographed off of page 57. 21 Q. All right. Also a Scenescope photograph? 22 A. Yes. 23 Q. While I am here, I will show you page one of 24 Exhibit No. 769. Can you identify that for me, 25 please? 26 A. Yes. That, again, shows the Scenescope 27 photo from Item 304-D, page 52, and it indicates 28 where it was photographed on the actual page, where 3633 1 I circled it. 2 Q. And that’s where you located that particular 3 print, where the green arrow points? 4 A. Yes, sir. 5 Q. Showing you Page No. 4 of Exhibit 769, can 6 you identify that? 7 A. If you could turn it so I could read the tag 8 there. 9 Yes, that’s Item 317, page two. 10 Q. Is that a latent fingerprint that you 11 located on that particular page where the green 12 arrow points? 13 A. Yes, it is, and where I circled it. 14 Q. And showing you Page No. 19, please identify 15 that for me. 16 A. Okay. That’s Item 363-M, page 57, and it’s 17 circled where I photographed it with the Scenescope 18 on that page, circled. 19 Q. And that shows the location with a green 20 line where you found that particular print? 21 A. Yes, it does. 22 Q. All right. Detective, I’m going to ask the 23 Court at this time to go to Input.... 24 Well, if you could just give me a moment, 25 Your Honor, to download the proper Power Point. 26 All right. Could we go to “Input 1,” 27 please, Your Honor? 28 THE BAILIFF: Hit the “PC” button. 3634 1 Q. BY MR. AUCHINCLOSS: All right. Detective, 2 is that Card 724 -- Exhibit 724, Card No. 1, that I 3 just showed you? 4 A. I believe so. I -- 5 Q. Okay. I’ll leave them up here with you. 6 A. Okay. 7 Q. So you can refer to them, if you please. 8 And is that the fingerprint that you found 9 on Item 304-D, “Barely Legal,” July 2003, page 52, 10 Quadrant 12, Latent 1? 11 A. Yes, it is. 12 Q. Showing you Card No. 4, Exhibit 727, is that 13 the fingerprint that you located on Item 317-O, 14 Hustler, “Barely Legal,” August 2003, page two, 15 Quadrant 11, Latent 1? 16 A. Yes, sir. 17 Q. Showing you Exhibit No. 742, Card 19. Is 18 that the latent that you found on Item 363-N, “Club 19 International,” March 1998, page 57, Quadrant 15, 20 Latent 2? 21 A. Yes, it is. 22 Q. Going back to the first latent again, does 23 this page -- does this exhibit -- this is page one 24 of -- I believe 769 is the exhibit. Is this where 25 you located the latent identified on Card No. 1, 26 Exhibit 724? 27 A. I believe this is page 52? 28 Q. Yes, page 52. 3635 1 A. That’s correct. 2 Q. All right. And does this exhibit -- that is 3 identical to page four of Exhibit 769. Does this 4 show where you found the latent identified on Card 5 No. 4, Exhibit 727? 6 A. Yes. This is page two, yes. 7 Q. Yeah, well, it’s -- it’s -- it’s known as -- 8 it’s on page four of that particular notebook that I 9 showed you out of, but it’s on page two of Item 10 317-O; is that correct? 11 A. Correct. 12 MR. SANGER: I’m going to object to counsel 13 testifying. It’s not a question. 14 THE COURT: Sustained. 15 MR. AUCHINCLOSS: All right. 16 Q. And finally, showing you page 19 of the 17 notebook exhibit that I showed you, does this 18 fingerprint show the location of the fingerprint 19 that is on Card 19, Exhibit 742? 20 A. Yes, that’s correct. 21 Q. That’s the location on the exact page that 22 you found that print? 23 A. Yes, on page 57 of that item. 24 MR. AUCHINCLOSS: Thank you. 25 No further questions. 26 THE COURT: Counsel? 27 // 28 // 3636 1 CROSS-EXAMINATION 2 BY MR. SANGER: 3 Q. Detective, how are you? 4 A. Good morning, sir. 5 Q. I guess now you’re Mister; is that right, 6 retired? 7 A. Trying to. 8 Q. Trying to. Okay. Can I still call you 9 Detective; is that okay? 10 A. Certainly. 11 Q. Having done that for some time. 12 You were 24 years in the sheriff’s 13 department before you went into the Forensics 14 Bureau; is that correct? 15 A. Approximately. 16 Q. And then you spent the last four years doing 17 forensics? 18 A. Yes. 19 Q. All right. And you told us about your 20 training. Did you have any training on a Scenescope 21 other than what you received from the I.D. tech in 22 this case? 23 A. No, sir. I was retired during that time. I 24 believe it was a four-hour demo they had. 25 Q. Okay. They had a demo from the 26 manufacturers? 27 A. Yes. 28 Q. And you missed that one? 3637 1 A. Yes. 2 Q. And then you went up to Santa Maria, if I 3 understand this? 4 A. That’s correct. 5 Q. And you met with who? 6 A. Detective Sutcliffe and Detective -- Tech 7 Torres. 8 Q. I.D. Tech Torres, Miss Torres? 9 A. Yes. 10 Q. And they told you how to work the 11 Scenescope? 12 A. Correct. 13 Q. All right. Now, you told the District 14 Attorney that it wasn’t particularly hard to do, I 15 think. 16 A. I don’t think it is. 17 Q. Were you familiar with the issues regarding 18 there should be a film camera used or a digital 19 camera used? 20 A. Actually, I -- I actually called the factory 21 and inquired into some of the different cameras. 22 They sell it with digital cameras, and you can use a 23 film camera. 24 Q. When did you call? 25 A. This was back when I was doing this 26 processing, right at the very first or second day. 27 Q. Were you aware that they recommend that a 28 film camera be used? 3638 1 A. They sell this camera with low-resolution 2 digital cameras. I’m not aware that they recommend 3 the 35-millimeter or any film camera. 4 Q. That was my question. Are you aware that 5 they recommend a 35-millimeter film camera? 6 A. No. 7 Q. Are you aware that the reason for using a 8 film camera is that there is a better resolution, a 9 better result in the actual photograph? 10 MR. AUCHINCLOSS: Assumes facts not in 11 evidence, that they recommend a different camera. 12 MR. SANGER: That’s in evidence. 13 THE COURT: The objection is overruled. 14 Do you want the question read back? 15 THE WITNESS: Try the question one more 16 time, please. 17 THE COURT: Read it back. 18 (Record read.) 19 THE WITNESS: I’m not aware of that. I would 20 not agree with that. 21 Q. BY MR. SANGER: Okay. Do you know whether 22 or not a digital camera is likely to wash out some 23 of the detail in a print that would otherwise be 24 captured on 35-millimeter film? 25 A. Could you qualify the digital camera a 26 little bit? It’s a very -- covers a lot of digital 27 cameras. 28 Q. Okay. Well, without talking about 3639 1 particular digital cameras, have you heard of this 2 being a problem in developing latent prints? 3 A. No. 4 Q. Did you have any training with regard to the 5 interrelation between the process of super glue 6 fuming and the use of the Scenescope? 7 A. I had some -- I’m sorry, I don’t quite -- 8 Q. That’s fine. Let me ask you this: Were you 9 aware that with the Scenescope, if you overfumed the 10 super glue, you could lose detail? 11 A. You could overfume separate from using the 12 Scenescope. You can overfume that process to where 13 you lose detail on the print. 14 Q. You can over -- if you really overfume, you 15 can pretty much just obliterate the print, blot it 16 out; is that correct? 17 A. Absolutely, and it would be useless. 18 Q. Were you aware that with a Scenescope, you 19 can decrease the amount of fuming and enhance the 20 print more efficiently with less fuming? 21 A. I think that’s a fair statement, yes. 22 Q. Did you know that at the time you were doing 23 this? 24 A. Yes. Yes. 25 Q. Did you have any input to Detective 26 Spinner -- let me withdraw that. Detective Spinner 27 is the one that did the fuming? 28 A. He did some of the fuming. 3640 1 Q. Did you do any of the fuming? 2 A. No. 3 Q. Did you have any input into the fuming 4 process to whoever was doing the fuming? 5 A. Yes. 6 Q. Did you explain to them that they should 7 use -- they should decrease the amount of fuming 8 because you were using a Scenescope? 9 A. Yes. 10 Q. And who did you tell that to? 11 A. That was both Detective Spinner and Michelle 12 Shelley. Michelle Shelley. 13 Q. Okay. And what you want to do -- now, are 14 you a latent print examiner? 15 A. I examine latent prints. I am not -- I was 16 not trained for the comparison part, but as an 17 examiner I do examine prints. 18 Q. So you don’t do comparisons? 19 A. Training -- I did a lot of comparisons, but 20 I was not at the level, the top level to actually do 21 the -- I was training in comparisons. 22 Q. All right. So you were a latent print 23 trainee? 24 A. Comparison trainee, yes. 25 MR. SANGER: All right. Thank you. No 26 further questions. 27 // 28 // 3641 1 REDIRECT EXAMINATION 2 BY MR. AUCHINCLOSS: 3 Q. Detective, if you overfume a print, what is 4 the result? 5 A. It’s a degradation of the clarity of the 6 print, as has been said. It fills in between the 7 ridges. 8 Q. Is it visible? 9 A. Yes. 10 Q. Have you had an opportunity to look at all 11 the prints, these 19 prints on these cards that we 12 have presented here? 13 A. I’ve had the opportunity. I haven’t really 14 looked at them in detail. 15 Q. Okay. But you have looked in detail with 16 the three that you testified about? 17 A. Yes. 18 Q. Any of them overfumed? 19 A. No. 20 MR. AUCHINCLOSS: Thank you. No further 21 questions. 22 MR. SANGER: No further questions. 23 THE COURT: All right. Thank you. You may 24 step down. 25 THE WITNESS: Thank you. 26 THE COURT: Call your next witness. 27 MR. NICOLA: Sergeant Bob Spinner. 28 MR. AUCHINCLOSS: Your Honor, at this time I 3642 1 would like to admit into evidence People’s Exhibit 2 769 and People’s Exhibit 724, 727 and 742. 3 MR. SANGER: 742 is the book? 4 MR. AUCHINCLOSS: 769 is the book. 5 MR. SANGER: I’d object to 769 on two 6 grounds. One -- well, three. One, it’s cumulative; 7 two, 352; three, at least one of the pages has not 8 been properly identified. 9 THE COURT: Which page? 10 MR. SANGER: There was an objection 11 sustained, and there was no testimony regarding that 12 page. 13 MR. AUCHINCLOSS: I’m unfamiliar with that. 14 THE COURT: Other than for -- I’ll withhold 15 ruling based on that one objection. The other two 16 objections are overruled, and the 352 specifically 17 is overruled. 18 I’ll ask you to consult with each other so 19 you can -- you know you’re talking about the same 20 page, so that you’re on the same page. 21 MR. SANGER: There you go. 22 THE COURT: Can we do that at the break? 23 THE CLERK: Are the other exhibits received? 24 THE COURT: The other exhibits are received. 25 Would you raise your right hand? 26 27 ROBERT SPINNER 28 Having been sworn, testified as follows: 3643 1 THE WITNESS: I do. 2 THE CLERK: Please be seated. State and 3 spell your name for the record. 4 THE WITNESS: Robert Spinner; S-p-i-n-n-e-r. 5 THE CLERK: Thank you. 6 MR. NICOLA: Just a moment while we put 7 something in the computer. 8 9 DIRECT EXAMINATION 10 BY MR. NICOLA: 11 Q. While I’m fiddling, why don’t you tell the 12 jury what you do for a living. 13 A. At the present time, I am working as a 14 part-time employee of the Santa Barbara County 15 Sheriff’s Department in the Forensics Unit. I 16 retired from the sheriff’s department in July of 17 2000 -- or August of 2003 after a term of service of 18 32 years. 19 During that time, I spent from 1986 to my 20 retirement date working in the Forensics Unit at the 21 sheriff’s department. 22 Q. Is it true that nobody ever really retires 23 from the sheriff’s department? 24 A. Obviously, that’s very true. 25 (Laughter.) 26 Q. BY MR. NICOLA: How long did you work in the 27 Forensics Bureau with the sheriff’s department? 28 A. From about the middle of 1986 to my 3644 1 retirement date in 2003. It would be approximately 2 13 years, I believe. 3 Q. Okay. During that period of time, did you 4 receive any training or education in the field of 5 forensic investigation? 6 A. Yes, I did. 7 Q. Why don’t you walk the jury through that, 8 please? 9 A. I started my training in basic fingerprints 10 in 1987 when I attended two classes put on by the 11 California Department of Justice, which were latent 12 pattern techniques, and latent fingerprint 13 techniques, or latent pattern recognition and latent 14 fingerprint techniques. 15 I then attended a three- or four-day school, 16 I don’t remember the exact time, down at Cal-State 17 Long Beach on an advanced evidence technician 18 course. 19 I had previous experience in crime scene 20 investigation from my time on patrol and did not go 21 to the basic crime scene investigation course when I 22 came into the unit. 23 I then attended the palm print 24 identification class put on by Mr. Ron Smith. 