7972 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 THURSDAY, APRIL 28, 2005 20 21 8:38 A.M. 22 23 (PAGES 7972 THROUGH 8028) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 7972 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 1112 Santa Barbara Street 8 Santa Barbara, California 93101 9 10 11 For Defendant: COLLINS, MESEREAU, REDDOCK & YU BY: THOMAS A. MESEREAU, JR., ESQ. 12 -and- SUSAN C. YU, ESQ. 13 1875 Century Park East, Suite 700 Los Angeles, California 90067 14 -and- 15 SANGER & SWYSEN 16 BY: ROBERT M. SANGER, ESQ. 233 East Carrillo Street, Suite C 17 Santa Barbara, California 93101 18 19 20 21 22 23 24 25 26 27 28 7973 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. 7 8 9 PLAINTIFF'S WITNESSES DIRECT CROSS REDIRECT RECROSS 10 11 JACKSON, Deborah Rowe 7977-Z 7988-M 12 (Contd.) 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 7974 1 Santa Maria, California 2 Thursday, April 28, 2005 3 8:38 a.m. 4 5 (The following proceedings were held in 6 open court outside the presence and hearing of the 7 jury:) 8 9 THE COURT: Good morning, everyone. 10 COUNSEL AT COUNSEL TABLE: (In unison) 11 Good morning. 12 THE COURT: The reason I came in without the 13 jury is I was provided with a motion to strike the 14 testimony of Debbie Rowe this morning. 15 I assumed you anticipated I would take that 16 up at this moment. Or did you not? 17 MR. SANGER: We hoped you would, if you 18 would give us the time to do it, Your Honor. 19 THE COURT: Here's my sense of it: She 20 hasn't testified long enough for me to know, really, 21 what she's going to say, or anyone else. And your 22 motion might be well-taken. It might not. But I -- 23 I understand what she said yesterday, but I don't 24 really understand what she has to say today. So I 25 would want to really hear more testimony, I think. 26 MR. SANGER: Very well. Well, we briefed 27 it, and Your Honor understands our position. 28 THE COURT: I understand your position. 7975 1 I just think the -- she barely got started 2 yesterday. I mean, I really -- I think I'd have to 3 let it -- well, I would have to know more about what 4 she says than what I know already to know whether or 5 not your motion is well-taken. 6 MR. SANGER: Well, my concern was -- if I 7 may, my concern was to raise it at the earliest 8 possible moment -- 9 THE COURT: I know. 10 MR. SANGER: -- because if it goes too long, 11 then we get into a position where it's hard to undo 12 it. And if -- 13 THE COURT: I understand that, but -- 14 MR. SANGER: I'm not arguing with the Court. 15 THE COURT: Okay. 16 MR. SANGER: I just want to let you know why 17 I think -- whenever you feel -- 18 THE COURT: There is another side of the 19 coin, though. I let the testimony in based on their 20 representations in their written materials, which -- 21 if the testimony is the exact opposite, I mean, 22 isn't that the testimony that would be relevant to 23 your side of the case? 24 MR. SANGER: Yes and no. And the problem -- 25 I understand that. And we thought about it, but the 26 problem is that this will then lead to a tremendous 27 amount of other collateral testimony to put whatever 28 it is in context. 7976 1 THE COURT: Okay. 2 MR. SANGER: And that's my concern. If we 3 go too far down the road, then we pretty much are 4 committed to doing the whole thing. 5 THE COURT: Okay. Well, let's go further 6 down the road before -- 7 MR. SANGER: Thank you. 8 THE COURT: Is there anything you -- you 9 didn't get to say anything. I assume -- 10 MR. ZONEN: Nor am I requesting to. 11 THE COURT: Huh? 12 MR. ZONEN: Nor am I requesting to. 13 THE COURT: Okay. 14 15 (The following proceedings were held in 16 open court in the presence and hearing of the 17 jury:) 18 19 THE COURT: I already said good morning to 20 everyone else, so I'll say good morning to you. 21 THE JURY: (In unison) Good morning. 22 THE COURT: You may proceed. 23 MR. ZONEN: Thank you. 24 25 DIRECT EXAMINATION (Continued) 26 BY MR. ZONEN: 27 Q. Miss Rowe, good morning. 28 A. Good morning. 7977 1 Q. We left off, we were discussing the 2 interview that you had back in February of 2003 at 3 Marc Schaffel's home in Calabasas. And you recall 4 that interview, do you not? 5 A. Yes. 6 Q. And I believe that you had testified 7 yesterday that you were at his residence for some 8 time over nine or ten hours; is that correct? 9 A. Yes. 10 Q. Approximately how long were you at his 11 residence? 12 A. We started early in the morning and finished 13 around 9:00, 10:00 at night. 14 Q. Was your attorney there the entire time? 15 A. Yes. 16 Q. Was she in your presence the entire time? 17 A. No, she was not. 18 Q. Were there times when you were separated 19 from her? 20 A. Yes. 21 Q. All right. What was the purpose of that? 22 A. To -- I didn't want to see the interviewer 23 before the interview. And the best way to do that 24 was to leave where everything was that was happening 25 in the living room off to the side of the main 26 entrance of the house, so Mr. Schaffel and I went 27 upstairs in his office. 28 Q. And did you have a conversation with Mr. 7978 1 Schaffel at that time? 2 A. Yes. 3 Q. Did you discuss the interview? 4 A. No. 5 Q. At some point in time, did you take a look 6 at a script? 7 A. No. 8 MR. MESEREAU: Objection; leading. 9 THE COURT: Overruled. The answer was, “No.” 10 Q. BY MR. ZONEN: All right. At some point in 11 time, did you see one in somebody else's possession? 12 MR. MESEREAU: Objection; leading. 13 THE COURT: Overruled. 14 THE WITNESS: Mr. Drew had questions; I 15 assume they were questions. He had a number of 16 pages and asked if I wanted to see them. And I said 17 no. 18 Q. BY MR. ZONEN: Do you know how many 19 questions were on that script? 20 A. He told me 105. 21 Q. Do you know if he went over all of those 22 questions during the course of that interview? 23 A. My understanding is we did. 24 Q. And the number of hours that you spent in 25 actual interview was approximately what? 26 A. Nine. 27 Q. Was Mr. Schaffel there the entire time? 28 A. Yes. 7979 1 Q. Was Mr. Schaffel saying anything during that 2 time? 3 A. He was hearing sounds in the background, 4 thought it was being picked up on audio, wanted to 5 change what the back -- 6 MR. MESEREAU: Objection; hearsay. 7 THE COURT: Overruled. 8 Q. BY MR. ZONEN: Go ahead. 9 A. Wanted to make sure what the background 10 looked like and everything. He occasionally -- not 11 “occasionally,” frequently would interject to 12 rephrase a question or an answer. And I told him if 13 that did not -- 14 MR. MESEREAU: Objection. Nonresponsive; 15 narrative. 16 THE COURT: Sustained at this point. 17 Q. BY MR. ZONEN: Tell us specifically what he 18 said to you with regards to either questions or 19 answers. 20 MR. MESEREAU: Objection. Calls for a 21 narrative; hearsay; foundation. 22 THE COURT: Sustained as to narrative. 23 MR. ZONEN: All right. 24 Q. Tell us if he -- let me change that. 25 With regards to answers to your questions, 26 did he make any comments as to answers to your 27 questions? 28 A. Yes. 7980 1 Q. What kinds of comments did he make? 2 A. He -- 3 MR. MESEREAU: Objection. Vague; 4 foundation; calls for a narrative. 5 THE COURT: Overruled. 6 Q. BY MR. ZONEN: Go ahead and answer the 7 question, if you recall. 8 A. He would ask me if I would rephrase an 9 answer or he would ask Mr. Drew to rephrase a 10 question. 11 Q. And what types of questions or answers would 12 he ask you to rephrase? 13 MR. MESEREAU: Objection; vague. 14 THE COURT: Sustained. 15 Q. BY MR. ZONEN: Do you remember any specific 16 questions that he asked you to rephrase? 17 MR. MESEREAU: Objection. Misstates the 18 evidence and vague. 19 THE COURT: Overruled. 20 You may answer. 21 Q. BY MR. ZONEN: You can answer. 22 A. I don't remember a specific -- there were so 23 many, I don't remember any specific. I remember at 24 the end he wanted us to add stuff to clarify what he 25 thought might be misunderstood or something. 26 Q. And did you, in fact, make changes in your 27 interview in accordance with his request? 28 A. Only if it didn't change the meaning of what 7981 1 I had to say. 2 Q. And what was the meaning of what you had to 3 say? 4 MR. MESEREAU: Objection; vague. 5 THE COURT: Sustained. 6 Q. BY MR. ZONEN: All right. What is it that 7 you were intending to represent in this interview? 8 A. Michael as a wonderful person and as a great 9 father and generous and caring. 10 Q. All right. Did you have information as to 11 Michael Jackson as a wonderful father? 12 A. As I've known him? 13 Q. Yes. 14 A. Yes. 15 Q. When was the last time you'd actually talked 16 with him? 17 A. In 1999. 18 Q. All right. This was in early 2003; is that 19 correct? 20 A. Correct. 21 Q. When was the last time you saw him interact 22 with the children? 23 A. 1991. I'm sorry, 1999. 24 Q. In the course of this interview, did you 25 represent yourself as still being part of the 26 family? 27 A. Yes, I did. 28 Q. Was that true? 7982 1 A. No, it was not. 2 Q. Why did you do it? 3 A. To protect the children and to try to keep 4 the media and questions away and out of their focus. 5 And to make sure that I could do whatever I could 6 even at a distance. 7 Q. Did you feel that you were enthusiastic 8 during this interview? 9 A. I -- 10 MR. MESEREAU: Objection; leading. 11 THE COURT: Sustained. 12 Q. BY MR. ZONEN: How did you approach this 13 interview in terms of your affect? 14 A. I was excited to do it. 15 Q. Why? 16 A. Because I would get to see my children and 17 possibly renew a relationship with Mr. Jackson. 18 Q. Why did you want to do that? 19 A. They're my family. 20 Q. Did you consider them your family? 21 A. Yes. 22 Q. Did you consider Mr. Jackson to be your 23 family to the same extent as your children? 24 A. I don't think anyone is as much as your 25 children, but, yes. 26 Q. How long had it been since you had seen your 27 children? 28 A. About two and a half years. 7983 1 Q. At the conclusion of the interview, did you 2 have a conversation with anybody about when you 3 would be able to see your children? 4 A. Mr. Schaffel said that he was excited, and 5 that we'd be going up to Neverland soon. And I 6 said, “Fine.” I said, “Let me know as soon as you 7 can.” 8 Q. Was that something that you wanted to do? 9 A. Very much. Very much. 10 Q. When was the last time you had been to 11 Neverland? 12 A. Years. I couldn't tell you. Probably .99, 13 .98. 14 Q. Did you make any contact with anybody about 15 seeing your children within the next, say, 30 days 16 or beyond? 17 MR. MESEREAU: Objection; leading. 18 THE COURT: Overruled. 19 You may answer. 20 THE WITNESS: Mr. Schaffel. I would call -- 21 Q. BY MR. ZONEN: How often -- I'm sorry? 22 A. I would call him almost weekly. I didn't 23 want to be a noodge, or piss him off, so I would 24 call him and chat him up, and say, “By the way,” you 25 know, “Are they back?” You know, “When can I see 26 them?” Because it was my understanding they were 27 out of town. 28 Q. For what period of time did you continue to 7984 1 contact Mr. Schaffel about that? 2 MR. MESEREAU: Your Honor, we object. Make 3 a motion to exclude. 4 MR. ZONEN: I'd like to respond to it, even 5 if at sidebar. 6 THE COURT: The objection is overruled. 7 You may answer. 8 Q. BY MR. ZONEN: Go ahead. 9 A. About nine months. 10 Q. Did you ever see your children? 11 A. No, I did not. 12 Q. To this day, have you seen your children? 13 A. No, I have not. 14 Q. Have you gone back to court? 15 A. Yes. 16 Q. Have you reinstated parental rights -- 17 A. Yes. 18 Q. -- for yourself? 19 MR. MESEREAU: Objection. Leading; 20 foundation. 21 THE COURT: Sustained. 22 MR. MESEREAU: Relevance. 23 Q. BY MR. ZONEN: What did you accomplish in 24 court? 25 MR. MESEREAU: Objection. Leading; 26 foundation; relevance; vague; and calls for improper 27 opinion. 28 THE COURT: The objection to “What did you 7985 1 accomplish...” is sustained as vague. That question 2 is vague. 3 Q. BY MR. ZONEN: All right. Were you able to 4 get a ruling in regards to your custody of your 5 children? 6 MR. MESEREAU: Objection; relevance; motion 7 to exclude. 8 THE COURT: Overruled. 9 Q. BY MR. ZONEN: Go ahead. 10 A. Not regards to custody, but my parental 11 rights were reinstated. 12 Q. At this time you have parental rights again, 13 is that right? 14 A. Yes, I do. 15 Q. Have you seen your children? 16 A. No, I have not. 17 Q. Are you still in court making an effort to 18 do so? 19 A. Very much so. Actively. 20 Q. Have you ever seen yourself on television or 21 any part of that interview that was conducted at Mr. 22 Schaffel's house? 23 A. Yes. 24 Q. Where did you see it? 25 A. I reviewed it last night. I hadn't seen it. 26 I didn't watch it when it was on television, so I 27 saw a video last evening. 28 Q. All right. That was the same video that you 7986 1 had reviewed once previously? 2 A. Yes. 3 Q. But on the occasion last night, you viewed 4 it with greater detail? 5 A. Yes. 6 Q. Did you ever see the Maury Povich film that 7 was featured at a later time? 8 A. I don't remember watching it. 9 Q. Did you ever receive any money for your 10 participation -- 11 A. No. 12 Q. -- in this interview? 13 A. No. 14 Q. What was your motivation to participate in 15 this interview? 16 A. To see my children. 17 MR. ZONEN: Thank you. I have no further 18 questions. 19 THE COURT: Cross-examine? 20 MR. MESEREAU: Your Honor, we'd like to 21 renew our motion to exclude testimony into these 22 areas. 23 THE COURT: I'll give you an indicated, 24 subject to full argument, but at this point I would 25 probably not grant that motion. 26 THE WITNESS: Good morning, Mr. Mesereau. 27 // 28 // 7987 1 CROSS-EXAMINATION 2 BY MR. MESEREAU: 3 Q. Good morning, Ms. Rowe. 4 We've never spoken before, correct? 5 A. No, we have not. 6 Q. Okay. 7 A. I'm Debbie. 8 (Laughter.) 9 Q. The prosecutor asked you some questions 10 about your, for lack of a better word, current 11 dispute with Michael Jackson in Family Law Court, 12 correct? 13 A. I wouldn't call it a dispute, but if that's 14 the legal term, okay. 15 Q. Well, the prosecutor asked you about whether 16 you obtained rights or not - okay? - and I believe 17 you said you have obtained parental rights but not 18 custody rights; is that true? 19 A. I corrected him, and said that my parental 20 rights had been reinstated -- 21 Q. Okay. 22 A. -- when he mentioned custody. 23 Q. Okay. Okay. Now, when did you first meet 24 Mr. Schaffel? 25 A. When Mr. Jackson asked me to do the 26 interview. 27 Q. Okay. And did you first meet him at the 28 interview? 7988 1 A. Yes. Personally -- I had spoken to him on 2 the phone. But personally, yes. 3 Q. And I gather you developed some type of 4 friendship with him; is that true? 5 A. I wouldn't call it a friendship. More of an 6 acquaintance. More than an acquaintanceship, but 7 not a friendship. 8 Q. And you were calling him approximately every 9 week; is that true? 10 A. For about three months, yes. 11 Q. Okay. And at some point you were in contact 12 with the Santa Barbara sheriffs about this case, 13 correct? 14 A. They had called me, yes. And I did not 15 return the first call. 16 Q. And eventually, you developed somewhat of a 17 dialogue with Santa Barbara sheriffs about this 18 case, right? 19 A. When they caught me on my cell phone on my 20 way home from Palm Springs, yes, the number they got 21 from Marc Schaffel. 22 Q. And you agreed to make what you called some 23 pretext phone calls for the sheriffs, correct? 24 A. Correct. 25 Q. And a pretext phone call means basically you 26 agreed to work with the sheriffs, telephone people 27 and talk to them while the sheriffs were recording 28 those calls; is that correct? 7989 1 A. Correct. 2 Q. And the idea was that the people you would 3 call would not know they were being recorded, right? 4 A. Correct. 5 Q. Only you and the sheriffs would know there 6 were recordings, right? 7 A. Correct. 8 Q. Now, how many of these pretext phone calls 9 do you think you made with or for the sheriffs? 10 A. I think there were a total of four to six. 11 I'm not sure. 12 Q. And who were those pretext phone calls with? 13 A. Marc Schaffel. Ian Drew. And I think I may 14 have tried to do one with Dieter. 15 Q. Were you able to do that one? 16 A. I don't remember. 17 Q. Okay. So the only people you recall 18 actually speaking with when they didn't know the 19 call was being recorded are Schaffel and Drew; is 20 that right? 21 A. And Dieter, if I did one with him, he 22 wouldn't have known. 23 Q. Now, Schaffel and Drew were there when you 24 were interviewed? 25 A. Yes, they were. 26 Q. And when you arrived for the interview had 27 you ever spoken to Mr. Drew before? 28 A. No, I had not. 7990 1 Q. Did you meet him for the first time at the 2 interview? 3 A. Yes, I did. 4 Q. So you met Ian Drew for the first time at 5 Marc Schaffel's home, right? 6 A. Correct. 7 Q. And after you met him, did you develop an 8 understanding as to whether or not Mr. Drew would 9 have a role in your interview? 10 A. I was told he was the one that would be 11 doing the interviewing. 12 Q. And did he, in fact, do that? 13 A. Yes, he did. 14 Q. Okay. And is he the one that had the list 15 of questions you've described? 16 A. Yes, he did. 17 Q. And I believe you said you thought there 18 were about 105 questions, right? 19 A. He told me there were 105. 20 Q. Mr. Drew told you that? 21 A. Yes, he did. 22 Q. Did he ever show you the list of questions? 23 A. He offered to. 24 Q. And you refused, right? 25 A. Correct. 26 Q. You refused because you wanted to give a 27 spontaneous type of response to whatever he asked 28 you, right? 7991 1 A. Correct. 2 Q. Okay. And I think it's fair to say that 3 your responses were very favorable about Michael 4 Jackson, right? 5 A. Yes. 6 Q. You answered questions for approximately 7 nine hours; is that true? 8 A. Yes. It was a very long day. 9 Q. And you were asked all sorts of questions 10 about what kind of person Mr. Jackson was, right? 11 A. Yes. 12 Q. You were asked about what kind of a father 13 he was -- 14 A. Yes. 15 Q. -- right? 16 You were asked whether or not he was a good 17 family person? 18 A. Yes. 19 Q. You were asked about whether he was a good 20 friend of yours, right? 21 A. Yes. 22 Q. And you, throughout that nine-hour period, 23 were very positive about Michael Jackson, right? 24 A. Yes. 25 Q. And when you got there for the interview, 26 your understanding was you were going there to help 27 do a very positive, favorable piece about Michael, 28 right? 7992 1 A. Correct. 2 Q. And your understanding was that one of the 3 purposes of this interview was to counteract the 4 negative stuff that appeared in the Bashir 5 documentary, right? 