25 Subsequent to that, I attended a basic fingerprint 26 class put on by the Federal Bureau of Investigation. 27 And back to back with that I attended an advanced 28 fingerprint class put on by the Federal Bureau of 3645 1 Investigation, both went a week long, which were 2 conducted at Rio Hondo College in Los Angeles. 3 Subsequent to that I attended an advanced 4 latent fingerprint comparison class taught by Mr. 5 Pat Wardheim. I’ve taken a fingerprint seminar, 6 fingerprint development and comparison seminar, at 7 Orange County Sheriff’s. 8 I became a member of the Southern California 9 Association of Fingerprint Officers in 1995, and I 10 have attended their two-day training seminar, which 11 is held every October, since then, except for the 12 seminar which was held in 2001 due to the 9/11 13 incident. 14 I have attended and monitored one of Mr. 15 Wardheim’s classes that we had at the sheriff’s 16 department, kind of in and out of that one, so I 17 didn’t really list it, but it was on problem latent 18 print identification. 19 I attended the three-week advanced -- the 20 advanced latent fingerprint school held at the FBI 21 Academy in Quantico, Virginia, in the year 2000. 22 And I recently attended, in January of this 23 year, a basic forensics ridgeology class put on by 24 Mr. David Ashbaugh. 25 I’ve also attended another seminar conducted 26 by Mr. Ashbaugh, I believe it was 1997. 27 Q. Do you have any other education? 28 A. I have attained initially an associates of 3646 1 arts degree in business, I have an associates of 2 science degree in police science, and I have a 3 bachelor’s degree in administration. 4 Q. At the time that you retired, what was your 5 position with the Forensics Bureau of the Santa 6 Barbara Sheriff’s Office? 7 A. When I retired I was the sergeant and 8 supervisor in the unit. 9 Q. Does that unit encompass both North and 10 South County offices? 11 A. Yes, it does, sir. 12 Q. And you were in charge of all the forensics 13 people? 14 A. Yes, I was. 15 Q. Do you have any professional affiliations 16 you have not mentioned? 17 A. Encompassing along with the Southern 18 California Association of Fingerprint Officers, 19 which has the acronym SCAFO, I’m also a member of 20 the International Association of Identification, 21 California State Division. 22 Q. Over the years, how many fingerprint 23 comparisons would you estimate that you have done? 24 A. I would say approximately in the vicinity of 25 80,000. 26 Q. Okay. Approximately how many came just from 27 the Michael Jackson case? 28 A. I believe it was close to 21,000 3647 1 comparisons. 2 Q. Have you ever testified in court as an 3 expert witness regarding fingerprint identification? 4 A. Yes, I have, sir. 5 Q. On approximately how many occasions? 6 A. It was approximately -- approximately 10 to 7 15 times. I’m not really sure of the exact number, 8 both in Santa Barbara and in Santa Maria court 9 systems. 10 Q. Does that mean that you’ve only done 11 comparisons in approximately 10 or 15 cases? 12 A. No, sir. We’re very rarely called to 13 testify in fingerprint cases, and it’s -- when we do 14 get to testify, it is a rarity. 15 Q. Okay. Is there a requirement by the 16 sheriff’s office that you be certified in order to 17 hold your position? 18 A. No, there is not. 19 Q. So you’re not a certified fingerprint 20 examiner? 21 A. No, sir, I’m not. 22 Q. Do you know other fingerprint examiners in 23 other jurisdictions working with other law 24 enforcement agencies? 25 A. Yes, I do. 26 Q. Is it uncommon for some of them or many of 27 them to be noncertified? 28 MR. SANGER: Objection, Your Honor. 3648 1 Relevance and foundation. 2 THE COURT: Foundation; sustained. 3 Q. BY MR. NICOLA: Is it uncommon in the State 4 of California for -- let me phrase it another way so 5 it’s not leading. 6 Do you know whether law enforcement 7 agencies, as a rule, require certified fingerprint 8 examiners to be employed? 9 MR. SANGER: Objection; foundation. 10 THE COURT: Sustained. 11 MR. NICOLA: Okay. 12 Q. Can you explain for the jury, please, what 13 a latent fingerprint is? 14 A. A latent fingerprint is a fingerprint which 15 is created when your friction ridge skin comes in 16 contact with an object and there’s a transfer of the 17 contaminants, sweat and sebaceous oils which are on 18 the top surface of those friction ridges, to the 19 object which is touched. That print may be 20 invisible until it is mechanically or chemically 21 enhanced or processed. 22 Q. And what is a known fingerprint? 23 A. A known fingerprint is an intentional 24 recording of an individual’s fingerprints, not only 25 on a marked fingerprint card, which would have ten 26 squares across the top and four squares on the 27 bottom. One -- the bottoms would have the flat 28 prints and thumbs; the tops would have the complete 3649 1 left finger recordings and the complete right finger 2 recordings. It’s only done in ink. However, now, 3 with the advent of better digital electronics, it’s 4 done with what we call the Livescan method, which is 5 basically an electronic recording of the 6 fingerprints. 7 Q. I’d like to approach and show you Exhibit 8 767. Do you recognize that exhibit? 9 A. Yes, I do. 10 Q. And what is that? 11 A. It is the ten-print fingerprint card for Mr. 12 Jackson which was created on 11-20-03. 13 Q. Is that an example of the Livescan image 14 that you just explained to the jury? 15 A. Yes, it is. 16 Q. Okay. I’d like to show you Exhibit No. 743. 17 Do you recognize that? 18 A. Yes, sir. This is an expanded version of 19 the original item, which is the fingerprint card. 20 Q. Okay. 21 MR. NICOLA: I’d like to move 743 into 22 evidence at this time, Your Honor. 23 MR. SANGER: Actually, I don’t think I’ve 24 been shown this. I understand I’ve seen the 25 original, but if I could just see the -- 26 MR. NICOLA: They’re on your Power Point, 27 I’m sorry. 28 MR. SANGER: Let me just see the boards, if 3650 1 I could, quickly. 2 MR. NICOLA: Yes. 3 MR. SANGER: Thank you. 4 MR. NICOLA: Once again, Your Honor, I would 5 like to move Exhibit 743 into evidence. 6 MR. SANGER: I have no objection. 7 THE COURT: It’s admitted. 8 Q. BY MR. NICOLA: I have placed in front of 9 you also Exhibit 744 and 745. Do you recognize 744, 10 sir? 11 A. Yes, Item 744 is a blown up copy of the 12 ten-print fingerprint cards for Star Arvizio. 13 Q. Do you have a hard time with the name 14 “Arvizo”? 15 A. Arvizo, yes. 16 Q. Okay. 17 A. Short on letters. 18 MR. NICOLA: Can we move Exhibit 744 in 19 evidence, Your Honor? 20 MR. SANGER: No objection. 21 THE COURT: It’s admitted. 22 Q. BY MR. NICOLA: And 745, is that one of the 23 fingerprint cards from Gavin Arvizo? 24 A. Yes, sir. This is the -- one of the 25 ten-print cards for Gavin Arvizo. 26 MR. NICOLA: We’d like to move Item 745 into 27 evidence at this time. 28 MR. SANGER: No objection. 3651 1 THE COURT: It’s admitted. 2 MR. NICOLA: I’m going to leave these right 3 here. 4 Q. Detective Spinner, Sergeant Spinner, can you 5 explain for the jury, please, what the basic premise 6 of the use of fingerprints for making 7 identifications is? 8 A. Yes. Fingerprints are formed during the 9 first and second trimesters prior to birth, during 10 gestation. They are permanent. In other words, 11 they will last from when they’re formed, prior to 12 birth, to well after death; and three, that they are 13 unique, that no two persons have never been found to 14 have the same exact fingerprint formations. 15 Q. Okay. What sort of protocol do you use when 16 you’re conducting a fingerprint comparison? 17 A. We, the sheriff’s office, conduct a 18 fingerprint comparison. We use the accepted 19 methodology known as ACE-V, which is an accepted 20 method in the fingerprint community. 21 Q. That’s A-C-E? 22 A. A-C-E, dash, V. It’s an acronym. It means 23 analyze, compare, evaluate and verify. 24 Q. What are the initial steps of the analysis 25 process? 26 A. Okay. During the analysis process, after 27 the ACE-V methodology, we examine -- or the latent 28 fingerprint is examined and -- for quality, clarity, 3652 1 and determine what information is available within 2 that particular latent fingerprint; can the class 3 type be determined; how much level -- how much 4 detail is available; how clear is it; is it smudged 5 or smeared; can it even be used for a latent 6 fingerprint comparison. Sometimes this can be done 7 fairly rapidly, and sometimes it takes some time. 8 Q. When can it be done fairly rapidly? 9 A. When it is -- when they’re clear and when 10 there is -- the apparent detail is clear and very 11 highly visible. Some latent prints are very badly 12 smeared sometimes and it takes a while to work 13 through them to determine whether they can even be 14 used for a latent fingerprint comparison or not. 15 Q. Is there a level called Level I class 16 characteristics? 17 A. Yes, sir, the Level I class characteristic 18 would be the type of fingerprint pattern it is, be 19 it a whorl pattern, an arch pattern, or the ridge 20 pattern. 21 Q. Did you bring a small diagram with you? 22 A. No. 23 Q. You left it upstairs? 24 A. Yes, sir, I did. 25 Q. Okay. And that’s just a piece of paper with 26 the different kinds of patterns on it? 27 A. Yes, sir. It had what’s known as -- two 28 loop patterns. Loops are broken down into two 3653 1 particular styles of patterns. It used to be called 2 the ulnar loop and the radial loop. In other words, 3 the loop on the ulnar loops would open towards the 4 little finger, and the radial loop would open 5 towards the radial bone or the thumb. 6 Q. Is there anything about a fingerprint that 7 can tell you whether a person is left-handed or 8 right-handed? 9 A. No, sir. 10 Q. And anything about them that can tell you 11 age? 12 A. No, sir. Well -- 13 Q. Except for little tiny babies, right? 14 A. Except for little tiny babies. Or when 15 people get aged, when they get quite old, sometimes 16 they lose the fat pad under the print, and the ridge 17 structure gets very worn and very hard to see. 18 Q. Okay. And a fingerprint will never tell you 19 when it was left? 20 A. No, sir, you cannot tell when a fingerprint 21 was left. 22 Q. Okay. Is there a higher level of 23 individualization within a fingerprint that you look 24 for as a fingerprint examiner? 25 A. Yes, sir. There’s Level II detail and then 26 Level III detail. 27 Q. Beginning with Level II detail, can you 28 please tell the jury what it is that makes a 3654 1 fingerprint unique, Level II? 2 A. Okay. Well, basically fingerprints are 3 unique, starting with Level I. They’re either 4 arches, loops or whorls. 5 Then breaking down into Level II, we have 6 three basic Level II types of details. We have the 7 bifurcation, which happens when two running ridges 8 either split and form -- or one running ridge either 9 splits and forms two running ridges, or vice versa 10 happens, when two running ridges come together to 11 form one ridge. 12 And you have what we call an ending ridge, 13 where a ridge stops, and the ridges on both sides of 14 it continue on. 15 Then there is a dot, which a dot is one 16 ridge unit which should be about as wide as it is 17 long and has one pore structure in it. 18 Q. Is there something you look for in a 19 fingerprint at the Level II stage that helps you on 20 your way to determining whether you can make a match 21 or exclude a fingerprint as being made by a 22 particular individual? 23 A. Well, you look for -- in Level II detail 24 only, after you confirm the Level I, you look for 25 sufficient Level II details in sequence, the same 26 spatial relationships and friction ridges in 27 sequence to allow an identification to be effective. 28 Q. Okay. So you look at the detail and the 3655 1 sequence that it is on the ridge? 2 A. Yes, sir. You have to take everything into 3 consideration. 4 Q. What if you were comparing two fingerprints 5 and you come across a detail that exists in one on a 6 ridge that doesn’t exist on the other on the same 7 ridge? 8 A. If one positive Level II detail is found 9 within a latent print and it is not reproduced in 10 the known print, or vice versa, and it cannot be 11 explained by distortion, then it would automatically 12 take the fingerprint out of contention as being an 13 identification. 14 Q. That would be the one-dissimilarity rule? 15 A. Yes, sir. 16 Q. With respect to the fingerprints collected 17 in this case and the ones that you analyzed, can you 18 please explain to the jury where you became involved 19 in the process that we’ve heard much about so far? 20 A. When I was called back into the Forensics 21 Unit for part-time assistance due to personnel 22 staffing levels, I believe it was the last part of 23 July in 2003, I was asked if I would assist with the 24 evidence processing in this case. 25 Q. Okay. Were you involved in setting up the 26 protocol for how the large volumes of magazines and 27 other items of paper would be processed? 28 A. No, I was not. 3656 1 Q. Okay. Did you have a clear understanding of 2 what that protocol would be? 3 A. It was shown to me and I read through it, 4 yes. I understood what they were -- what was being 5 required and requested. 6 Q. Was it an acceptable process from your point 7 of view? 8 A. Yes, sir. 9 Q. Okay. What was your role in the handling of 10 the magazines and other items of evidence that were 11 processed for fingerprints? 12 A. My role started when I obtained the magazine 13 item numbers from the property room. I returned 14 them to the Forensics Unit, where the evidence bags 15 were then opened. 16 And then what I did was, I first initially 17 took each individual magazine and photodocumented 18 that magazine page per page. I then took the 19 magazine and cut the magazine or separated the 20 magazine down the spine or the middle to separate 21 each page into its own individual page. 22 Then the magazine was recorrelated to 23 maintain the page order. The magazine was then 24 subjected to cyanoacrylate ester fuming, which is 25 known as super glue fuming, in an effort to develop 26 and stabilize any latent fingerprints which may or 27 may not be on each individual page. 28 After this was done, the pages were then 3657 1 either recorrelated or immediately placed into 2 plastic sleeves, which were then placed into 3 binders, and then the binders became the magazine, 4 or book, or pamphlet. 5 Q. So, were you the individual responsible for 6 slicing the magazines up and subjecting them to the 7 fumes from super glue? 8 A. I cut and processed the grand majority of 9 the magazines. Michelle Shelley processed a few of 10 them at my direction toward the end when we got very 11 busy. 12 Q. Were you working under some kind of time 13 crunch? 14 A. Yes. We were told we had to have this 15 project completed by December 17th of 2003. 16 Q. Once the items had been subjected to the 17 super glue fuming, did you repackage them? 18 A. They were -- after the super glue fuming was 19 completed, each individual page was placed into a 20 plastic page protector, which was then placed into a 21 three-ring binder. 22 Q. Okay. And then those binders would go 23 where; do you know? 24 A. The binders were either kept in the Santa 25 Barbara lab for processing there, or they were sent 26 to the Santa Maria lab for processing there, due to 27 the length of time it was going to take to do the 28 additional processing for latent fingerprints. 3658 1 Q. Okay. The deadline you had was in December 2 of 2004, correct? 3 A. I’m sorry, 2004. That is correct. 4 Q. My astute colleagues here. 5 The teams that were responsible for further 6 developing or examining the magazines and their 7 contents for latent fingerprints in the North County 8 would have been who; do you know? 9 A. They would have been Detective Sutcliffe and 10 I.D. Technician Torres. 11 Q. And in the South County, who did you use? 12 A. Detective Wittenbrock and Michelle Shelley. 13 Q. And what was the procedure from that point 14 forward, if you know? 15 A. Once I was through assembling the magazines 16 back into the binder, in the individual page 17 protectors, they were either sent to Santa Maria or 18 they were kept in-house and then processed for 19 latent fingerprints using what’s known as a RUVIS 20 Scenescope to look for, develop and stabilize super 21 glue prints on the pages. The pages were then 22 subjected to a ninhydrin process to attempt to 23 further develop any fingerprints. 24 When these two processes were completed, the 25 magazine pages were then reinserted into the plastic 26 sleeves, placed back into the binders, and the 27 binders were then correlated by myself, accounted 28 for, and then booked back into the evidence room. 3659 1 Q. Okay. If a latent fingerprint was 2 identified by one of the teams, meaning Detective 3 Sutcliffe’s team or Detective Wittenbrock’s team, 4 what would they do with that image? 5 A. Okay. All images which they found, either 6 using the Scenescope or the ninhydrin process, were 7 photodocumented. Those photographs were then either 8 placed on a CD disk in Santa Maria and sent down to 9 Santa Barbara for evaluation, or if Detective 10 Wittenbrock photographed the images, he would take 11 the photo card out of the digital camera, go to the 12 Santa Barbara computer, download images in the Santa 13 Barbara computer system. 14 Q. Were those images saved by file number? 15 A. Yes, they were. Each individual item 16 number, or each individual magazine, pamphlet, page, 17 whatever, each had an individual item number. 18 The fingerprints which were -- photographs 19 on those were marked. And when the photographs were 20 taken, and they were saved under a particular -- 21 under the file number for that particular item of 22 evidence. 23 Q. How many total images of latent prints did 24 the teams of Sutcliffe -- Detective Sutcliffe and 25 Detective Wittenbrock provide you for a comparison? 26 A. Approximately 706. 27 Q. And out of those 706 potential latent 28 prints, how many did you find were usable to make 3660 1 fingerprint comparisons? 2 A. 178 were found to be usable for latent 3 comparison purposes. However, some of those were 4 latent palm prints, not fingerprints. 5 Q. Okay. Of the latent fingerprints -- 6 generally, could you explain for the jury what it is 7 that, in your opinion, makes a latent fingerprint 8 usable for a comparison? 9 A. A latent fingerprint needs to have 10 sufficient quality and clarity to locate and 11 identify a sufficient amount of Level II detail, and 12 it also has, in my estimation, and what I would like 13 to see is sufficient detail to at least show basic 14 Level I details so the pattern type can be 15 determined. 16 Q. Turning your attention back to Exhibit 743, 17 744 and 745, did you use the fingerprints cards from 18 the individuals listed, Michael Jackson, Gavin 19 Arvizo and Star Arvizo, to compare against the 178 20 fingerprints that were recovered that you felt were 21 usable? 22 A. Yes, we did. 23 Q. Okay. And out of the 178 usable prints, did 24 you find matches on a number of latent prints? 25 A. We were able to identify 19 of the 178. 26 Q. And you categorized those as positive 27 identifications? 28 A. Yes, sir. 3661 1 Q. Okay. Were there a number of fingerprints 2 that you did not come to a conclusion about? 3 A. Yes, there were. 4 Q. And approximately how many, please? 5 A. I believe there were seven. 6 Q. When you initially began your comparison 7 process, could you describe for the jury the 8 different steps that you took? 9 A. When -- 10 Q. Let me rephrase that. That will take you 11 somewhere else. 12 When you initially began comparing a latent 13 print to some of these known prints from the three 14 individuals we named, did you look at them with the 15 intention of going back through the material over 16 and over again? 17 A. When we first did the -- when we first went 18 through the first ones, what we did was we went 19 through an initial evaluation and located prints 20 which we felt could be an identification, and we 21 marked those. 22 And when we finished going through all the 23 prints that came down on an individual CD disk for 24 that day or the two days, then we would go back to 25 the ones that we were interested in and re-review 26 those fingerprints. 27 Q. Okay. So they would get a first look, and 28 then a more thorough look at a later time? 3662 1 A. Yes, sir, they would. 2 Q. You keep saying “we.” 3 A. Myself and Identification Technician Lisa 4 Hemman. 5 Q. When you finally sat down to compare a 6 fingerprint to -- a known fingerprint to a latent 7 fingerprint that you were examining, how did you and 8 Lisa Hemman coordinate that? 9 A. Well, initially, during the initial 10 evaluation, we were both watching or both looking at 11 a computer screen where the disk -- the images were 12 being brought up one at a time. And we each had 13 individual copies of the ten-prints -- ten-prints 14 for the three individuals involved in this case, 15 meaning Gavin Arvizo, Star Arvizo and Mr. Jackson. 16 As we went through the latent fingerprints, 17 again, as I said before, we identified some which 18 could be identifiable to one of the three people. 19 We would note that, and then -- for a later 20 evaluation. 21 What would happen, during the later 22 evaluation process, I.D. Technician Hemman would 23 take the latent fingerprint, which we felt was a 24 usable and comparable latent to a particular inked 25 fingerprint or known fingerprint, and make a 26 side-by-side comparison set up on a computer screen. 27 We would then go through that side-by-side 28 comparison independently, looking for Level II 3663 1 details and marking that detail with one of us being 2 outside of the room when the other was doing it. 3 After we were both finished, we would then 4 compare our results and see if there was a problem 5 or whether the identification was valid or whether 6 it was not valid. 7 Q. Is that the “V” part of the ACE-V process? 8 A. It would be -- yes, it would be the “V” 9 process, the verify. What we did initially when we 10 looked at the fingerprints on the computer screen, 11 we were just looking for latents alone with the 12 ten-print fingerprint cards. 13 Q. How is it that Senior I.D. Technician Hemman 14 could mark on the computer where she thought points 15 of comparison were and you would come in later and 16 not see those marks? 17 A. We were using a program called Adobe 18 Photoshop, and in that particular program you can 19 create what they call layers. She would make two 20 layers. One layer would be her layer, one layer 21 would be my layer. And she would turn her layer on 22 and put the marks down on where she thought the 23 appropriate Level II detail was located to make an 24 identification, or nonidentification as the case may 25 be, for this particular fingerprint. She would then 26 turn that layer off, turn my layer on. 27 I would go in, I could not see her marks. I 28 would then put my marks down. When I was finished, 3664 1 I would advise her of what we did -- that I was 2 finished, rather, and we would both get together. 3 She would turn both layers on and we would see if we 4 were in agreement. 5 Q. Is that a fairly standard way of doing 6 things these days in the field of fingerprint 7 comparison is using the computer? 8 A. Yes, sir. We used to use what they call a 9 fingerprint comparator. It’s a visual 10 projection-type device where you would do basically 11 the same thing, but it was more mechanical. You’d 12 work on a plastic screen with a water-soluble pen. 13 Here we just basically use a computer and a 14 dedicated program, like Adobe Photoshop, to do the 15 same thing. 16 Q. I’m going to approach you with an exhibit. 17 THE COURT: Let’s take our morning break. 18 (Recess taken.) 19 THE COURT: All right. Counsel, go ahead. 20 MR. NICOLA: Thank you, Your Honor. 21 Q. Detective Spinner -- Detective Spinner, I’ve 22 put a number of boards up here. Can you reach the 23 ones closest to your right, and on that first board, 24 can you read the exhibit number, please? 25 A. 735. 26 Q. Do you recognize the latent image in that 27 picture? 28 A. There’s an item listed as being taken on 3665 1 Item 317-U, union, Latent No. 1. 2 Q. Did you make a comparison of that print in 3 this case? 4 A. Yes, we did. 5 Q. Did you come to any conclusions when you 6 made your comparison of that fingerprint? 7 A. Yes, we did. 8 Q. Can you turn to the next exhibit, please. 9 Are you looking at Exhibit 757? 10 A. Yes, I am. 11 Q. And what is depicted in that exhibit? 12 A. It is a charted latent fingerprint 13 comparison between the photograph from Item 317-U, 14 union, page ten, Quadrant 16, Latent 1, against a 15 known fingerprint of Gavin Arvizo’s right middle 16 finger. 