6 A. I didn't know what the video was. I had 7 never heard of Bashir. It was regarding something 8 that had played in Europe and was going to be played 9 in the United States. I didn't want to see the 10 video. I didn't want to see the transcripts from 11 the video. I didn't want to know anything about it. 12 Q. Okay. Okay. But you knew there was -- the 13 purpose was to respond to something in the media 14 that had been negative about Michael, right? 15 A. Negative, twisted, misunderstood, whatever 16 it was. 17 Q. Okay. And I believe you testified you were 18 more than eager to help Michael in this area, right? 19 A. Absolutely. 20 Q. And as far as you're concerned, you did help 21 him, right? 22 A. I hope I did. 23 Q. You spoke favorably about him and some of 24 your comments were placed on a T.V. documentary, 25 right? 26 A. The show that -- whatever it was that aired 27 for it, yeah. I think they said the Povich thing. 28 Q. And you kept calling Mr. Schaffel for a 7993 1 number of months? 2 A. Yes. 3 Q. And you would see him from time to time, 4 right? 5 A. No, I never saw him. I saw him one time -- 6 Q. You had lunch with him one time? 7 A. He set me up. Yes, I had lunch with him one 8 time. 9 Q. Where was that? 10 A. The Ivy. 11 Q. Okay. And you say Schaffel set you up? 12 A. Yeah. 13 Q. And what do you mean by that? 14 A. Apparently there was a meeting going on with 15 Michael and some of his people, and I later found 16 out that Schaffel and Dieter were not included. And 17 so Marc had called me up and said, “Do you want to 18 go to lunch?” And I said, “Sure.” I said, “Do you 19 want me to meet you in the valley halfway? Do you 20 want to come over here? I'll pick you up.” You 21 know, “What do you want to do?” And he said, “Well, 22 why don't I pick you up.” And I said, “Fine. Where 23 are we going to go?” And he said, “The Ivy. Is 24 that okay?” I said, “Sure.” I never had any 25 problems at The Ivy before. So we went to The Ivy. 26 Q. And would Schaffel call you from time to 27 time? 28 A. Yes. 7994 1 Q. Okay. And you have previously commented 2 that you thought Mr. Schaffel was using Mr. Jackson, 3 true? 4 A. Oh, yeah. 5 Q. You thought he was using him, manipulating 6 him? 7 MR. ZONEN: I'm going to object as lack of 8 foundation. She said she just met him. Also 9 improper opinion. 10 THE COURT: Overruled. 11 Q. BY MR. MESEREAU: You told the sheriffs 12 that, in your opinion, Marc Schaffel was continually 13 trying to take advantage of Michael Jackson, true? 14 A. Correct. 15 Q. And you thought he was manipulating Michael 16 Jackson to make lots of money, right? 17 A. Yes. 18 Q. Now, you met Dieter at some point, true? 19 A. Yes. 20 Q. And when did you meet Dieter? 21 A. I don't remember if I met him anytime before 22 The Ivy incident, but I met -- he was with us at 23 lunch. 24 Q. Okay. And did you meet Konitzer at some 25 point? 26 A. Years ago on tour, when he was doing “Those 27 Cool Sunglasses.” 28 Q. During the period of the interview -- I say 7995 1 “during the period.” That's a little bit vague. 2 Let me withdraw that. 3 Around the time of the interview, did you 4 talk to Konitzer at all? 5 A. I spoke with him when I spoke with Mr. 6 Jackson to arrange it. And he and Dieter and Marc 7 had been on the phone. They had been on the phone 8 to tell me about problems that were going on, yes. 9 Q. And you've also made statements to the 10 sheriffs that you thought Dieter and Konitzer were 11 manipulating Michael Jackson, correct? 12 A. Yes. 13 Q. You thought Dieter and Konitzer were taking 14 advantage of Michael Jackson, true? 15 A. Yes. 16 Q. And you thought they were trying to 17 manipulate Michael Jackson to make a lot of money, 18 right? 19 A. Yes. 20 Q. Was it your perception, based upon what you 21 observed of Schaffel, Dieter and Konitzer, that 22 those three were working together? 23 A. Oh, yeah. 24 Q. You definitely got that impression? 25 A. Oh, yeah. 26 Q. Okay. And was it your impression that those 27 three were working together to find ways to use 28 Michael Jackson's name so they could profit? 7996 1 A. Yes. 2 Q. And at one point you told the sheriffs that 3 you thought Michael Jackson was, in some ways, very 4 removed from what those guys were doing, right? 5 A. In my past knowledge, he's removed from the 6 handlers, the people who are taking care of 7 business, and they make all the decisions. There's 8 a number of times they don't consult him. 9 Q. And you thought these three guys, Schaffel, 10 Dieter and Konitzer, were doing just that, didn't 11 you? 12 A. Very strongly. 13 Q. Do you recall if around this time you ever 14 tried to warn Michael Jackson about Schaffel, 15 Konitzer and Dieter? 16 A. I did. I tried to go through my -- my -- 17 I'm sorry, my old boss. And actually, when I did 18 call, I was told that, “Be careful of Marc.” 19 Q. And your old boss was Dr. Klein? 20 A. Arnold Klein, yes. K-l-e-i-n. 21 Q. What you're saying, you tried to communicate 22 with Michael, through Dr. Klein, to warn him about 23 what these three characters were doing to Michael? 24 A. Or to look and see if he was aware of what 25 was going on, if he even knew that I was still 26 trying to see the children. 27 Q. Okay. And one of the problems you had was 28 that because of the custody issues, you were 7997 1 supposed to talk through attorneys, right? 2 A. Correct. 3 Q. And that created a problem in your ability 4 to communicate with Michael, right? 5 A. It was difficult, yes. 6 Q. Okay. 7 A. It was easy with Mr. Spiegel, Lance Spiegel. 8 Q. And Mr. Spiegel was a prior lawyer for Mr. 9 Jackson? 10 A. For family, yes. 11 Q. Okay. Okay. Now, approximately when did 12 you -- when were you divorced from Mr. Jackson? Was 13 it 1999? 14 A. Yes. 15 Q. And at that point you gave up custody of the 16 children? 17 A. No, not at that point. A year and a half 18 later. 19 Q. Okay. A year and a half later you gave up 20 custody of the children, and you had the visitation 21 rights that you identified yesterday, right? 22 A. Right. No, I'm sorry, I misunderstood. 23 I gave up custody at the divorce. I gave him full 24 custody. I had visitation - I'm sorry, I 25 misunderstood - every 45 days. 26 Q. Approximately how long was your marriage to 27 Mr. Jackson? 28 A. Three and a half years. 7998 1 Q. Okay. And I believe you said yesterday 2 you've stayed his friend, right? 3 A. I've always considered him my friend. 4 Q. And you still do, right? 5 A. Yeah. If he'd talk to me. Sorry. 6 Q. And without question, the communicating 7 through lawyers has created problems with -- 8 A. Have you met Mr. Hall? Extreme problems. 9 Q. Okay. Okay. You're blaming the lawyers for 10 a lot of that, right? 11 A. Have you met Mr. Hall? You don't want to. 12 Q. Okay. All right. How many times did you 13 meet Dieter personally? 14 A. Like -- I know for sure the one time. 15 Q. Did you talk to Dieter on the telephone? 16 A. Yes. 17 Q. How many times do you think you talked to 18 Dieter on the telephone? 19 A. I think once or twice. 20 Q. Okay. 21 A. I don't remember. They weren't eventful 22 calls. 23 Q. Did he call you or did you call him? 24 A. He's -- I know he called me once, and I 25 believe I called him. 26 Q. Now, did you learn at some point -- excuse 27 me. Before I get into that, how many calls do you 28 think you had with Drew, if any? 7999 1 A. From when to when? 2 Q. Oh, around the time of the interview. 3 A. I met Mr. Drew, he went back to Florida, I 4 didn't see him for about a year. When he came back 5 to Los Angeles, he called me and said he was back in 6 town. 7 Q. Did you develop a friendship with him? 8 A. Yeah. 9 Q. Okay. Now, did you learn at some point that 10 Schaffel was trying to make millions of dollars from 11 the footage of your interview? 12 A. Yes, I -- 13 MR. ZONEN: I'm going to object as lack of 14 foundation. 15 THE COURT: Overruled. 16 THE WITNESS: Yes. 17 Q. BY MR. MESEREAU: How did you learn that 18 Schaffel was trying to make millions of dollars from 19 the footage of your interview? 20 A. He told me he was paid for it. He told me 21 that part of the money that was made from it went 22 for a debt that Mr. Jackson had owed him. I later 23 found out that he took -- he told Ronald and Dieter 24 that I wanted $100,000 for doing the interview. And 25 I believe a check was cut - not to me. I wouldn't 26 have taken it - and he kept it. 27 Q. And how did you learn this information? 28 A. Some of it was from Ian. Some of it was 8000 1 from Marc himself. 2 Q. And at one point Schaffel told you he was 3 going to sue Michael Jackson, didn't he? 4 A. Yes, he did. 5 Q. He told you he wanted over a million dollars 6 from Michael Jackson, true? 7 A. He said Michael owed him a million dollars. 8 Q. And approximately when did Marc Schaffel 9 tell you he was going to sue Michael Jackson? 10 A. Six months ago maybe. It may have been 11 longer than that, but I'm not really good with -- if 12 you could give me something to refer to at a time, I 13 could say yes, it happened then. But I think it was 14 about six months ago. And then he told me, about 15 three months ago, that he and his lawyer were filing 16 papers. 17 Q. And did you ever learn at some point that he 18 had actually sued Michael Jackson? 19 A. He told me that they'd filed the papers. 20 Q. Okay. Did Schaffel ever ask you for 21 assistance in his suit against Michael Jackson? 22 A. No. 23 Q. Did he ever ask you for information to help 24 him in his business dealings with Michael Jackson? 25 A. I wouldn't have given it to him. 26 Q. Okay. Did he ever ask you for help, though? 27 A. I'm sorry? 