17 Q. So you were able to identify Gavin Arvizo’s 18 right middle finger on Exhibit -- a magazine labeled 19 317-U? 20 A. Yes, sir, we were. 21 Q. Okay. Coming to your opinion that that is 22 his fingerprint, did you present our office with a 23 Power Point presentation to help explain that to the 24 jury? 25 A. Yes, we did. 26 MR. NICOLA: Your Honor, if I may have 27 “Input 1,” please. I’d like to show it to the jury, 28 please. 3666 1 Q. Take a look up at the screen. 2 THE COURT: What’s the exhibit number on the 3 presentation? 4 THE WITNESS: 757, Your Honor. 5 MR. NICOLA: Did you -- I left them with the 6 court reporter for some strange reason, Judge. 7 It’s going to be next in order, Exhibit No. 8 772. 9 Q. I’m going to go right to -- thank you -- 10 this image. 11 That was the latent fingerprint that you 12 compared. 13 A. That’s affirmative, sir, yes. 14 Q. Okay. And I want you to guide me through 15 this. What is this? 16 A. That is the known inked impression from the 17 right middle finger of Gavin Arvizo. 18 Q. And what does this image depict? 19 A. Okay. This is where -- an identification of 20 12 charted points of identification which we found 21 within this particular fingerprint which we compared 22 to the latent fingerprint. 23 Q. Is that what’s shown on the screen? 24 A. Yes, sir. That -- No. 1 is an upward moving 25 ending ridge. 26 Q. Okay. Did you compare an entire finger pad 27 against an entire finger pad when you made your 28 comparison? 3667 1 A. No, sir. In this case, we had the right -- 2 or the left side of the completely rolled finger, 3 which included from a little bit inside the delta 4 area, which is the area I just pointed to, to this 5 area, up into the top and down below the delta area. 6 Q. Okay. Can you explain what’s on this next 7 slide, please? 8 A. That is where the second characteristic is 9 located and charted, and that is also an ending 10 ridge, and it’s a downward thrusting ending ridge. 11 Q. And this image? 12 A. No. 3 is also a charted ending ridge. It 13 would be an upward thrusting ending ridge. 14 Q. No. 4? 15 A. Four is another ending ridge, again in the 16 same spatial relationship to the other three, and 17 it’s also an upward thrusting ending ridge. 18 Q. No. 5, please? 19 A. Five is another ending ridge, again in the 20 same spatial and ridge count relationship with No. 21 4, 3, 2 and 1, and it’s also a downward thrusting 22 ending ridge. 23 Q. No. 6? 24 A. Six is also an ending ridge, downward 25 thrusting, in the same spatial relationship as the 26 first five. 27 Q. No. 7? 28 A. Seven is a bifurcation, which again is two 3668 1 ridges flowing into one. It’s an upward moving 2 bifurcation, in other words, opens downward, and 3 it’s in the same spatial relationship as the first 4 six items. 5 Q. Okay. And eight? 6 A. Eight is an ending ridge. It’s an upward 7 thrusting ridge, again in the same spatial 8 relationship to 1 through 7. 9 Q. Nine? 10 A. Nine is a bifurcation. It’s a downward 11 opening, upward moving bifurcation, again in the 12 same spatial relationship with the previous items. 13 Q. Ten? 14 A. Ten is another bifurcation, opening 15 downward, in the same spatial relationship as 1 16 through 9. 17 Q. 11? 18 A. 11 is an ending ridge, coming up just inside 19 of the delta area. It’s an upward flowing ending 20 ridge and having the same spatial relationship as 21 the previous mentioned items. 22 Q. No. 12? 23 A. 12 is a bifurcation. It’s just above the 24 delta area, and again with the same spatial 25 relationship, having -- with the other items. 26 1 through 12 all have the same spatial and ridge 27 count relationships. 28 Q. Okay. Is that essentially the procedure you 3669 1 went through to create Chart 757? 2 A. Yes, sir, it is. 3 MR. NICOLA: Your Honor, I’d like to move 4 757 into evidence. 5 THE COURT: It’s admitted. 6 Q. BY MR. NICOLA: The next two exhibits I’d 7 like to show you are 726 and 748. Do you recognize 8 726? 9 A. Yes, sir, I do. 10 Q. And what is that, please? Explain to the 11 jury. 12 A. It’s a latent fingerprint that was 13 photodocumented from Item 317-L, page 126, marked as 14 Latent No. 1. 15 Q. Okay. What’s the next board? 748? 16 A. 748, yes, sir. 17 Q. And is that your comparison between the 18 image in 723 (sic) and somebody’s fingerprint? 19 A. Yes, it is. 20 Q. Tell the jury what that comparison is of, 21 please. 22 A. This is a latent fingerprint comparison 23 between the latent fingerprint photodocumented on 24 Item 317-L, page 126, marked Latent No. 1, and the 25 right index finger of Star Arvizo. 26 Q. Okay. Did you prepare a Power Point 27 presentation as an example of that one as well? 28 A. Yes, sir, one was prepared. 3670 1 MR. NICOLA: Okay. The Star Arvizo Power 2 Point, Your Honor, is Exhibit 773. 3 While that is loading -- there it is. Yes, 4 it’s taking its time. 5 Q. This was the latent fingerprint of Star 6 Arvizo found on Item 317-L, the magazine “Finally 7 Legal”? 8 A. Correct. 9 Q. And is that -- 10 A. That is the latent fingerprint from Item 11 726, which is the latent fingerprint we photographed 12 on page 317-L, page 126, marked as Latent No. 1. 13 Q. Okay. And this is? 14 A. That is the right index fingerprint, as 15 photographed, of Mr. Star Arvizo. 16 Q. And is it where your comparison began? 17 A. That’s where we started making the chart, 18 yes, sir. 19 Q. Okay. I’d like you to explain whether these 20 images are to scale relative to the normal human 21 being and relative to each other. 22 A. No, these are cropped and expanded. And the 23 scaling between the fingerprint or the known print 24 on the left and the latent print on the right is -- 25 the one on the right is slightly smaller. 26 Q. Okay. Is that the same for the previous 27 presentation? The scaling is different between the 28 two? 3671 1 A. It could be, yes, sir. 2 Q. The board is right there if you want to look 3 at it. 4 A. The scaling on this one would be just 5 slightly reversed. The latent is a little larger 6 than the known inked print. 7 MR. SANGER: When you say “this one” -- 8 Your Honor, could we have a clarification as to what 9 exhibit the witness is looking at? 10 THE WITNESS: The 757. 11 MR. SANGER: Thank you. 12 Q. BY MR. NICOLA: Could you describe what 13 Point No. 1 is, please? 14 A. Point No. 1 is an upward thrusting ending 15 ridge. 16 Q. Okay. You mentioned earlier something about 17 a feature being in sequence, ridge sequence? 18 A. Ridges in sequence. That would be the 19 number of ridges basically between the two details, 20 such as we have an ending ridge at that location and 21 an ending ridge at that location, or bifurcation. 22 You follow this one down, the ridge line down, and 23 then you go over one to that, and here, starting at 24 “1” again, work your way up, and you have two ending 25 ridges flowing in the opposite direction. 26 Q. Okay. 27 A. So -- 28 Q. Go ahead, you were going to finish. 3672 1 A. I was going to say, so you have to find the 2 same relationships in both the known print and the 3 latent fingerprint. 4 Q. Okay. Point No. 2? 5 A. Point No. -- Point No. 2 is a downward 6 flowing ending ridge three ridges up and over from 7 Point No. 1. 8 Q. Okay. And that’s the same on both images? 9 A. Yes, it is. 10 Q. And a third area of similarity? 11 A. That is also an ending ridge, which is two 12 ridges above Point No. 2. 13 Q. Okay. Area No. 4? 14 A. Four is another charted ending ridge, which 15 is at the other end of the short ridge starting at 16 Point No. 3. 17 Q. And as you’re examining these points, you’re 18 looking for the feature, the ridge sequence and the 19 spatial relationship between the two? 20 A. That’s correct. 21 Q. Okay. No. 5? 22 A. No. 5 is a bifurcation. This ridge actually 23 has a slight space here, but actually bifurcates 24 into this one, and then it comes out in this 25 direction. So 5 is the location of the bifurcation 26 of the two ridges actually split off from each 27 other. 28 Q. Okay. No. 6? 3673 1 A. Six is the ending ridge created by the short 2 ridge, which flows off the bifurcation underneath 3 the main ridge. 4 Q. And No. 7? 5 A. Seven is another ending ridge flowing across 6 the top from left to right, one ridge above the 7 previous ending ridge of six. 8 Q. And No. 8, please? 9 A. Eight is another ending ridge following the 10 furrow, or the white area, downward from 7 to 8. 11 And then it shows up there. 12 Q. The lines on the latent fingerprint, the 13 image on the right, the white areas correspond to 14 the dark areas on the image on the left? 15 A. Yes, sir. That’s what happens when you 16 develop a latent fingerprint using cyanoacrylate, or 17 super glue. The super glue polymerizes with the 18 latent fingerprint moistures and turns the print 19 ridges actually white, and the furrows are actually 20 a darker color. 21 Q. Okay. 22 A. Just reversed from your normal fingerprint. 23 Q. So a light area on the image on the left 24 would be a dark area on the image on the right? 25 A. That’s correct. 26 Q. No. 9, please? 27 A. No. 9 is an ending ridge at this location 28 four ridges down from No. 6. 3674 1 Q. No. 10, please? 2 A. Ten is a bifurcation where two ridges fuse 3 together to form one, six ridges down from No. 9. 4 And the same spacing as this one. 5 Q. How about No. 11? 6 A. 11 is another bifurcation. It’s a downward 7 opening bifurcation on the second ridge down, just 8 above the re-curve forming the core. 9 Q. And No. 12? 10 A. 12 is an upward thrusting ending ridge and 11 the furrow just to the right of Item No. 11. 12 Q. Is it common nomenclature to call these 13 “points of comparison,” or is there some other term 14 you refer to them refer to them to? 15 A. I refer to them as “identifiable 16 characteristics.” Some people refer to them as 17 “Galton details.” Some people refer to them as 18 “unique details.” They’re all synonymous. 19 Q. With this particular fingerprint match, did 20 you find only 12 -- what did you call them? 21 A. Characteristics. 22 Q. -- characteristics of individualization? 23 A. Yes. There were additional characteristics 24 located. 25 Q. Approximately how many? 26 A. 25. 27 Q. There were 25 points that matched? 28 A. Yes, sir. 3675 1 Q. I’m going to end this one and start loading 2 the other, so.... 3 Do you have a fingerprint comparison up 4 there where you found a match on one of Michael 5 Jackson’s prints? 6 A. Yes. 7 Q. Would you please state for the record what 8 the latent print exhibit number is? 9 A. It’s Item 727. 10 Q. And the print comparison chart corresponding 11 to that item is? 12 A. 749. 13 MR. NICOLA: Your Honor, I request Item 748, 14 the charts depicting the match of Star Arvizo, be 15 admitted into evidence. 16 THE COURT: It’s admitted. 17 Q. BY MR. NICOLA: Item No. 727, where was that 18 latent taken from? 19 A. This item was from Item 317-O, ocean, page 20 two, Latent No. 1. 21 Q. And did you prepare a Power Point 22 presentation for that as well? 23 A. Yes, sir, one was prepared. 24 THE COURT: Is it ready? 25 MR. NICOLA: It is. Thank you, Your Honor. 26 Q. And is that the latent fingerprint image 27 that you used for your comparison? 28 A. Yes, sir, it is. And that is Mr. Jackson’s 3676 1 known left thumbprint. 2 Q. And this is a side-by-side comparison? 3 A. Yes, it is. 4 Q. Again, issues of scale remain the same? 5 A. The scaling is not totally accurate as far 6 as the -- totally the same exact size. 7 Q. Okay. And what is this identifying 8 characteristic? 9 A. That identifying characteristic is a ridge 10 ending which is one ridge above the re-curve forming 11 the core area of the fingerprint or the thumbprint. 12 Q. No. 2? 13 A. No. 2 is a bifurcation. If you follow No. 1 14 upward and to the left, you see where it fuses and 15 joins into the above ridge, forming the bifurcation 16 which opens from left to right. 17 Q. No. 3, please? 18 A. No. 3 is a ridge ending. Seven ridge counts 19 over from No. 2 that the Ridge No. 2 actually ends 20 on. 21 Q. No. 4, please? 22 A. Four is a bifurcation located above the 23 bifurcation for No. 2. 24 Q. No. 5, please? 25 A. Five is a ridge ending located in the upper 26 part of the print eight ridges above the ridge that 27 No. 3 is located on. 28 Q. No. 6? 3677 1 A. Six is another ridge ending located one 2 ridge above No. 5 and forward. 3 Q. No. 7? 4 A. Seven is a bifurcation which opens to the 5 right four ridges below No. 5. 6 MR. NICOLA: This is Exhibit 774, Your 7 Honor, the Power Point. 8 Q. Eight? 9 A. No. 8 is an ending ridge which is the lower 10 fork of the bifurcation marked at No. 7. 11 Q. No. 9? 12 A. Nine is a bifurcation which, if you count 13 down four ridges and go slightly forward, it fuses 14 into the ridge one ridge below. 15 Q. And No. 10? 16 A. Ten is a bifurcation. Count down one ridge 17 and then go to the right, and you find where two 18 ridges fuse together forming a bifurcation that 19 opens to the left. 20 Q. No. 11? 21 A. 11 is an ending ridge which is just below 22 the bifurcation at 10. 23 Q. And No. 12, please? 24 A. 12 is an ending ridge, which is the other 25 end of the short ridge from 11 to 12. 26 Q. Okay. And on this particular positive 27 identification, did you find more than 12? 28 A. We found a total of 17 total points. 3678 1 Q. Okay. And are those the red dots that you 2 put on the exhibit? 3 A. Yes, sir, they are. 4 Q. They’re very difficult to see in here. Are 5 they on your chart? 6 A. Yes, they are. And I can point them out 7 with a laser pointer, if you’d like, sir. 8 Q. Go ahead, please. 9 A. We have two ending ridges at this location. 10 An ending ridge at this location. Bifurcation at 11 this location. Another bifurcation at this 12 location. 13 Q. Is there a reason why not to chart more than 14 12 individualizing characteristics? 15 A. When I’m building a chart, and we don’t 16 build that many of them, I don’t like to put too 17 many lines in to mark every point because of the 18 probability of confusing people and have too many 19 lines running back and forth through the chart and 20 possibly crossing lines to get to all the points, 21 which then makes it very difficult to follow 22 backwards. So it was done for clarity. 23 MR. NICOLA: Okay. I think we’re done with 24 our slide show, Your Honor. 25 Q. Exhibit 749 is the exhibit that contains the 26 Power Point we just saw -- 27 A. Yes, it is, sir. 28 Q. -- in chart format? 3679 1 I move 749 into evidence, Your Honor. 2 THE COURT: It’s admitted. 3 Q. BY MR. NICOLA: Do you recognize Exhibit 4 746, Detective Spinner? 5 A. Yes, I do. 6 Q. And what is depicted in Exhibit 746? 7 A. It is a fingerprint chart showing the latent 8 comparison between the latent fingerprint 9 photographed on Item 304-D, David, page 52, marked 10 Latent No. 1, and the left little finger of Mr. 11 Jackson. 12 Q. Did you make a positive identification? 13 A. Yes, we did. 14 MR. NICOLA: Move 746 into evidence. 15 THE COURT: It’s admitted. 16 Q. BY MR. NICOLA: Exhibit No. 747, do you 17 recognize that? 18 A. Yes, sir. That is a chart created showing 19 the identification made on the fingerprint which was 20 photographed on Item 317-L, Lincoln, page 31, marked 21 Latent No. 1, against the left middle finger of Star 22 Arvizo. 23 MR. NICOLA: Move 747 into evidence. 24 THE COURT: It’s admitted. 25 Q. BY MR. NICOLA: Exhibit No. 750? 26 A. Okay. No. 750 is item -- latent fingerprint 27 photographed on Item 317-R, Robert, page 54, Latent 28 1-N. And “N” indicates this is a 3680 1 ninhydrin-developed fingerprint, not a 2 super-glue-developed fingerprint. 3 MR. NICOLA: Your Honor, we’d move 750 into 4 evidence. 5 THE COURT: It’s admitted. 6 MR. NICOLA: Oh, I thought you did. 7 THE WITNESS: It’s a comparison against the 8 left thumb of Mr. Jackson and a positive 9 identification was made. 10 MR. NICOLA: Now we’d like to move it into 11 evidence, Your Honor, 750. 12 Q. Exhibit 751, do you recognize that? 13 A. 751 is a photograph of the latent 14 fingerprint photographed on Evidence Item 317-R, 15 Robert, page 92, marked Latent No. 1, with the left 16 little finger of Gavin Arvizo. 17 Q. Is that a positive identification? 18 A. Yes, it was. 19 Q. Exhibit No. 752, please? 20 A. 752 is a chart of the fingerprint comparison 21 made from the picture -- or the fingerprint 22 photodocumented on Item 317-R, Robert, page 92, 23 marked Latent No. 2, and it is -- it was compared 24 and identified, the left ring finger of Gavin 25 Arvizo. 26 Q. Is that a positive identification? 27 A. Yes, it is, sir. 28 Q. Exhibit 753, please? 3681 1 A. 753 shows a photograph of the latent 2 fingerprint located on Item 317-R, Robert, page -- 3 excuse me, page 92, marked Latent No. 4. This 4 latent fingerprint was compared against the left 5 index finger of Gavin Arvizo and a positive 6 fingerprint comparison was completed. 7 MR. NICOLA: Move 751 in evidence. 8 THE COURT: It’s admitted. 9 Q. BY MR. NICOLA: Exhibit 754? 10 A. Exhibit 754 shows a photograph of a latent 11 fingerprint photographed on Item 317-S, Sam, page 12 62, Latent No. 1. This item was compared against 13 the right thumb of Mr. Jackson, and a positive 14 identification was completed. 15 MR. NICOLA: Move 754 into evidence, Your 16 Honor. 17 THE COURT: It’s admitted. It’s admitted. 18 MR. NICOLA: Did I move 752, Judge? 19 THE COURT: I don’t think so. 20 MR. NICOLA: Move it now, please. 21 THE COURT: It’s admitted. 22 Q. BY MR. NICOLA: Exhibit 755? 23 A. 755 shows a photograph of a fingerprint 24 photodocumented on Item 317-S, Sam, page 87, Latent 25 No. 1. It was compared and identified against the 26 left ring finger of Mr. Jackson. 27 Q. Is that a positive identification? 28 A. Yes, sir, it is. 3682 1 MR. NICOLA: We’d like to move 755 into 2 evidence. 3 THE COURT: It’s admitted. 4 Q. BY MR. NICOLA: Exhibit No. 756, please? 5 A. 756 shows a charted comparison using the 6 photograph of the fingerprint photographed on Item 7 317-T, Tom, page three, Latent No. 1, against the 8 left thumb of Mr. Jackson. 9 Q. The result of that comparison? 10 A. It was a positive identification. 11 MR. NICOLA: Move 756 into evidence. 12 THE COURT: It’s admitted. 13 Q. BY MR. NICOLA: Exhibit 758? 14 A. 758 shows a charted comparison between a 15 latent fingerprint photographed on Item 317-YY, or 16 yellow-yellow, page A, marked Latent No. 1. And it 17 was compared against the left index finger of Gavin 18 Arvizo. 19 Q. And the results? 20 A. It was a positive identification. 21 MR. NICOLA: Move 758 into evidence. 22 THE COURT: It’s admitted. 23 Q. BY MR. NICOLA: Exhibit 759? 24 A. 759 shows a charted comparison using the 25 fingerprint photographed from Item 321-A, Adam, page 26 three, marked Latent No. 1, against the known 27 fingerprint of the right thumb of Mr. Jackson. 28 Q. And the result of that comparison? 3683 1 A. It was a positive comparison. 2 MR. NICOLA: We’d like to move 759 into 3 evidence. 4 THE COURT: It’s admitted. 5 Q. BY MR. NICOLA: Exhibit 760? 6 A. 760 shows a charted comparison between a 7 latent fingerprint photographed on Item 321-A, Adam, 8 page 29, marked Latent No. 1, and the known 9 fingerprint of Mr. Jackson’s right thumb, and it was 10 a positive identification. 11 MR. NICOLA: Move 760 into evidence. 12 THE COURT: It’s admitted. 13 Q. BY MR. NICOLA: 761, please? 14 A. 761 shows a latent fingerprint photographed 15 on Item 321-E, Edward, page one, marked Latent 1, 16 and the known fingerprint of Mr. Jackson’s left 17 thumb, or left thumbprint. 18 Q. And the result of that comparison? 19 A. That was a positive comparison. 20 MR. NICOLA: I’d like to move 761 into 21 evidence. 22 THE COURT: It’s admitted. 23 Q. BY MR. NICOLA: Exhibit 762, please? 24 A. 762 shows -- is a charted comparison. It 25 shows a photograph of a latent fingerprint 26 photographed on Item 321-E, Edward, page seven, 27 marked Latent No. 1, compared against the known 28 right thumb of Mr. Jackson. 3684 1 Q. And the result of that comparison? 2 A. It’s a positive comparison. 3 MR. NICOLA: Move 762 into evidence. 4 THE COURT: It’s admitted. 5 Q. BY MR. NICOLA: Exhibit 763, please? 6 A. 763 is a charted comparison showing a latent 7 fingerprint photographed on Item 321-F, Frank, page 8 11, marked Latent No. 1, and the right thumb of Mr. 9 Jackson. 10 Q. And the result of that comparison? 11 A. It’s a positive comparison. 12 MR. NICOLA: Move 763 into evidence. 13 THE COURT: It’s admitted. 14 Q. BY MR. NICOLA: Exhibit 764, please? 15 A. 764 shows a latent fingerprint, which was 16 photographed on item -- correction, 363-M, Mary, 17 page 57, marked Latent No. 2, against the right -- 18 known right thumb of Mr. Jackson. 19 Q. And the result of that comparison? 20 A. It was a positive comparison. 21 MR. NICOLA: Okay. Move 764 into evidence. 22 THE COURT: It’s admitted. 23 MR. NICOLA: At this time, Your Honor, I 24 would like to publish, via Power Point, Exhibit 746 25 through 764. 26 THE COURT: All right. 27 THE CLERK: Judge, he hasn’t moved 751 into 28 evidence. 3685 1 MR. NICOLA: Did I miss 751? 2 THE CLERK: You just didn’t ask to have it 3 received into evidence. 4 MR. NICOLA: If I missed 751, I would like 5 to move it into evidence at this time. 6 THE COURT: It’s admitted. 7 MR. NICOLA: Thank you, Judge. 8 If I may have “Input 1” again, Your Honor. 9 Q. If you could please compare what is on the 10 board to the exhibit in front of you and read the 11 exhibit number for the jury, please. 12 A. This exhibit number is Exhibit No. 746. 13 Q. Is that the positive identification you made 14 with Michael Jackson’s left little finger on page 52 15 of the magazine entitled “Barely Legal”? 16 A. Yes, sir. 17 Q. Okay. Move to the next exhibit, please. 18 Is that Exhibit 747? 19 A. That’s correct. 20 Q. Would you look at the screen, please? 21 Does that accurately depict the positive 22 identification of Star Arvizo’s left middle finger 23 on page 31 of the magazine entitled “Finally Legal”? 24 A. Yes, sir, it does. 25 Q. Are there additional points of comparison on 26 that aside from the 12 that you’ve marked? 27 A. Yes, sir, there are. 28 Q. How many total comparison points are on that 3686 1 exhibit, if you know, off the top of your head? You 2 may refer to your notes, if you wish. 3 THE BAILIFF: Mr. Nicola, you haven’t pushed 4 the appropriate button down there to magnify the -- 5 THE WITNESS: 20 points of comparison. 6 Q. BY MR. NICOLA: And the next exhibit, 7 please? 8 A. 750. 9 Q. Does this show -- 10 A. They’re out of order. 11 Q. Are they out of order? 12 A. (Nods head up and down.) 13 Q. Sergeant Spinner, do you remember those 14 exhibits I showed you earlier? Is the next one 748? 15 A. That’s correct. 748. 16 Q. And that would be a comparison -- 17 A. Between the fingerprint found on Item 317-L, 18 Lincoln, page 26, Latent No. 1, comparing the 19 photographed latent fingerprint against the right 20 index finger of Mr. Star Arvizio. 21 Q. Arvizo? 22 A. Arvizo. 23 Q. And how many individualizing characteristics 24 did you find in that comparison? 25 A. 25. 26 Q. Would you please proceed to Exhibit 749? 27 A. I have it. 28 Q. Does Exhibit 749 show the identification of 3687 1 the defendant’s left thumb on the magazine entitled 2 Hustler “Barely Legal”? 3 A. Yes, sir, it does. 4 Q. How many individualizing characteristics on 5 this exhibit? 6 A. 17. 7 Q. I’d like to go to Exhibit 750 next. 8 Is this the identification of the 9 defendant’s left thumb -- or did I miss -- is that 10 it? 11 A. 750 is a ninhydrin print. 12 Q. That’s a ninhydrin print, right? 13 A. That’s correct. 14 Q. Okay. 15 A. It’s 750. 16 Q. And is that the identification of Mr. 17 Jackson’s left thumb on the magazine Hustler “Barely 18 Legal Hard-Core”? 19 A. Right. 317-R, page 54 -- 20 Q. How many -- 21 A. -- Latent 1. 22 Q. How many points of comparison in this 23 exhibit? 24 A. 18 total points. 25 Q. Exhibit 751, is this Gavin Arvizo’s left 26 middle finger in the same magazine, Hustler “Barely 27 Legal Hard-Core”? 28 A. Page 52, marked Latent 1. 3688 1 Q. And how many individualizing characteristics 2 did you find there? 3 A. We had 21 detailed. 4 Q. 21? 5 A. 21. 6 Q. 752, please. Is this Gavin Arvizo’s left 7 middle finger found on the magazine Hustler “Barely 8 Legal Hard-Core,” Sheriff’s Item 317-L? 9 A. That’s correct, Latent 2, page 92. 10 Q. How many individualizing characteristics did 11 you find in that? 12 A. 13. 13 Q. 13? 14 A. 13. 15 Q. Exhibit 753, please. It appears to depict 16 Gavin Arvizo’s left index finger, Sheriff’s Item 17 317-R, Hustler “Barely Legal Hard-Core.” 18 A. Correct. Page 92, marked Latent No. 4. 19 Q. And how many individualizing characteristics 20 did you find on that print? 21 A. 14 total. 22 Q. Proceed to Exhibit 753, please -- 54, 23 please. Is that next in order? Does that depict 24 the defendant’s right thumb on the magazine 25 Penthouse, Sheriff’s Item 317-S? 26 A. Correct, page 63, Latent No. 1. 27 Q. And how many individualizing characteristics 28 are in that? 3689 1 A. 16 total. 