28 Q. Did Schaffel, in your mind, ever ask you to 8001 1 help him in his business dealings with Mr. Jackson? 2 A. No. He just bragged about either how he 3 took advantage of an opportunity that I'm sure he 4 knew nothing about or how he was going to do this, 5 that or the other thing to make sure that Michael's 6 career was saved, and things of that nature. 7 Q. Did Schaffel tell you that he was involved 8 in business matters with Dieter? 9 A. Yes. 10 Q. Did Schaffel tell you he was involved in 11 business matters with Konitzer? 12 A. Yes. In Europe. 13 Q. Okay. And did you ever get the impression 14 he was not giving Michael Jackson all the 15 information about what he was up to? 16 A. He was like everybody else around Mr. 17 Jackson. Yeah, he wasn't telling him everything. 18 Q. Why did you think Schaffel was calling you? 19 A. To placate me. To say that, “Oh, no, I'm 20 working on it. You'll be seeing the kids. 21 Michael's very excited about it. Everything's going 22 to be great. They're still in Florida.” You know, 23 “As soon as they get home you guys will be 24 together.” 25 Q. And you didn't think he was being truthful, 26 right? 27 A. Obviously he's full of shit. Sorry. 28 I'm sorry, Your Honor. 8002 1 Q. You consider Marc Schaffel a liar, don't 2 you? 3 A. Yes. 4 Q. You consider Dieter a liar, don't you? 5 A. Yes. 6 Q. You consider Konitzer to be a liar, don't 7 you? 8 A. Yes. 9 Q. Did Mr. Drew appear to you to want to 10 interact with Schaffel? 11 MR. ZONEN: I'll object as speculative. 12 THE COURT: Sustained. 13 Q. BY MR. MESEREAU: You met Mr. Drew at 14 Schaffel's residence, right? 15 A. Yes. 16 Q. And you were introduced to him through 17 Schaffel, right? 18 A. Yes. 19 Q. Was it your belief at that time that the two 20 of them had some type of business relationship? 21 A. Marc told me that Ian was a plant at one of 22 the tabloids to run interference for bad publicity 23 for Michael. 24 Q. And did you believe that? 25 A. I didn't know, didn't care, didn't want to 26 be there, but was there for the kids and for him. 27 I -- you know, I wanted to get in and get out. I'm 28 having about as much fun here as I had there. 8003 1 Q. Was it your understanding that Schaffel was 2 using Ian Drew for a particular purpose? 3 A. Yes. 4 Q. And that purpose was to sew publicity that 5 he wanted in the tabloids? 6 A. To get information out. I don't know if I 7 knew that it was -- if I knew that it was The Globe 8 then that he was the plant for, or if Marc told me 9 shortly thereafter. I think Marc told me at the 10 day, the day that it was, so I knew that I was 11 supposed to expect something coming out in the 12 tabloids. 13 Q. Right. 14 A. “Shockingly” was misinterpreted. 15 Q. And was it your impression that Schaffel was 16 using Drew to promote Schaffel's business interests? 17 A. If I'm considered a commodity to Mr. 18 Jackson, then yes. 19 Q. And as far as you were concerned, Schaffel 20 was using you as a commodity, right? 21 A. Schaffel was talking out both sides of his 22 mouth, telling me one thing, telling Mr. Jackson 23 something else. 24 Q. You thought he was using the two of you, 25 didn't you? 26 A. Yes. 27 Q. Schaffel bragged to you about the large sums 28 of money he was going to make off of Michael 8004 1 Jackson, didn't he? 2 A. Yes, he did. 3 Q. He bragged about making millions of dollars 4 off of Michael Jackson, didn't he? 5 A. Yes, he did. 6 Q. He did that many times, didn't he? 7 A. Constantly. 8 Q. Did Dieter brag as well about the millions 9 he was going to make off of Michael Jackson? 10 A. He wasn't as -- he was more subtle about it 11 and spoke of it as plans for Michael, not actually 12 to take from Michael. So it's a matter of 13 semantics, I'm saying, you know, “I'm going to do it 14 for Michael.” 15 Q. Did Konitzer brag about all the money he was 16 going to make off of Michael Jackson? 17 A. He had big plans. So -- but they -- I 18 didn't speak with him as often as I spoke with Marc. 19 So those conversations weren't about that with 20 Ronald. It was getting this project started and how 21 they were going to -- how everything was going to be 22 much better. 23 And then I think I had another conversation 24 with Ronald and Dieter afterwards when they called 25 to say that everything was fine with the video, and 26 “Thank you,” and “Things will be fine. We have big 27 plans,” and stuff like that. I think there's only 28 two times I spoke with Konitzer. 8005 1 Q. Did Dieter ever tell you that he and 2 Konitzer were going to take over all of Michael 3 Jackson's affairs? 4 A. That was their plan, because he'd been 5 mishandled. 6 Q. Did Dieter ever tell you, “Don't call 7 Michael Jackson. If you have any question about 8 him, talk to me”? 9 A. I wouldn't be allowed to call him. But if I 10 had any concerns I would -- he said, you know, 11 “Please call me.” 12 Q. Did Schaffel ever show you any written 13 agreements that he said concerned projects he was 14 going to do with the Jackson name? 15 A. The song. Didn't show me the contract, but 16 that was one thing that he spoke to me about is that 17 they were doing a song for Clear Channel or 18 something. 19 Q. How many times have you been to Schaffel's 20 home? 21 A. Once for the interview, and once to pick him 22 up, and I have to remember where we were going. We 23 had to drop a friend of his off in Hollywood 24 someplace. Oh, we went to see Parviz, this guy 25 Parviz. That's what we did. 26 Q. Okay. And did Schaffel talk to you about an 27 attorney named Mr. Geragos? 28 A. Uh-huh. 8006 1 Q. Did he tell you that he had picked Mr. 2 Geragos? 3 A. I don't know who picked him, but whoever did 4 made a huge mistake. Come on. He pleads out or 5 loses. 6 Q. Well, in your discussions with the sheriffs, 7 you made negative comments about Mr. Geragos, didn't 8 you? 9 A. Oh, yeah. 10 Q. And didn't you also comment that you thought 11 Mr. Geragos was doing -- 12 MR. ZONEN: I'm going to object as hearsay 13 and speculative and irrelevant and beyond the scope 14 of the direct. 15 THE COURT: Sustained. 16 Q. BY MR. MESEREAU: Do you know why you were 17 asked by the sheriffs to record phone conversations 18 with Ian Drew? 19 MR. ZONEN: Objection; speculative. 20 THE COURT: Sustained. 21 Q. BY MR. MESEREAU: Did any representative of 22 the sheriff's department ever tell you why they 23 wanted you to record phone conversations with Ian 24 Drew? 25 A. It was very frustrating working with the 26 sheriff's department. They don't give you any 27 information. That's why I wanted to find out for 28 myself what was going on. 8007 1 Q. And did you ever record conversations 2 yourself and then just give those recordings to the 3 sheriff? 4 A. No, that's illegal. 5 Q. You just did it always with a sheriff 6 involved with you? 7 A. Yes. 8 Q. Okay. When did you last talk to Mr. 9 Schaffel? 10 A. Conversation-conversation? Probably two 11 weeks ago. Probably right before he got the 12 transcripts from the conversation. But he had sent 13 me e-mails that I had not opened. They're still on 14 my account before I came up here. 15 Q. So a couple of weeks ago you talked to him? 16 A. Spoke with him, yes. 17 Q. Okay. 18 A. He was out of town and wouldn't be back for 19 a couple of weeks. He said there was a family 20 crisis or something. I was hoping his family wasn't 21 ill. 22 Q. Did you call him? 23 A. I don't have a cell phone number for him 24 anymore. I lost it. So when he was in town, the 25 conversations were less and less after I had spoken 26 with the sheriff's department and found the 27 information out that I had found and the way I had 28 been treated. And it's a little difficult for me to 8008 1 be civil to someone that I dislike. 2 Q. Well, I gather you tried your best to let 3 Mr. Schaffel think he could still communicate with 4 you? 5 A. Yes. 6 Q. Up until two weeks ago, right? 7 A. Yes. 8 Q. Was that at the request of the sheriffs? 9 A. No, that was more me. If he did get in 10 touch with me, I did tell them. 11 Q. And when did you last talk to Ian Drew? 12 A. He got promoted from his job just after the 13 first of the year. I had dinner with him. There's 14 a group of us that go out on Wednesday nights, and I 15 think it was a month ago that I last talked to him. 16 It was getting close to my uncle's birthday, so we 17 did -- everybody has to come on this Wednesday night 18 to not miss my uncle's birthday. 19 Q. Your last communication with Dieter was 20 when? 21 A. Oh, a long time ago. Not within the last 22 year, I don't think. Well, I think The Ivy incident 23 was the last time that I spoke to him. I may -- oh, 24 no, no, no, no. I did try to call him. Sorry. I 25 did try to call him afterwards. And I may have made 26 the one phone call. I don't remember if I made it 27 or not. I haven't seen any of the stuff. 28 So if there's something there, I'd be happy 8009 1 to look at it and tell you what was done and what 2 was said and what was meant, if you'd like. 3 Q. I'm just asking you. 4 A. Blonde. 5 I don't remember the day, you know. I think 6 I did, but I can't totally swear to it. 7 Q. How about Konitzer. When do you think you 8 last talked to him? 9 A. If I did, it was very shortly after the 10 video. 11 Q. Okay. Would it be accurate to say that your 12 impression was that Schaffel, Konitzer, and Dieter 13 were trying to profit off problems Mr. Jackson had? 14 MR. ZONEN: I'm going to object again as 15 speculative and lack of foundation. 16 THE COURT: Sustained. 17 Q. BY MR. MESEREAU: Did Schaffel tell you that 18 he and Dieter and Konitzer were going to make a lot 19 of money off of the problems that came out of the 20 Bashir documentary? 21 A. They said they were going to fix the problem 22 and bragged that they had made money. 23 MR. ZONEN: Objection; nonresponsive. “They 24 said.” 25 THE COURT: Overruled. 26 Q. BY MR. MESEREAU: That bothered you, didn't 27 it? 28 A. Yeah. 8010 1 Q. Did you ever tell Schaffel, “I don't like 2 what you're doing to Michael,” or words to that 3 effect? 4 A. If I had said that, then I wouldn't have 5 been able to find out what he was doing and try to 6 get word to whoever was handling him, “You guys are 7 going to get screwed.” 8 Q. So what you were trying to do was make 9 Schaffel think he could maintain a friendship with 10 you, but what you really wanted to do was get 11 information from him? 12 A. Yeah. He was out to hurt Michael, in 13 addition would hurt my children. 14 Q. And did you feel Dieter was trying to hurt 15 Michael and also your children? 16 A. I think they're opportunistic vultures. 17 Q. Would that be Dieter, Konitzer and Schaffel? 18 A. Okay. You can do them alphabetically if 19 you'd like. 20 Q. You're talking about the three of them, 21 right? 22 A. All of them. 23 Q. Who else are you referring to as vultures, 24 besides those three? 25 A. If it's a personal opinion, does it count? 26 MR. ZONEN: I'm going to object as beyond 27 the scope of the direct examination and speculative 28 and improper opinion. 8011 1 THE COURT: Sounds like she's got a long 2 list. I think I'll sustain the objection. 3 (Laughter.) 4 THE WITNESS: Thank you. 5 Q. BY MR. MESEREAU: Okay. Ms. Rowe, at some 6 point, did you learn that Santa Barbara sheriffs had 7 recorded a discussion with you? 8 A. You did? You did? 9 No, I didn't know that. 10 Q. Okay. 11 A. Damn you guys. You don't share anything. 12 Q. Did you ever learn that any discussion you 13 had with the Santa Barbara sheriff was, in fact, 14 recorded? 15 A. Well, if -- if you're referring to I was 16 with them and, yeah, they were recording, so that's 17 what I thought was recording. 18 Did you bug my phone? 19 Q. So at some point you knew they were 20 recording -- at some point you knew they were 21 recording a discussion with you -- 22 A. Yes. 23 Q. -- right? 24 A. It was a discussion with me with Marc 25 Schaffel or with Ian Drew. 26 Q. Okay. How about with you just alone with an 27 officer? 28 A. Oh, when I was speaking with an officer, 8012 1 yes, there was a -- an interview that was done. 2 Q. Okay. And where did that interview take 3 place, if you know? 4 A. Calabasas. And I can't give you the name of 5 the place because I don't remember. 6 Q. Do you know what officer that was? 7 A. Officer Steve Robel. Sergeant Steve Robel, 8 actually. 9 Q. Do you know approximately when that 10 interview took place? 11 A. Not off the top of my head, no. 12 Q. Do you recall, at one point, you mentioned 13 the possibility of going to The Enquirer? Do you 14 remember that? 15 A. Me? 16 Q. Yes. I don't know if it was -- you were 17 joking or not, but do you recall saying something 18 like that? 19 A. It would have been totally joking and 20 sarcastic and, “Let's see if we can mess with them.” 21 Q. Well, you talked about at one point Ms. 22 Arvizo's orchestrating lawsuits. Do you remember 23 that? 24 A. Yeah. 25 Q. And you referred to the J.C. Penney case, 26 correct? 27 A. Probably. 28 Q. Did you do your own research into what Janet 8013 1 Arvizo had done in the J.C. Penney case? 2 A. Just by asking people who had heard 3 something on the news. And I hadn't sat down at the 4 computer and actually properly researched it, no. 5 Q. And you told the officer that you -- 6 MR. ZONEN: I'm going to object as hearsay 7 and irrelevant, exceeding the scope of direct. 8 THE COURT: Sustained. 9 Q. BY MR. MESEREAU: When you spoke to the 10 officer in that interview, were you trying to in 11 some way protect Michael from the Arvizos? 12 A. Yes. 13 Q. And that's because you thought the Arvizos 14 were taking advantage of Michael, right? 15 MR. ZONEN: I'm going to object as lack of 16 foundation, exceeding the scope of direct. 17 THE COURT: Sustained. 18 Q. BY MR. MESEREAU: At one point you told 19 Officer Robel that Schaffel had made seven and a 20 half million dollars off your interview. Do you 21 remember that? 22 A. Yes. 23 Q. Did Schaffel tell you that? 24 A. Yes. 25 Q. Did you have any reason not to believe that 26 he'd made seven and a half million? 27 A. I don't know what shows go for. Michael 28 doesn't do interviews, so I'm sure that anything 8014 1 that was televised or produced was worth a lot of 2 money. 3 Q. Did Schaffel offer you any of that money? 4 A. No, and I wouldn't have taken it. 5 Q. Did you know -- did you have any idea why 6 Schaffel told you he made seven and a half million 7 off your interview? 8 A. He likes to brag. “Look what I have. Look 9 what I've done.” 10 Q. Did Schaffel tell you any of that money went 11 to Dieter? 12 A. He didn't. The way he spoke about it was 13 all him. 14 Q. Did he tell you any of that money went to 15 Konitzer? 16 A. No, again, all to him. 17 Q. Was it your understanding that Schaffel, 18 Dieter and Konitzer worked together or -- what was 19 your understanding of their relationship? 20 A. Michael had a previous relationship with 21 Dieter and Ronald, so if Marc wanted to get in touch 22 with Michael he could go through them, if he 23 couldn't get ahold of him himself. But I think Marc 24 felt that he handled everything in the United 25 States. And that they were involved in the European 26 things and in marketing or something. 27 Q. Did you think Dieter, Konitzer and Schaffel 28 were competing with each other at all? 8015 1 A. There was some -- 2 MR. ZONEN: I'm going to object as 3 irrelevant, exceeding the scope of direct. 4 MR. MESEREAU: Sustained. 5 Q. Did Schaffel ever tell you he was in any 6 company with Dieter and Konitzer? 7 MR. ZONEN: I'm going to object as exceeding 8 the scope of direct and hearsay. 9 THE COURT: Sustained. 10 Q. BY MR. MESEREAU: Do you remember telling 11 the officer who interviewed you, “Michael is very, 12 very easily manipulated especially if he's scared”? 13 A. Yes. 14 Q. You were trying to tell the officers that 15 Michael was being taken advantage of by these 16 people, weren't you? 17 MR. ZONEN: Objection; asked and answered. 18 THE COURT: Overruled. 19 You may answer. 20 THE WITNESS: I'm sorry? 21 Q. BY MR. MESEREAU: You were trying to tell 22 the officer that you thought Michael was being taken 23 advantage of by these people, right? 24 A. Yes. 25 Q. Now, you indicated in your interview you 26 were there for about nine to ten hours, right? 27 A. Yes. 28 Q. How much of that time do you think you were 8016 1 answering questions? 2 A. It was -- we were on that stupid couch for 3 seven hours, with no breaks except to change film. 4 Q. And was that you and Mr. Drew? 5 A. I was on the couch. Drew -- Ian was 6 opposite me, either in a chair -- I think he was in 7 a chair. 8 Q. Okay. So if you think you know, how many 9 hours of actual interview do you think there was 10 with you? 11 A. The full seven hours. Except for the -- the 12 time that it took to change videotapes. 13 Q. Okay. 14 A. I'm sorry. We didn't break for anything. 15 Q. And you have before today, I believe you 16 said last night the most recent time, seen a DVD of 17 what purports to be that interview, right? 18 A. It's not the whole interview. 19 Q. And is that about two and a half to three 20 hours long, the one you saw? 21 A. It was about three hours. 22 Q. And who gave you that DVD to watch? 23 A. I asked for a copy from Mr. Zonen. 24 Q. And you watched it last night, right? 25 A. Yes, I did. 26 Q. And correct me if I'm wrong, I think what 27 you're saying is that many hours of your interview 28 don't appear in that DVD, right? 8017 1 A. I don't see how I could have sat there for 2 seven hours and only had three hours on tape. I 3 don't remember any breaks except for when the 4 cameras were -- the film was being changed. I 5 interrupted the interview to tell them the film 6 was -- the camera was blinking, the light. I didn't 7 want to be in the middle of the statement and have 8 to start over again, to tell them that the lights 9 were blinking, to change the film. 10 I saw cuts in that film, in that tape, that 11 were -- had nothing with me saying, “It's blinking, 12 take it off,” so there's -- there is stuff missing 13 from that video. 14 Q. When Schaffel told you he'd made seven and a 15 half million dollars off your interview, did he ever 16 tell you who he made the money from? 17 A. I think he said it was FOX Network. And 18 someone in Europe. But I don't remember who it was 19 in Europe. 20 Q. And was it your understanding that he kept 21 all the footage of your interview? 22 A. Yes. It was all taken upstairs to a bedroom 23 where they did the editing that night. 24 Q. Okay. How did you know they did the editing 25 that night? 26 A. I was there for about an hour when they were 27 doing it. 28 Q. Were you upstairs in the bedroom while they 8018 1 were doing it? 2 A. Yes. 3 Q. And who is “they”? 4 A. Marc was in and out. I don't remember -- 5 I think it was Christian that was doing the editing. 6 Ian told me he was going to be there all night to 7 get the video done. 8 Q. Now, Mr. Jackson wasn't there for any of 9 that interview, was he? 10 A. No. 11 Q. Were you being asked to assist in the 12 editing upstairs? 