2 Q. 16? 3 A. One-six. 4 Q. Exhibit No. 755, please. And is that also 5 the defendant’s finger in Item 317-S, Penthouse? 6 A. Yes, sir, page 87, latent -- marked Latent 7 No. 1. 8 Q. And how many individualizing characteristics 9 in that print? 10 A. 21. 11 Q. Exhibit No. 756, please? 12 A. I have it. 13 Q. Okay. Is that the defendant’s left thumb in 14 the magazine “Visions of Fantasy”? 15 A. “Visions of Fantasy, Hard-Rock Affair,” page 16 three, marked Latent No. 1, and we had again 21 17 points. 18 Q. Okay. Item 757, please. Is that Gavin 19 Arvizo’s right middle finger in the magazine 20 “Visions of Fantasy,” or did I not -- 21 A. I don’t think you changed it. We need 758. 22 Q. That’s where we are. 23 A. Item 317-YY is “Al Goldstein’s 100 Best 24 Adult Videos.” It was from page A, marked Latent 25 No. 1. And it’s the left index finger of Gavin 26 Arvizo. We had 18 total points. 27 Q. Is 757 right under that exhibit? 28 A. It’s right here. 3690 1 Q. Okay. Let’s do 757, then. 2 A. Okay. 757 is from Item 317-U, union, page 3 ten, marked Latent No. 1. 4 Q. That would be Gavin Arvizo’s right middle 5 finger? 6 A. That’s correct, sir. 7 Q. And how many individualizing characteristics 8 in Exhibit 757? 9 A. 20. 10 Q. 20. Is 759 next on that stack? 11 A. Correct. 12 Q. Okay. And is that the defendant’s right 13 thumb on page three of Item 321-A, “Playboy Special 14 Edition, Girlfriends”? 15 A. Yes, sir, it is. 16 Q. And how many individualizing characteristics 17 in that exhibit, please? 18 A. 26. 19 Q. 26. Proceed to Exhibit 760, please. 20 A. I have 760. 21 Q. Is that also the defendant’s right thumb in 22 the same magazine at page 29? 23 A. Yes, it is, sir. 24 Q. And how many points of comparison in that 25 exhibit? 26 A. Approximately 30. 27 Q. Can we go to Exhibit 761, please? 28 A. I have it. 3691 1 Q. Exhibit 761, is that a positive 2 identification of the defendant’s left thumb on the 3 magazine “Girls of Barely Legal”? 4 A. Correct. Item 321-E, page one, Latent 1. 5 Q. And how many individualizing characteristics 6 in that diagram? 7 A. 24. 8 Q. Exhibit 762, please. And is that also the 9 defendant’s right thumb in the same magazine at page 10 seven? 11 A. Page seven, marked Latent No. 1. 12 Q. How many individualizing characteristics in 13 that? 14 A. 19, 1-9. 15 Q. Exhibit 763, please. 16 This is Mr. Jackson’s right thumb on the 17 magazine “Finally Legal”? 18 A. Yes, sir. 19 Q. And how many individualizing characteristics 20 on that exhibit? 21 A. 16. 22 Q. Is this also the exhibit that got switched 23 into a different binder when it left your lab? 24 A. Yes, sir, it was. 25 MR. SANGER: Well, I would object and move 26 to strike as being a leading question. 27 THE COURT: Sustained. Stricken. 28 Q. BY MR. NICOLA: Why does the picture say 3692 1 “321-D”? 2 A. The picture says “321-D” because when it 3 left the Santa Barbara lab, it was evidently 4 switched and mismarked with Item 321-F, Frank. When 5 it got to Santa Maria, they relied on that 6 identification when they did the photodocumentation 7 placard, so the placard would show on the whole 8 picture the Item No. 321-D, not F, Frank. 9 Q. Did you verify that you made the right 10 comparison? 11 A. Yes, I did. 12 Q. And this is a photograph from which 13 magazine, which page? 14 A. This would be a photograph from a magazine 15 which was originally 321-F, Frank, and the one that 16 was mislabeled, and the one that Detective Sutcliffe 17 and I depict was relied on that label when they did 18 the photography. 19 Q. Is there a woman’s face in that Scenescope 20 image? Do you see the side of her face? 21 A. No. It must be the angle, sir. 22 Q. Is Exhibit 764 next? 23 A. That’s correct. 764. 24 Q. Okay. And is that Mr. Jackson’s right thumb 25 on the magazine “Club International,” March ‘98? 26 A. Correct. Item 363-M, Mary, page 57, Latent 27 No. 2. 28 Q. And how many individualizing characteristics 3693 1 in that one? 2 A. 19. 3 Q. 19. 4 That’s the end of the exhibits, Your Honor. 5 Sergeant Spinner, on how many occasions did 6 you review the fingerprint identifications that you 7 made in this case? 8 A. Several. 9 Q. And why did you do that? 10 A. I usually review my work after it’s 11 completed to make sure there’s no problem, something 12 that was either missed, just to make sure that 13 there’s no problems in the future. And I’ll again 14 review them before I go to court. 15 Q. Okay. If there is an issue in your mind 16 about an identification, what is your habit and 17 custom? 18 A. I will correct -- if there is a problem, 19 I’ll make every effort to correct that problem. 20 Q. And how would you do that? 21 A. Write a report describing the issue at hand 22 and what should be done, or what action should be 23 taken or was taken. 24 Q. Would you testify to a fingerprint that you 25 had issues with? 26 A. No. 27 Q. In this case, did you have issues with a 28 fingerprint? 3694 1 A. Yes, I did. 2 Q. Do you recall which one it was? 3 A. I believe it was off of Item No. 317-O, 4 ocean. It was a thumbprint belonging to Mr. Jackson 5 which was fraught with problems. 6 Q. Okay. Is that the thumbprint that you 7 testified in court today matched Mr. Jackson’s 8 thumb? 9 A. No, it is not. 10 Q. With respect to the other print, what did 11 you do to remedy the situation that you had with it? 12 A. The thumbprint? 13 Q. Yes. 14 A. Yes, sir, I wrote a report changing the 15 classification of the print from an identification 16 to an inconclusive identification. 17 Q. Did you engage in a peer review of the 18 fingerprints that you’ve identified today in court 19 under oath? 20 A. Yes, I did. 21 Q. And how many people reviewed those findings? 22 A. Two additional people. 23 Q. Please explain to the jury what the function 24 of a peer review is. 25 A. A peer review is basically an extension of 26 the ACE-V protocol methodology for fingerprints. 27 It’s also something recognized by a group known as 28 SWGFST, which is a scientific working group for 3695 1 fingerprint work, and they have published guidelines 2 in the past. And it’s basically a way to verify 3 what an individual has done and to kind of like -- 4 in a way, it would be like a blind test to see 5 whether any problems were encountered, or whether 6 there was a different way of doing things, or 7 whether the identifications which were made are 8 correct, and get any feedback from that individual, 9 maybe a different way of doing something or 10 different way of handling a situation. 11 Q. And -- you mentioned it’s sort of a blind 12 test. How does a peer review function? 13 A. The latent prints and the purported matches 14 would be sent to an individual without any marks on 15 them whatsoever, and just questions asked, “Do you 16 agree or disagree?” 17 Q. Okay. And who did you use for the peer 18 reviews in this case? 19 A. Initially -- I.D. technician Hemman was off 20 on maternity leave at the time we did this. I used 21 Identification Technician Mike Allmeyer from the 22 Santa Barbara Police Department for the initial. 23 Q. Have you known him for some time? 24 A. Yes, I have. 25 Q. What does he do with the Santa Barbara 26 Police Department? 27 A. He’s an identification technician in their 28 lab. 3696 1 Q. How long were you professionally affiliated 2 with him? 3 A. Since he came to work for the sheriff’s 4 office initially, and then he went from the 5 sheriff’s office to the police department. I was 6 going to guess about 13, 14 years. 7 Q. I’m going to start going through some 8 magazines with you, if that’s all right. 9 Did you process - and I’m talking “process,” 10 photograph, slice, and direct to be bagged - all the 11 magazines that came to you during the Michael 12 Jackson case? 13 A. That’s correct, sir. 14 MR. NICOLA: Okay. I’m going to go through 15 these exhibits. And hopefully we’ll do it very 16 quickly, Your Honor. 17 May I inquire from the well, Your Honor? 18 It’s quite a bit. 19 THE COURT: It’s a problem for people to 20 hear. So you can try it, but if they can’t hear -- 21 MR. NICOLA: May I try that, Your Honor? 22 THE COURT: You can try. 23 MR. NICOLA: Okay. 24 THE BAILIFF: Don’t get it too close to that 25 other one. 26 MR. NICOLA: Do you have a paper clip or 27 something that I could.... 28 Q. I’m going to hand you Exhibit 542, marked 3697 1 Sheriff’s Item 363-M. 2 Is that one of the magazines that you 3 processed and had placed in plastic sleeves? 4 A. Yes, it is, sir. 5 MR. NICOLA: Your Honor, we’d move this 6 exhibit into evidence. 7 THE COURT: It’s admitted. 8 Q. BY MR. NICOLA: Exhibit 541? And I 9 apologize, these are not going to be in order. What 10 is that magazine? 11 A. It’s Item No. 360-L, and it’s a Plumpers 12 magazine. 13 Q. Is that one of the magazines that you 14 processed, cut, placed in plastics sleeves? 15 A. Yes. 16 MR. NICOLA: We’d move 541 into evidence. 17 THE BAILIFF: You’re going to end up getting 18 feedback if you put that microphone too close to 19 that one. 20 MR. NICOLA: He did it. 21 THE BAILIFF: You can use it, but not that 22 close. 23 MR. NICOLA: Okay. 541’s been admitted, 24 Judge? 25 THE COURT: It’s admitted. 26 Q. BY MR. NICOLA: Exhibit 540? 27 A. Yes, sir, this is Item No. 363-K, king. 28 Q. Is that one of the magazines you processed, 3698 1 super glued, placed in -- 2 A. Sliced and diced, yes, sir. 3 MR. NICOLA: Move 540 into evidence. 4 THE COURT: It’s admitted. 5 Q. BY MR. NICOLA: Exhibit 539, Item 6 -- Item 6 363-J. Did you process, super glue, fume, place in 7 plastic sleeves that exhibit? 8 A. Yes, sir, I did. 9 MR. NICOLA: Move 539 in evidence, sir. 10 THE COURT: It’s admitted. 11 MR. NICOLA: Exhibit 538, Item 363-I. 12 Similarly, did you process that magazine, Sergeant? 13 A. Yes, I did. 14 MR. NICOLA: Move 538 into evidence, Your 15 Honor. 16 THE COURT: It’s admitted. 17 Q. BY MR. NICOLA: Exhibit 537, which sheriff’s 18 item is that? 19 A. That is 363-H, Henry. 20 Q. Did you process -- did you look at it? 21 A. Yes, sir. 22 Q. Did you process that item as well? 23 A. Yes, I did. 24 Q. MR. NICOLA: Move that into evidence, Your 25 Honor. 26 THE COURT: It’s admitted. 27 Q. BY MR. NICOLA: Exhibit 536, Item 363-G, as 28 in “golf,” did you process that item? 3699 1 A. Yes, I did, sir. 2 MR. NICOLA: Move it into evidence, Your 3 Honor. 4 THE COURT: It’s admitted. 5 Q. BY MR. NICOLA: I’m handing you Exhibit 535. 6 A. It’s 363-F, Frank. 7 Q. Did you process that item? 8 A. Yes, sir, I did. 9 MR. NICOLA: Move it into evidence, Your 10 Honor. 11 THE COURT: It’s admitted. 12 Q. BY MR. NICOLA: Exhibit 534, please. 13 A. 363-E, Edward. 14 Q. Did you process that item? 15 A. Yes, I did. 16 MR. NICOLA: Move it into evidence, Your 17 Honor. 18 THE COURT: It’s admitted. 19 Q. BY MR. NICOLA: Exhibit 532? 20 A. 363-C, Charles. 21 MR. NICOLA: Move that into evidence, Your 22 Honor. 23 Q. Did you process this? 24 A. Yes, I did. 25 MR. NICOLA: May we move it into evidence, 26 Your Honor? 27 THE COURT: It’s admitted. 28 Q. BY MR. NICOLA: 533, did you process that 3700 1 item? 2 A. Yes, I did. 363-D, David. 3 MR. NICOLA: Move that into evidence, Your 4 Honor. 5 THE COURT: It’s admitted. 6 Q. BY MR. NICOLA: Exhibit 531? 7 A. It’s 363-B, boy. 8 Q. Did you process that item? 9 A. Yes, I did. 10 MR. NICOLA: Move that into evidence, Your 11 Honor. 12 THE COURT: It’s admitted. 13 Q. BY MR. NICOLA: Next I’m handing you Exhibit 14 530. 15 A. 363-A, Adam. 16 Q. Did you process that item? 17 A. Yes, I did. 18 MR. NICOLA: Move it into evidence, Your 19 Honor. 20 THE COURT: It’s admitted. 21 MR. NICOLA: May I have just a moment to 22 restack? 23 Q. Picking up with Item Exhibit No. 543. 24 A. Item 363-N, Nora. I processed this. 25 MR. NICOLA: Move that into evidence, Your 26 Honor. 27 THE COURT: It’s admitted. 28 Q. BY MR. NICOLA: Exhibit 544? 3701 1 A. It’s Item 363-O, ocean. 2 Q. Did you process that one? 3 A. Yes, I did. 4 MR. NICOLA: Move it into evidence, Your 5 Honor. 6 THE COURT: It’s admitted. 7 Q. BY MR. NICOLA: Exhibit 545? 8 A. Item 363-P, Paul. I processed this. 9 MR. NICOLA: We’d move that into evidence, 10 Your Honor. 11 THE COURT: It’s admitted. 12 Q. BY MR. NICOLA: Why don’t you pull that out 13 for just a second. Inside the front cover there’s a 14 little placard, isn’t there? 15 A. This is the photo slip I used to mark it, 16 mark the magazine when I took the original 17 photograph. 18 Q. Just hold that up for the jury. 19 A. I created this little slip when I took the 20 original photographs of it so they could -- the 21 photographs could be filed correctly, the correct 22 item number, when they were put in the computer and 23 retained as evidence. 24 Q. And that’s kept loosely in the binder? 25 A. Yes, it is. 26 Q. Is that how 321-D and F got switched at some 27 point? 28 A. I would -- 3702 1 MR. SANGER: I’m going to object. That’s a 2 leading question. 3 MR. NICOLA: I’ll withdraw it. 4 THE COURT: Sustained. 5 Q. BY MR. NICOLA: Exhibit 546? 6 A. This is Item No. 636-Q, queen. And I did 7 process this item. 8 Q. You did the same thing I did. 9 A. 363, excuse me. 10 MR. NICOLA: Move that into evidence, Your 11 Honor. 12 THE COURT: 546 is admitted. 13 Q. BY MR. NICOLA: Exhibit 547? 14 A. 363-R, Robert. Yes, I processed this. 15 MR. NICOLA: We’d like to move that into 16 evidence as well, Your Honor. 17 THE COURT: 547 is admitted. 18 Q. BY MR. NICOLA: Exhibit 548? 19 A. This is Item No. 363-S, Sam. 20 Q. Did you process that item? 21 A. Yes, I did. 22 MR. NICOLA: We’d like to move that into 23 evidence, Your Honor. 24 THE COURT: 548 is admitted. 25 Q. BY MR. NICOLA: 549 is next. 26 A. Item No. 363-T, Tom. 27 Q. Did you process that exhibit? 28 A. Yes, I did. 3703 1 MR. NICOLA: We’d like to move that into 2 evidence, Your Honor. 3 THE COURT: It’s admitted. 4 Q. BY MR. NICOLA: Exhibit 550. 5 A. Item 363-U, union, processed. 6 Q. By you? 7 A. I did process it, yes. 8 MR. NICOLA: Move that into evidence, Your 9 Honor. 10 THE COURT: It’s admitted. 11 Q. BY MR. NICOLA: Exhibit 551? 12 A. 363-V, Victor, and I did process this item. 13 MR. NICOLA: We’d like to move that into 14 evidence, Your Honor. 15 THE COURT: It’s admitted. 16 MR. NICOLA: If I may take a moment. 17 Q. I’ll show you Exhibit 580. 18 THE COURT: All right. We’re going to take 19 our break, five minutes early. 20 (Recess taken.) 21 THE BAILIFF: Remain seated and come 22 together. 23 (Laughter.) 24 THE BAILIFF: I don’t think you can top 25 that. 26 THE COURT: She must already be at Easter 27 service. 28 THE BAILIFF: I’m going to sit down right 3704 1 now. 2 THE COURT: Go ahead. 3 MR. NICOLA: Thank you, Judge. 4 Q. I’ve placed in front of you a bag marked 5 Evidence Item 716. Do you recognize that? 6 A. Yes. This is the magazine, Sheriff’s 7 Evidence Item 1002, along with the original evidence 8 bag which it was received in when I got it, and I 9 rebooked both items under 1002 and 1002-A. 10 Q. Can you take the contents of 7 -- 716, the 11 contents, each have individual exhibits numbers, 12 please? 13 A. That’s correct. One is 587 and 586. 14 Q. And what is Exhibit 587? 15 A. 587 is Sheriff’s Evidence Item 1002, which I 16 processed. 17 MR. NICOLA: We’ve move 587 into evidence, 18 Your Honor. 19 THE COURT: It’s admitted. 20 Q. BY MR. NICOLA: And Exhibit No. 586, that is 21 what, Detective Spinner? 22 A. This is the original evidence bag this item 23 was in when I obtained it from the property room. 24 MR. NICOLA: We would move that into 25 evidence. 26 THE COURT: It’s admitted. 27 MR. NICOLA: And we would also move 716 into 28 evidence. 3705 1 THE COURT: What is that? 2 Q. BY MR. NICOLA: Would you describe 716 one 3 more time for the Court? 4 A. Item 716 is a brown evidence bag containing 5 Sheriff’s Evidence Item No. 1002 and 1002-A. The 6 002 item is the magazine itself, and the 002-A is 7 the original bag that it was -- that I received it 8 in when I got it out of the property room to process 9 it. 10 THE COURT: All right. That’s admitted. 11 MR. NICOLA: Thank you, Your Honor. 12 Q. Next we have Exhibit 174, which is a bag 13 that contains Exhibit 585 and Exhibit 584. Sergeant 14 Spinner, do you recognize these items? 15 (Laughter.) 16 MR. NICOLA: You missed it. 17 THE BAILIFF: That’s why you don’t go in the 18 well. 19 Q. BY MR. NICOLA: Okay. What is Exhibit 714? 20 A. 714 is an evidence bag in which I returned 21 Item 1001, which is Exhibit 585, back to the 22 property room, along with the original bag, evidence 23 bag, that I got the evidence item from, and I 24 checked it out of the property room, which is 25 Evidence Item 584. 26 MR. NICOLA: We’d move those into evidence, 27 Your Honor. 28 (Laughter.) 3706 1 THE COURT: They’re admitted. 2 MR. NICOLA: We’d also move 714 into 3 evidence, Your Honor. 4 THE COURT: It’s admitted. 5 MR. NICOLA: Thank you. Too much sugar at 6 lunch. 7 Q. Exhibit 580, please. 8 THE COURT: Now you know why the rest of the 9 attorneys stay behind counsel table. 10 (Laughter.) 11 THE COURT: Go ahead, Counsel. 12 MR. NICOLA: Yes, I do. 13 Q. Do you recognize -- 14 A. This is the original evidence bag in which I 15 got Item -- Sheriff’s Item 306 out of the property 16 room, and I started processing. And this is the 17 item, magazine, that was inside this evidence bag 18 when I got it out of the property room. Both items 19 were returned in the plastic evidence bag. 20 MR. NICOLA: Okay. Your Honor, we would 21 move, excuse me, 580 into evidence, please. 22 THE COURT: It’s admitted. 23 Q. BY MR. NICOLA: Okay. Showing you Exhibits 24 563 and 564. 25 A. 563 is Sheriff’s Evidence Item 304-C, 26 Charles. 27 Q. Did you process that item? 28 A. Yes, I did, sir. And Exhibit No. 564 is 3707 1 Sheriff’s Evidence Item No. 304-D, David, which I 2 also processed. Both items were returned to the 3 sheriff’s property room by myself in this bag. 4 MR. NICOLA: Okay. We’d move both of those 5 exhibits into evidence, Your Honor. 6 THE COURT: 563 and 564 are admitted. 7 MR. NICOLA: Thank you. 8 Q. Take those out one at a time, please. 9 Exhibit 567 is? 10 A. Sheriff’s Evidence Item 309-B-2, which I 11 processed. 12 MR. NICOLA: We’d like to move that into 13 evidence, Your Honor. 14 THE COURT: It’s admitted. 15 Q. BY MR. NICOLA: Next is Exhibit 566? 16 A. 566 is Sheriff’s Evidence Item No. 301-B-1, 17 which I did process. 18 MR. NICOLA: We’d move that into evidence, 19 Your Honor. 20 THE COURT: 566 is admitted. 21 MR. NICOLA: Thank you. 22 Q. Exhibit No. 554? 23 A. This is Sheriff’s Evidence Item No. 321-A, 24 Adam. 25 Q. You processed that item? 26 A. I processed it or it was processed at my 27 direction. 28 MR. NICOLA: Move that into evidence. 3708 1 THE COURT: 554 is admitted. 2 Q. BY MR. NICOLA: Exhibit 555? 3 A. 555 is Sheriff’s Evidence Item No. 321-B, 4 boy. And it was processed in the lab at my 5 direction. 6 MR. NICOLA: We’d move that into evidence, 7 Your Honor. 8 THE COURT: It’s admitted. 9 Q. BY MR. NICOLA: 321-C? 10 A. 321-C is Sheriff’s Evidence Item No. 321, 11 and 556 is Item No. 321-C, Charles. 12 Q. Processed -- 13 A. Processed at my direction. 14 MR. NICOLA: Move that into evidence, Your 15 Honor. 16 THE COURT: It’s admitted. 17 Q. BY MR. NICOLA: Exhibit 557? 18 A. 557 is Sheriff’s Evidence Item No. 321-D, 19 David. 20 Q. Did you process that item? 21 A. I did or at my direction. 22 Q. Okay. I’d like you to take that back out 23 for a moment, please, and find the placard that was 24 used when you photographed it. I think it’s behind 25 the actual label on the front cover. The front 26 cover. It’s behind that label. 27 MR. SANGER: One of the problems is we can’t 28 see the witness if he’s going to be doing something. 3709 1 MR. NICOLA: How’s this? 2 MR. SANGER: Thank you. 3 Q. BY MR. NICOLA: You could just put that back 4 in the front part. 5 Is this an item that was processed by you or 6 at your direction? 7 A. Yes, sir, it is. 8 MR. NICOLA: We’d move this into evidence, 9 Your Honor. It’s 557. 10 THE COURT: It’s admitted. 11 Q. BY MR. NICOLA: Exhibit No. 321 -- excuse 12 me, Exhibit No. 558? 13 A. 558 is Sheriff’s Evidence Item No. 321-E, 14 Edward. 15 Q. And was that processed by you? 16 A. By me or at my direction. 17 MR. NICOLA: Okay. Move 558 into evidence, 18 Your Honor. 19 THE COURT: It’s admitted. 20 Q. BY MR. NICOLA: Exhibit No. 559? 21 A. 559 is Sheriff’s Evidence Item No. 321-F, 22 Frank. 23 Q. Did you process that? 24 A. Yes, I did. 25 MR. NICOLA: We would move 559 into 26 evidence, Your Honor. 27 THE COURT: It’s admitted. 28 Q. BY MR. NICOLA: Exhibit No. 560, please? 3710 1 A. 560 is Sheriff’s Evidence Item No. 321-G, 2 George. 3 Q. Did you process that item? 4 A. Yes, I did, or at my direction. 5 MR. NICOLA: We would move 560 into 6 evidence, Your Honor. 7 THE COURT: It’s admitted. 8 MR. SNEDDON: The label must have come off. 9 THE CLERK: Judge, each item is marked inside 10 the book that they’re looking at. They’re looking 11 for an exhibit tag. 12 Mr. Nicola, that notebook, each item is 13 marked inside the notebook. 14 MR. NICOLA: Are they? 15 Q. Sergeant Spinner, for the record, we have a 16 black three-ring binder, with the numbers “317” and 17 the lettering “Combined Items” on the spine. Inside 18 are a number of individual pages with the exhibit 19 numbers. Can you please flip to the first exhibit 20 number, read it out? 21 A. Exhibit No. is 7 -- or correction. 471. 22 Q. Can you flip to the very last page, the last 23 exhibit number? 24 A. This is Exhibit 508. 25 Q. Okay. Can you flip all the way through that 26 binder, tell us whether or not you processed those 27 items? Did you actually make this binder? 28 A. Yes, I compiled this compilation myself in 3711 1 an attempt to not have one binder just for one page. 2 So I put all the individual pages into one binder 3 and marked it as such with the evidence items that 4 were in that binder. And I did that with the front. 5 Q. Okay. Just flip through that. Confirm it’s 6 accurate as to what you’ve done. 7 Your Honor, while he’s doing that, may I 8 move Exhibits 774, 773 and 772 into evidence? They 9 were the three Power Points regarding the print 10 comparisons. 11 THE COURT: All right. They’re admitted. 12 MR. NICOLA: We would also like to move 13 Exhibit No. 529, which was testified to yesterday by 14 Char Marie, containing Evidence Items 317 and booked 15 into the DOJ Lab, I’d like to move that into 16 evidence. 17 THE COURT: It’s admitted. 18 MR. SANGER: With regard to the description 19 of that item, that’s just the bag; is that right? 20 THE COURT: Yes. 21 MR. NICOLA: Yeah. 22 I’m going to show him these next. 23 Q. Are each of the items, Exhibit Nos. 471 24 through and including 508, items that you processed? 25 A. Yes, they are. 26 MR. NICOLA: Your Honor, we’ve move Exhibit 27 Nos. 471 through 508 into evidence at this time. 28 THE COURT: They’re admitted. 3712 1 Q. BY MR. NICOLA: Handing you Exhibit 511. 2 A. Sheriff’s Evidence Item No. 317-I, Ida, and 3 I did process this. 4 MR. NICOLA: Okay. We would move Exhibit 5 511 into evidence, Your Honor. 6 THE COURT: It’s admitted. 7 Q. BY MR. NICOLA: Exhibit 512? 8 A. Sheriff’s Evidence Item No. 317-K, king, and 9 I did process this item. 10 MR. NICOLA: We would move that into 11 evidence, Your Honor. 12 THE COURT: 512’s admitted. 13 Q. BY MR. NICOLA: Exhibit No 509. 14 A. Sheriff’s Evidence Item No. 317-F, Frank, 15 and I did process this item. 16 MR. NICOLA: We would move that into 17 evidence, Your Honor. 18 THE COURT: It’s admitted. 19 Q. BY MR. NICOLA: 510, please? 20 A. Sheriff’s Evidence Item No. 317-G, George. 21 And I did process this item. 22 MR. NICOLA: We would move that into 23 evidence, Your Honor. 24 THE COURT: It’s admitted. 25 Q. BY MR. NICOLA: 512. 26 We did 511, right? 27 A. 512 is Sheriff’s Evidence Item No. 317-K, 28 king. 3713 1 Q. Did you process that item? 2 A. Yes, I did. 3 MR. NICOLA: We would move 512 into 4 evidence, Your Honor. 5 THE COURT: It’s admitted. 6 Q. BY MR. NICOLA: Exhibit No. 513? 7 A. This is Sheriff’s Evidence Item No. 317-L, 8 Lincoln, and I did process this item. 9 MR. NICOLA: We would move that item into 10 evidence, Your Honor. 11 THE COURT: It’s admitted. 12 Q. BY MR. NICOLA: Exhibit No. 514, please. 13 A. Sheriff’s Evidence Item No. 317-M, Mary, and 14 I did process this item. 15 MR. NICOLA: We’d move that into evidence, 16 Your Honor. 17 THE COURT: It’s admitted. 18 Q. BY MR. NICOLA: Exhibit No. 515? 19 A. Sheriff’s Evidence Item No. 317-O, ocean. 20 Q. Did you process -- 21 A. And I did process this item. 22 MR. NICOLA: We would move this item into 23 evidence, Your Honor. 24 THE COURT: It’s admitted. 25 Q. BY MR. NICOLA: Exhibit No. 516? 26 A. 516 is Sheriff’s Evidence Item No. 317-P, 27 Paul, and I did process this item. 28 MR. NICOLA: We would move 516 into 3714 1 evidence, Your Honor. 2 THE COURT: It’s admitted. 3 Q. BY MR. NICOLA: Exhibit 517, 5-1-7? 