13 A. No, I wanted to see what they were putting 14 down. I'm a bit of a control freak. 15 Q. So did they ever object to you being 16 upstairs and watching what they were doing? 17 A. No, it just got to be too late and too long 18 a day and I had to go home. I had school. 19 Q. But during the hour that you were upstairs 20 watching the editing, what did you see them do? 21 A. The very beginning of the interview talking 22 about Michael, me speaking about Michael and what 23 kind of a person he is. And the -- I gave them a 24 list, not a written list, but a verbal list of 25 things that I wanted included to make sure. 26 Q. In that interview, what kind of a person did 27 you say Michael was? 28 A. Generous. To a fault. Giving and kind. 8019 1 Q. Anything else do you recall saying? 2 A. Good father. Great with kids. Put other 3 people ahead of him. Things like that. 4 Q. If you can, do you remember anything else 5 you said about Michael? 6 A. He's a brilliant businessman. There's 7 different Michaels. There's, like, my Michael. 8 Q. Do you want some water? 9 A. And the Michael that everyone else sees. 10 Q. And that would be the public Michael? 11 A. Yes. 12 Q. That would be Michael the entertainer, 13 right? 14 A. Michael the entertainer, yeah. 15 Q. When did you first meet Michael? 16 A. In the .80s. 17 Q. And how did you meet Michael? 18 A. Through my office when I worked with Dr. 19 Klein. 20 Q. Okay. And what was your position with Dr. 21 Klein at the time? 22 A. I was an assistant. 23 Q. And Michael went to Dr. Klein for various 24 treatments, right? 25 A. Yes. 26 Q. And do you recall when he first went to Dr. 27 Klein? 28 A. Yes. The very first day, yes. I was not 8020 1 his nurse then. 2 Q. And what was the treatment he was receiving; 3 do you know? Was it a skin condition he had? 4 MR. ZONEN: I'm going to object at this 5 point. The question is, What was the treatment he 6 was receiving?” 7 MR. MESEREAU: I'll withdraw it. I'll 8 withdraw it. 9 THE COURT: All right. It's withdrawn. 10 Q. BY MR. MESEREAU: You met him in the early 11 .80s? 12 A. Yes. 13 Q. And you continued to know him through the 14 .90s until you were married, right? 15 A. Yes. 16 Q. And how long did you work for Dr. Klein? 17 A. From .79 to 2001, I think it was, or 2000. 18 Q. Okay. 19 A. I don't remember the exact dates. 20 Q. Okay. Do you recall ever going on tour with 21 Michael? 22 A. Uh-huh. 23 Q. And when did you first go on a tour with 24 Michael? 25 A. What was the tour after “Bad”? Was it the 26 “History” tour, or “Dangerous”? 27 It was the “Dangerous” tour, I'm sorry. 28 MR. ZONEN: I'm going to object to 8021 1 communications between the witness and the defendant 2 and ask that that be stricken. 3 THE WITNESS: Sorry. 4 THE COURT: Stricken. 5 Q. BY MR. MESEREAU: Let me try and ask it 6 again. What was the first tour that you went on 7 with Michael? 8 A. “Dangerous.” 9 Q. And approximately when was that? 10 A. I don't remember. That was -- all those 11 tours. And they all just ran together, because it 12 was a long schedule. 13 Q. Okay. Was it in the .80s or .90s; do you 14 know? 15 A. I think it was in the early .90s. 16 Q. Okay. And where did that tour go to? 17 A. I think it started in Bangkok, and went 18 throughout Asia, Japan, Singapore. Then there was a 19 break. And then it went to Europe. 20 I did go to the last concert in Gutenberg, I 21 think on the tour previous to that. Because 22 Gutenberg wasn't on the “Dangerous” tour. 23 Q. And were you traveling with Michael along 24 with his physician? 25 A. Yes. 26 Q. Okay. And you then went on another tour 27 after that? 28 A. Yes. 8022 1 Q. And what tour was that? 2 A. “History.” 3 Q. Okay. And approximately when was that? 4 A. It seemed like it was right after 5 “Dangerous,” within a year or two after “Dangerous.” 6 It could have been a little bit longer than that. 7 Q. And you were on that tour along with the 8 physician as well, right? 9 A. We were married when that was going on. 10 Q. Okay. 11 A. So, no. Klein would come every once in a 12 while, but I was there every three weeks to see 13 little Michael and Michael and to see how everybody 14 was, because I was still working. I couldn't more 15 often than that. 16 Q. When did you first meet Mr. Sneddon? 17 A. The day before yesterday. Two days ago. 18 When did I come up here? I came up here Tuesday. 19 Today's Thursday. I came up here Tuesday. 20 Q. I mean, your first time you ever met Mr. 21 Sneddon was the early .90s, wasn't it? 22 A. I don't remember. I remember I did a 23 deposition. I thought it was for a woman. I don't 24 remember. I don't remember any of that part. I 25 tend to block out unpleasantries. I don't remember 26 any of that part. I don't remember if Mr. Sneddon 27 was there or not. 28 Q. Okay. 8023 1 A. I think -- I think I just met him. 2 Q. Okay. Do you know when you were first 3 contacted about this particular case by anyone 4 associated with the sheriffs or the prosecution? 5 A. It was -- there was a voice mail on my car 6 phone, which I don't give out because it's stupid to 7 give out a car phone if you're not in the car all 8 the time. And they had gotten it through -- somehow 9 probably through Schaffel, because that's how the 10 tabloids got it. Because Marc Schaffel handed out 11 that phone number, because that was the only one he 12 had, because I had to call release from that line to 13 call his house. So there was a message left, and I 14 did not return the call. 15 And then on a trip back from Palm Springs, 16 probably eight or nine o'clock at night, it was 17 dark, I'm going to guess it could have been a little 18 bit later, but eight o'clock or 9:00 the phone rang, 19 and I thought it might have been someone -- 20 something wrong with one of my animals or something. 21 And I answered it, and it was Sergeant Robel. 22 Q. Okay. And do you know approximately when 23 that was? 24 A. I don't. I'm sorry. 25 Q. Was it like a year ago? 26 A. Oh, yeah. Yeah. Yeah. 27 Q. Now, you said Schaffel was giving 28 information to the tabloids? 8024 1 A. Yes. 2 Q. Was he giving information to the tabloids 3 about Michael Jackson, to your knowledge? 4 A. He was leaking information. 5 Q. To your knowledge, was he trying to profit 6 from the tabloids with information about Michael 7 Jackson? 8 A. I don't think monetarily. I think maybe 9 through manipulation, you know, “Maybe I can stop 10 this,” or “I can talk to so and so and fix it.” 11 Q. Has it been your belief that Schaffel has 12 been trying to create problems for Michael Jackson 13 so he could profit from them? 14 MR. ZONEN: Objection. Asked and answered 15 and speculative, lack of foundation. 16 THE COURT: Sustained. 17 Q. BY MR. MESEREAU: Did Schaffel ever tell you 18 in your conversations that he was going to generate 19 crises around Michael Jackson so he could then find 20 ways to profit? 21 A. Just this lawsuit. And I don't know the 22 details of the lawsuit. 23 Q. Did he tell you he intends to make millions 24 from his lawsuit against Michael Jackson? 25 MR. ZONEN: Objection; asked and answered. 26 THE COURT: Sustained. 27 Q. BY MR. MESEREAU: Did he tell you whether or 28 not Dieter or Konitzer are still doing business with 8025 1 him when you last talked to him? 2 A. When I was speaking with him, he didn't say 3 anything about business. 4 Q. But he said -- 5 A. He was more concerned about 6 self-preservation at this point. 7 Q. He said he's still talking to them? 8 A. I think he is, yes. I think he is. I don't 9 know. 10 MR. ZONEN: The question is did he say. 11 THE WITNESS: I don't -- 12 THE COURT: Is that an objection? 13 MR. ZONEN: That's an objection, 14 nonresponsive. 15 THE COURT: Sustained. Stricken. 16 Q. BY MR. MESEREAU: You met with Mr. Zonen 17 last night; is that correct? 18 A. Yes. 19 Q. Did you have a long meeting with him? 20 A. I watched the video there. And I spoke with 21 him for maybe 20, 25 minutes. 22 Q. Did Mr. Zonen talk to you about what he was 23 going to ask you today? 24 A. No. 25 Q. He just asked you pretty much to watch the 26 video? 27 A. Yes. 28 Q. And where did this meeting take place? 8026 1 Don't give me an address, if it's where you were -- 2 A. Oh. It's in an office that they had. 3 Q. That's the District Attorney's Office? 4 A. Yes. 5 Q. Okay. 6 A. I don't know the address. So I'm lost. 7 Q. When was the last time any representative of 8 the sheriff's office asked you to record somebody? 9 A. I want to say last year. 10 THE COURT: Let's take our break. 11 MR. MESEREAU: Yes, Your Honor. 12 (Recess taken.) 13 --o0o-- 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 8027 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 7975 through 8027 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 April 28, 2005, and thereafter 20 reduced to typewriting by computer-aided 21 transcription under my direction. 22 DATED: Santa Maria, California, 23 April 28, 2005. 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 8028 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 THURSDAY, APRIL 28, 2005 20 21 8:38 A.M. 22 23 (PAGES 8029 THROUGH 8156) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 8029 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 20 21 22 23 24 25 26 27 28 8030 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. Nicola is listed as “N” on index. Mr. Mesereau is listed as “M” on index. 6 Ms. Yu is listed as “Y” on index. Mr. Sanger is listed as “SA” on index. 7 8 9 PLAINTIFF'S VOIR 10 WITNESSES DIRECT CROSS REDIRECT RECROSS DIRE 11 JACKSON, 12 Deborah Rowe 8033-Z 13 FINSILVER, Iris Joan 8052-Z 14 DIETZ, 15 Andrew R. 8058-SN 8100-SA 8109-SN 8095-SA 16 SCHWARTZ, 17 Jeffrey 8110-N 8121-SA 18 DANKO, Crystalee 8131-N 19 SIMMONS, 20 Jennifer 8141-N 21 CORRAL, JR. Joe J. 8147-N 22 23 24 25 26 27 28 8031 1 E X H I B I T S 2 FOR IN PLAINTIFF'S NO. DESCRIPTION I.D. EVID. 3 4 223-249 Records of Air Apparent, Inc. 8061 8066 5 450 Nextel records 8141 8146 6 455 Sprint records 8132 8137 7 457 Verizon California 8 records 8147 8151 9 458 Talk America records 8111 8112 10 459 Verizon New York records 8147 11 852 Air Apparent, Inc. 12 Itinerary/Invoice Record 8066 8068 13 853 Five-page Air Apparent, Inc., record 8067 8068 14 854 Three-page Client Summary, 15 February 5 through February 12, 2003 8080 8097 16 17 855 Thirteen-page Client Summary, February 12 18 through March 31, 2003 8080 8097 19 20 21 22 23 24 25 26 27 28 8032 1 THE COURT: Counsel? 2 MR. MESEREAU: Thank you, Your Honor. 3 Your Honor, we have no further questions, 4 and we withdraw our motion. 5 THE WITNESS: Thank you. 6 7 REDIRECT EXAMINATION 8 BY MR. ZONEN: 9 Q. How many conversations did you have with 10 Ronald Konitzer? 11 A. One or two. 12 Q. Over the telephone? 13 A. Yes. 14 Q. And the length of each of those 15 conversations? 16 A. Minutes. 17 Q. Minutes? Did you ever see Ronald Konitzer 18 interact with Michael Jackson? 19 A. Not since I had met him in Europe on tour 20 years before. 21 Q. So you're talking about conversations that 22 may have taken place when, in the early .90s? 23 A. Yes. 24 Q. All right. Since the early .90s, have you 25 seen him interact with Mr. Konitzer? 26 A. Physically, no. Just on the phone. 27 Q. Did you hear him interact with him on the 28 telephone, in other words, conversations where you 8033 1 were present? 2 A. When Mr. Schaffel was setting up the 3 interview -- 4 Q. Yes. 5 A. -- Ronald was there with Michael. 6 Q. Was that the only conversation that you had, 7 were party to -- 8 A. No. 9 Q. -- involving Mr. Jackson and Mr. Konitzer? 10 A. No. There was one or two after that. 11 Just -- after the interview, thanking me, saying 12 everything was going to be fine, and I don't recall 13 if there was another one after that. 14 Q. Was Mr. Jackson involved in those 15 conversations? 16 A. No, he was not. 17 Q. That was just a conversation with you and 18 Mr. Konitzer? 19 A. No, Marc would have been on the phone. He 20 did not have my phone number. 21 Q. All right. So it was a conversation 22 involving you, Marc Schaffel and Ronald Konitzer? 23 A. Yes. 24 Q. And the subject of that conversations was 25 what? 26 A. Superficial. About the video. 27 Q. Nothing about Mr. Jackson's business 28 affairs? 8034 1 A. No. Not with Michael on the phone, no. 2 Q. Did any of them talk to you about issues 3 dealing with the Martin Bashir video? 4 A. Before or after the interview? 5 Q. After the interview. 6 A. When the interview aired, it did, and they 7 said that the interview that I had done would help 8 deflect and do damage control. 9 Q. Did they say that to you more than once? 10 A. Yes. 11 Q. Did Mr. Konitzer say positive things to you 12 about your involvement in this interview? 13 A. About my possible involvement? 14 Q. No. 15 A. I'm sorry. 16 Q. Did he say positive things to you about your 17 involvement? 18 A. Yeah. Yeah. 19 Q. Did he say that you were helpful? 20 A. Yeah. 21 Q. Did you believe that you were? 22 A. Yeah. 23 Q. Was that your intent? 24 A. Yes. 25 Q. All right. Do you still like Michael 26 Jackson? 27 A. I have very strong memories and feelings for 28 the Michael that I have known but haven't seen since 8035 1 1999. But those are based on my feelings. We 2 haven't spoken. 3 Q. All right. Is it the case that the sum 4 total of your communication with Mr. Jackson since 5 1999, six years ago, was a two-and-a-half-minute 6 conversation that you described? 7 A. Correct. 8 Q. And that was a conversation where he asked 9 you to participate in this video; is that correct? 10 A. To work with Ronald, Dieter, and Marc. 11 Q. Is it clear to you that he understood that 12 you wanted to see your children? 13 A. Yes. 14 Q. All right. Did he ever call you to say 15 that -- 16 A. No. 17 Q. -- or to invite you up to come see the 18 children? 19 A. No, he didn't. 20 Q. Who do you believe is responsible for your 21 not being able to see the children? 22 MR. MESEREAU: Objection. Relevance; 23 foundation. 24 THE COURT: Overruled. 25 Q. BY MR. ZONEN: You can answer the question. 26 A. He's their father. Ultimately it's his 27 decision. I don't want to believe that. I want to 28 believe that it's other people. I want to believe 8036 1 it's Marc Schaffel threatening him that I want to 2 take the children, things like that. 3 Q. How long has Marc Schaffel been involved 4 with Michael Jackson? When do you believe was the 5 end of Mr. Schaffel's involvement with Michael 6 Jackson? 7 A. I think The Ivy incident was probably what 8 tore it. 9 Q. All right. 10 A. Marc told me he was on the outs and wanted 11 to do what he could to get back in. 12 Q. When did he file the lawsuit against Michael 13 Jackson? 14 A. I don't know how long it takes to actually 15 get to court when you file a paper, or whatever, but 16 he had talked about it about three months ago. 17 Q. All right. 18 A. So I don't know if he was filing the papers 19 then, if he was getting ready to file the papers. 20 Q. All right. But your understanding is that 21 Marc Schaffel hasn't had anything to do with Michael 22 Jackson for a number of months now; is that correct? 23 A. Correct. 24 Q. All right. And yet you're still being 25 denied access to your children? 26 MR. MESEREAU: Objection. Leading; 27 relevance; foundation. 28 THE COURT: Overruled. 8037 1 Q. BY MR. ZONEN: Is that true? 2 A. We're -- yes, yes. 3 Q. All right. Well, then who do you think is 4 responsible for that, if it's not Marc Schaffel? 5 MR. MESEREAU: Objection. Relevance; 6 foundation; leading; and opinion. 7 THE COURT: It's argumentative. Sustained. 8 Q. BY MR. ZONEN: Tell us, in your opinion, who 9 is responsible at this time for your not being able 10 to have access to your children? 11 MR. MESEREAU: Same objection. 12 THE COURT: Overruled. 13 THE WITNESS: When I was first promised to 14 see the kids, when Michael -- he called me, for me 15 to show up when they were at that age of three and 16 four, four and five, I could be introduced as a 17 friend, as a friend of daddy's. And you don't 18 confuse a child by saying, “Oh, this is your 19 mother.” 20 I can't do that now. They're too old. To 21 do something like that, it would be too traumatic. 22 I would not walk in and say, “Hey, I'm your mom,” 23 you know, “Want to go out?” 24 It's -- it's so much more complicated than 25 that when reintroducing yourself to children who may 26 or may not remember me. 27 Q. BY MR. ZONEN: Are you saying that you 28 believe that Mr. Jackson is amenable to your seeing 8038 1 your children; it's just a question of how? 2 MR. MESEREAU: Objection. Leading; 3 argumentative; no foundation. 4 MR. ZONEN: It's impeachment, Your Honor, as 5 to the leading issue. 6 MR. MESEREAU: Improper opinion. 7 THE COURT: The objection is overruled. 8 Do you want the question read back? 9 THE WITNESS: No. Thank you. 10 I'm hoping in my heart that he is. But we 11 haven't spoken, so I don't know. I get to deal with 12 Abrams and Hall. 13 Q. BY MR. ZONEN: Why do you believe he hasn't 14 spoken with you? 15 MR. MESEREAU: Objection. Leading; 16 argumentative; foundation; relevance. 17 THE COURT: Overruled. 18 THE WITNESS: I don't know if he is 19 concerned about this case. I don't know what his 20 concerns are, if he thinks I'm going to take the 21 children from him. I don't know. I haven't spoken 22 to him. I don't know. 23 Q. BY MR. ZONEN: How many conversations have 24 you had with Dieter Weizner? 25 A. The last conversation I had with Dieter I 26 think was at The Ivy. 27 Q. And how many conversations prior to that? 28 A. One or two. 8039 1 Q. You said that you were set up, is that 2 correct, at that -- 3 A. In my opinion -- 4 Q. -- lunch? 5 A. -- yes. 6 Q. What does that mean, “set up”? 7 A. You don't go to lunch and then call the 8 paparazzi to come and take a picture of you while 9 you're trying to have a salad, and then someone runs 10 across the street and almost gets hit by a car 11 because they're taking my picture. 12 Q. You didn't mention that in cross-examination 13 when you said that to Mr. Mesereau. 14 A. Oh, sorry. I thought -- 15 Q. Is that what it was that you believe to be 16 the set-up? 17 A. Yes, because Michael was having a meeting 18 with his -- some group of people at the Beverly 19 Hills Hotel or something. And Marc and Dieter were 20 not included. So they were going to show him. 21 Q. All right. What does the presence of 22 paparazzi have to do with that? 23 A. I'm assuming because Marc Schaffel could not 24 get to Michael, that if someone were to see it on 25 T.V. or something, then it would be detrimental to 26 him. 27 Q. How long has Michael Jackson had an 28 association with Ronald Konitzer? 