4 A. 5-1-7 is Sheriff’s Evidence Item No. 317-Q, 5 queen, and I did process this item. 6 MR. NICOLA: We would move 517 into 7 evidence, Your Honor. 8 THE COURT: It’s admitted. 9 Q. BY MR. NICOLA: Exhibit No. 518, 5-1-8? 10 A. Sheriff’s Item 518 is Item No. 317-R, 11 Robert, and I did process this item. 12 MR. NICOLA: We would move 5-1-8 into 13 evidence, Your Honor. 14 THE COURT: It’s admitted. 15 Q. BY MR. NICOLA: Exhibit No. 519? 16 A. 519 is Sheriff’s Evidence Item No. 317-S, 17 Sam, and I did process this item. 18 MR. NICOLA: Your Honor, we’d like to move 19 519 into evidence. 20 THE COURT: It’s admitted. 21 Q. BY MR. NICOLA: Exhibit 520. Exhibit 520? 22 A. Evidence 520 is Sheriff’s Evidence Item No. 23 317-T, Tom, and I did process this item. 24 MR. NICOLA: We would move 520 into 25 evidence, Your Honor. 26 THE COURT: It’s admitted. 27 Q. BY MR. NICOLA: Exhibit No. 521, please? 28 A. 521 is Sheriff’s Evidence Item No. 317-U, 3715 1 union, and I did process this item. 2 MR. NICOLA: We would move this item into 3 evidence, Your Honor. 4 THE COURT: It’s admitted. 5 Q. BY MR. NICOLA: Exhibit 522? 6 A. 522 is Sheriff’s Evidence Item No. 317-V, 7 Victor, and I did process this item. 8 MR. NICOLA: We would move 522 into 9 evidence, Your Honor. 10 THE COURT: It’s admitted. 11 Q. BY MR. NICOLA: Exhibit No. 523, please? 12 A. No. 523 is Sheriff’s Evidence Item No. 317- 13 William, W. 14 Q. Did you process that item? 15 A. Yes, I did. 16 MR. NICOLA: We’d like to move 523 into 17 evidence, Your Honor. 18 THE COURT: It’s admitted. 19 Q. BY MR. NICOLA: Handing you Exhibit 524. 20 A. 524 is Sheriff’s Item No. 317-X, X-ray, and 21 I did process this item. 22 MR. NICOLA: We’d like to move this item 23 into evidence, Your Honor. 24 THE COURT: 524 is admitted. 25 Q. BY MR. NICOLA: Exhibit No. 525? 26 A. 525 is Sheriff’s Evidence Item No. 317-BB, 27 or boy-boy. 28 MR. NICOLA: I’d like to move 525 into 3716 1 evidence, Your Honor. 2 THE COURT: It’s admitted. 3 Q. BY MR. NICOLA: Exhibit 526? 4 A. 526 is Sheriff’s Evidence Item No. 317-DDD, 5 or David-David-David, and I did process this item. 6 MR. NICOLA: We’d move 526 into evidence, 7 Your Honor. 8 THE COURT: It’s admitted. 9 Q. BY MR. NICOLA: Exhibit 527? 10 A. 527 is Sheriff’s Evidence Item No. 317-EEE, 11 or echo-echo-echo, and I did process this item. 12 MR. NICOLA: We’d move 527 into evidence. 13 THE COURT: It’s admitted. 14 Q. BY MR. NICOLA: Exhibit 528? 15 A. Sheriff’s Item 5-2-8, or 528, is Sheriff’s 16 Item No. 317-FFF, or Frank-Frank-Frank. 17 Q. Did you process that item? 18 A. Yes, I did. 19 MR. NICOLA: We would like to move 528 into 20 evidence, Your Honor. 21 THE COURT: It’s admitted. 22 MR. NICOLA: We admitted 529? 23 THE CLERK: Yes. 24 MR. NICOLA: Good. It’s a wrap for that. 25 Q. I’d like to show you Exhibit No. 775; ask if 26 you recognize what’s depicted on Exhibit 775? 27 A. On 775, there are pictures of fingerprint 28 basic patterns: A plain arch, tented arch, a left 3717 1 slant loop, a right slant loop, a plain whorl, a 2 central pocket loop whorl, double loop whorl, an 3 accidental whorl. 4 MR. NICOLA: Okay. We’d like to move this 5 into evidence, Your Honor, and publish it for the 6 jury. 7 THE COURT: All right. 8 MR. NICOLA: Can we have “Input 4,” Your 9 Honor? 10 Q. Can you explain to the jury what’s in the 11 first six boxes up there? 12 A. In the box where the laser pointer is 13 pointing now is a pattern known as a plain arch 14 pattern. It’s a class characteristic. And the 15 ridges in a plain arch will flow in from one side, 16 go through the arch pattern and out the other side. 17 They do not re-curve or turn in any way. 18 Q. What’s next? 19 A. On the next one is what we call a tented 20 arch pattern. In this pattern, the ridges again 21 will come in, flow through the pattern and come out. 22 However, there will be some ridges which will come 23 in either from the left or the right and will go 24 into a vertical, or a near vertical, and the ridge 25 end at that point, causing a tent to occur and the 26 ridges that flow over that particular ending ridge. 27 Q. Okay. Another example of a Class I 28 characteristic? 3718 1 A. Yes, sir. 2 Q. What’s next? 3 A. Next is a loop, where the ridges come in, in 4 this case they come in from the left, go up through 5 the pattern, re-curve, and go back out to the left. 6 There’s -- and then you have ridges that 7 start on the other side, come all the way through 8 and go through to the left. And then you have 9 ridges that come through the left and go under the 10 re-curving pattern. And you have in this position, 11 about right here, what they call a delta or a 12 tri-radius, where the ridges flow up and over. They 13 flow around and they come under, so it’s what they 14 call a tri-radius, but it’s what they refer to also 15 as a delta. 16 Q. Okay. Is there another kind of Class I 17 characteristic up there? 18 A. If you go to the -- let me explain one 19 thing. As far as the loop goes, I use the term 20 “left slant.” Prior to computers and computer 21 matching, loop patterns were called “ulnar” or 22 “radial” if they opened toward the thumb or the 23 little finger, for the bones in the arm, ulnar bone, 24 radial bone. 25 Now computers won’t recognize bones, so the 26 people who have built the programs, we now call them 27 “left slant” and “right slant” so everybody’s 28 talking about the same thing, because there’s no way 3719 1 to tell without seeing four, five patterns in a row 2 to know which way the arches actually flow or the 3 loops actually flow. 4 Okay. On top we have a plain whorl. In 5 this case, you have a delta at this location and a 6 delta at this location. Whorls have two deltas, and 7 then the center ridge flow goes in a circular manner 8 or angle, something like what I refer to as a 9 hurricane. They just go around. 10 And the next one down, we have what we call 11 a central pocket loop whorl, in which we have a 12 delta inside the pattern area, about where my laser 13 pointer is, and we have another delta at this 14 particular point creating the two-delta requirement 15 for a whorl. To have a central pocket loop whorl, 16 you have to have a re-curve under the center core 17 area, but that re-curve could not be cut by a line 18 which is drawn between the left-hand delta and the 19 right-hand delta. 20 On the bottom right, we have what we call a 21 double loop whorl, in which case we have two 22 re-curving patterns, one right here and we have one 23 right here. Two separate patterns. We have two 24 loops. So we call it a double loop whorl, because 25 you have two loops within the pattern, plus the two 26 deltas. 27 Q. There are two more examples on this exhibit. 28 A. On the bottom left, we have what we call 3720 1 right slant loop, again because the ridges come in 2 from the right, flow in, re-curve, and flow out. We 3 have the ridges coming in on the left going up over 4 the re-curve and out the other side, and then we 5 have our delta right at this location where the 6 ridges come down and separate. And there would be 7 more ridges under it if the picture was complete. 8 Q. Okay. 9 A. On the right side, we have what we call an 10 accidental whorl, which has, in most cases, three 11 delta areas. You have one right here, one right 12 here, and one right here, and we have two distinct 13 pattern types. This, if I could, it looks like it 14 has either an upthrust or a re-curve, and we have a 15 re-curve here. So you’d have delta, delta, delta, 16 possibly tented arch, and then you would have a 17 looping pattern, or you have a looping pattern and a 18 looping pattern. 19 Q. Okay. Are there more kinds of Class I 20 characteristics that are just not on this sheet of 21 paper? 22 A. No, those are the basic Class I 23 characteristics for fingerprints. There’s four 24 whorl types, two arch types, and two loop types. 25 MR. NICOLA: Okay. Thank you, Sergeant 26 Spinner. 27 Your Honor, I have no further questions. 28 THE COURT: Counsel? 3721 1 MR. SANGER: Thank you. 2 THE COURT: You don’t need to start. I 3 can’t take any more. 4 (Laughter.) 5 A JUROR: Good. 6 THE COURT: Good. Let me -- just before I 7 release you, remember, tomorrow morning we’ll -- 8 THE JURY: (In unison) Tomorrow? 9 THE COURT: I mean Monday morning. Do you 10 want to work tomorrow? 11 THE JURY: (In unison) No. 12 THE COURT: Monday morning, 11:30. 13 MR. AUCHINCLOSS: Your Honor, I’m sorry. 14 There was just one exhibit that we wanted to admit, 15 769. 16 THE COURT: Let’s do it later. We’re past 17 that. We’re on our way. 18 I want to give you another special admonition 19 at this point. I’ve tried to remind you as we go 20 along through the week, but it’s important. 21 It’s extremely important that you don’t read 22 any newspaper accounts or watch television or listen 23 to the radio concerning this case. We’re at a point 24 in the case where the news media is not restricted 25 anymore from reporting pretty much almost entirely. 26 There’s just a few restrictions. So there’s a lot 27 of things they could report that’s not for you to 28 know about. 3722 1 That’s frankly what it’s about. There’s 2 things that jurors are not to know when they reach 3 their decision. And those are the things that we 4 discuss out of your presence, and it would be 5 extremely unfortunate if you got that information 6 from somewhere else. But I trust you not to do 7 that, and that’s why the restrictions don’t exist 8 anymore, because I do trust you not to do that. 9 And I did mention to you to have some family 10 member collect those items. You know, they can 11 collect the newspaper articles, and they can record 12 television programs, and you’ll be, you know, very 13 interested, I’m sure, when it’s over to read all 14 that and have that. So I hope you have somebody 15 doing that for you, but they’re not to relate those 16 things to you now. 17 Again, you can’t talk to anybody about the 18 case, including each other. It’s extremely 19 important that you not do that. I’ve said before 20 that the community is watching. I don’t mean people 21 are spying on you. That’s not the case at all. But 22 the community is watching to see how the Court and 23 the jurors, the attorneys, the witnesses behave in 24 this case. 25 And in that regard, I want to address 26 particularly family members, because, you know, 27 family members feel that they have an exception to 28 the rule. You know, “Well, you’re not supposed to 3723 1 discuss the case with anyone but me,” you know. 2 And I like to joke about that and say, this 3 is the one time that you have the opportunity to 4 hold something over your spouse, you know, your 5 special other, your children, and say, “No,” you 6 know, “I’m not going to talk to you about this and 7 you’re not to talk to me about this. And I know 8 you’re watching television when I’m not here, and I 9 know you’re getting this information, but that’s for 10 you to keep to yourself.” 11 And it’s been important that you draw this 12 hard line with your family, because that’s the 13 place. It’s not some stranger that’s going to walk 14 up to you and say, “Did you know what they had on 15 T.V. the other day?” It’s going to be someone close 16 to you. 17 So if they do that, you know, you need to 18 demonstrate your strength and tell them, “No, don’t 19 talk to me about this. The Judge has said we’re not 20 to talk about it, and I don’t want to hear it about 21 it, and if you keep doing it, I’m going to kick you 22 out of the house” -- no, don’t say that. But you 23 know what I mean. Be firm with them. 24 And I do like to hear laughter in the 25 courtroom. I’ll see you all Monday morning. 26 THE JURY: (In unison) Thank you. 27 (The proceedings adjourned at 2:15 p.m.) 28 --o0o-- 3724 1 REPORTER’S CERTIFICATE 2 3 4 THE PEOPLE OF THE STATE ) 5 OF CALIFORNIA, ) 6 Plaintiff, ) 7 -vs- ) No. 1133603 8 MICHAEL JOE JACKSON, ) 9 Defendant. ) 10 11 12 I, MICHELE MATTSON McNEIL, RPR, CRR, 13 CSR #3304, Official Court Reporter, do hereby 14 certify: 15 That the foregoing pages 3606 through 3724 16 contain a true and correct transcript of the 17 proceedings had in the within and above-entitled 18 matter as by me taken down in shorthand writing at 19 said proceedings on March 25, 2005, and thereafter 20 reduced to typewriting by computer-aided 21 transcription under my direction. 22 DATED: Santa Maria, California, 23 March 25, 2005. 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 3725