8040 1 A. I know that he knew him in the .90s doing 2 marketing and things like that in Europe. I don't 3 know, I haven't -- I haven't had any involvement 4 with Michael since .99, so I don't know. 5 Q. All right. You offered the opinion that you 6 believe that this group of people are taking 7 advantage of him. 8 A. Yes. 9 Q. Have you ever actually seen them interact 10 with him? 11 A. No. 12 Q. Are you aware of any of the transactions 13 that have taken place between Mr. Konitzer and 14 Michael Jackson? 15 A. Just when Konitzer was on the phone with 16 Michael to tell me that it was okay to work with 17 these people to do what needed to be done for the 18 project. 19 Q. And would you consider that to be a 20 conversation for Mr. Jackson's benefit? 21 MR. MESEREAU: Objection. Foundation; 22 vague. 23 MR. ZONEN: It's her opinion. 24 THE COURT: Sustained. 25 Q. BY MR. ZONEN: The conversation that you had 26 over the telephone with Mr. Konitzer involving your 27 involvement in a rebuttal was supposed to defuse a 28 difficult situation that Mr. Jackson was in; is that 8041 1 correct? 2 A. That was my understanding. 3 Q. So that was for his benefit, for Mr. 4 Jackson's benefit? 5 A. Correct. 6 MR. MESEREAU: Objection; argumentative. 7 Same objection. Foundation; opinion. 8 THE COURT: Overruled. 9 THE WITNESS: Correct. 10 Q. BY MR. ZONEN: And that's correct. 11 How many conversations have you been party 12 to between Mr. Konitzer and Mr. Jackson? 13 A. Just the one. 14 Q. That was the only one? 15 A. Yes. 16 Q. So you don't really know what extent of 17 communication they had between each other; is that 18 correct? 19 MR. MESEREAU: Objection. Assumes facts not 20 in evidence; foundation; move to strike. 21 THE COURT: Overruled. 22 THE WITNESS: Only what I was told. 23 Q. BY MR. ZONEN: Ahh. And told by whom? 24 A. By Marc. 25 Q. Only Marc; is that right? 26 A. And Dieter. 27 Q. Okay. Marc is the person you believe to be 28 an inveterate liar; is that correct? 8042 1 A. Yes. 2 Q. He told you that he was making seven and a 3 half million dollars off of this production, the 4 Maury Povich production? 5 A. Correct. 6 MR. MESEREAU: Objection; assumes facts not 7 in evidence. 8 THE COURT: Overruled. 9 Q. BY MR. ZONEN: Is that correct? 10 A. Yes, that's what I was told. 11 Q. Did you believe he was profiting from that 12 production? 13 A. Yes. 14 Q. Did you understand that production to be a 15 production for profit? 16 A. I didn't care. 17 Q. But did you understand it to be a production 18 for profit? 19 A. If I assumed that, you know, if you're going 20 to make it and sell it, yes, it's for profit. 21 Q. And you understood it was being sold? 22 A. Yes. 23 Q. You understood it was being marketed? 24 A. Yes. 25 Q. And that, in fact, was Marc Schaffel's job, 26 was to market that film? 27 A. Yes. 28 Q. And your involvement in it was to make it 8043 1 more marketable; is that true? 2 A. Correct. 3 Q. Do you think it was inappropriate for Marc 4 Schaffel to make a profit off that film? 5 MR. MESEREAU: Objection. Improper opinion; 6 calls for speculation; foundation. 7 THE COURT: Sustained. 8 Q. BY MR. ZONEN: In your opinion, should he 9 have made some profit off that film? 10 MR. MESEREAU: Same objection. 11 THE COURT: Sustained. 12 Q. BY MR. ZONEN: Do you have any reason to 13 brief that Michael Jackson didn't receive any profit 14 off that film? 15 MR. MESEREAU: Same objection. 16 THE COURT: Sustained. 17 Q. BY MR. ZONEN: Are you aware that Michael 18 Jackson was given over a million dollars in cash by 19 Marc Schaffel during that period of time? 20 MR. MESEREAU: Objection. Assumes facts not 21 in evidence; foundation; move to strike. 22 THE COURT: Sustained. 23 Q. BY MR. ZONEN: Now, I'd asked you your 24 number of conversations with Dieter Weizner. Is 25 Weizner somebody you knew back in the early .90s as 26 well? 27 A. He said I'd met him. I don't remember. 28 I met a lot of people when Michael was on tour. 8044 1 There was a ton of people involved. 2 Q. Did you have a face-to-face conversation 3 with Dieter Weizner in 2003? 4 A. For the inter -- at The Ivy. Not for the 5 interview or anything. 6 Q. And The Ivy was just the lunch that you had 7 with them? 8 A. Yes. 9 Q. Did you stay and actually have a lunch? 10 A. I was -- yeah, I was a wreck. They moved us 11 inside until it was completely out of control, and 12 it had -- I had to leave. 13 Q. So you didn't really have a conversation 14 with him? 15 A. We did talk. 16 Q. About what? 17 A. About how they were going to -- that the 18 people that were on the other side of town were 19 inching them out and not including them, and that 20 this would show them and get their attention because 21 I was with -- with them. 22 Q. All right. Now, this was in 2004; is that 23 right? 24 A. I think -- I don't remember the date. 25 Q. This is well after the Indictment was 26 returned against Mr. Jackson; is that correct? 27 A. No. It was -- I believe it was before. 28 Q. Were you -- 8045 1 A. I don't -- I don't remember the date. 2 Q. Were you already involved in having given 3 information to law enforcement regarding this 4 investigation? 5 A. I think so. I don't remember. 6 Q. You described Mr. Jackson as a brilliant 7 businessman. 8 A. Yes. 9 Q. Is that a true statement? 10 A. In my opinion, yes. 11 Q. During the years that you knew him, you 12 understood him to be very talented at the business 13 end of his career; is that correct? 14 A. I thought so. 15 Q. He was successful in making an awful lot of 16 money during the years you knew him; is that right? 17 A. Yes. 18 Q. And he knew Mr. Konitzer and Mr. Weizner for 19 over ten years, didn't he? 20 A. I don't know how long they'd known each 21 other. I don't remember when they met. I remember 22 meeting -- like I said, I remember meeting Ronald 23 when he was showing marketing things to Michael. 24 I don't even remember what city we were in. 25 Q. But it was the early .90s, was it not? 26 A. Yeah. Yeah. It would have had to have 27 been. So, yeah, I guess that would be ten years. 28 Q. Would the same be true as to Dieter Weizner? 8046 1 A. I don't remember meeting Dieter. Even 2 though he said I did, I don't remember. 3 Q. So when did you understand Mr. Weizner's 4 involvement with Michael Jackson to begin? 5 A. The man carried six cell phones. I wasn't 6 quite sure what -- I wasn't sure if he was a 7 liaison, if he was doing the European marketing and 8 working with Marc Schaffel doing the American 9 things. All I knew is that the three of them 10 were -- 11 Q. Who are we talking about right now? 12 A. Ronald, Marc and Dieter were involved in -- 13 directly in the video and saving Michael after this 14 documentary came out. 15 Q. All right. Is there anything that you saw 16 that was put out to any of the tabloids or any of 17 the newspapers by any of the three of them that you 18 felt was negative to Michael Jackson? 19 A. What do you mean? 20 Q. Well, you talked about Mr. Schaffel giving 21 information out to the tabloids; is that right? 22 A. Yes, but he did it to -- he said he could 23 run interference. That was why he had Ian Drew as a 24 plant at The Globe, to run interference, because -- 25 I didn't know this, but I guess the magazines are 26 all owned by the same company and they shuffle the 27 stories around. 28 Q. What kind of interference? 8047 1 A. To keep bad stories or gossip, or whatever, 2 out, so he would release good information to someone 3 he thought was more reputable. 4 Q. Bad stories about whom? 5 A. Michael. 6 Q. All right. So the work that they were doing 7 was trying to boost his reputation? 8 A. Correct. 9 Q. And improve his reputation? 10 A. Correct. 11 Q. Not destroy him. 12 A. After this documentary, correct. 13 Q. All right. Was it your understanding that 14 the more money Michael Jackson was capable of making 15 translated to the more money those three men were 16 capable of making? 17 MR. MESEREAU: Objection. Foundation; 18 relevance. 19 THE COURT: Sustained. 20 Q. BY MR. ZONEN: Did you know Frank Cascio? 21 A. Yes. 22 Q. How did you know Frank Cascio? 23 A. I met his family years ago. 24 Q. Years ago? 25 A. Yeah. 26 Q. How old was Frank Cascio when you met his 27 family? 28 A. It was just after little Michael had been 8048 1 born. He must have been middle teens maybe. He was 2 the oldest of the boys. 3 Q. You didn't know him as a person who was 4 involved in Mr. Jackson's relationships or business 5 affairs? 6 A. No. 7 Q. He was a teenager? 8 A. This is years ago. We're talking -- 9 Q. Yes. 10 A. Yeah. No, no, no. 11 Q. Did he visit Mr. Jackson regularly? 12 A. The family came up -- I knew him with the 13 family, when Mr. and Mrs. Cascio were there with the 14 kids, with the boys. 15 Q. Did you understand Frank Cascio's 16 relationship with Michael Jackson to be very close? 17 A. He was close with all the Cascios. 18 Q. Did you know Vinnie Amen? 19 A. No. 20 Q. You made the statement, “If I'm considered a 21 commodity of Mr. Jackson.” What did that mean? 22 MR. MESEREAU: Objection. Misstates the 23 evidence. She was talking about Mr. Schaffel. 24 THE COURT: Overruled. 25 You may answer. 26 Q. BY MR. ZONEN: Do you remember making that 27 statement? 28 A. Yes. 8049 1 Q. What did that mean? 2 A. I was sellable. 3 Q. Do you mean in conjunction with your giving 4 this interview? 5 A. Yeah. I don't do interviews. 6 Q. Did you ever give an interview for the 7 press? 8 A. I did a couple of things with Chuck Henry in 9 the late .70s. He was a newscaster for NBC in Los 10 Angeles. 11 Q. You've given no interviews other than that? 12 A. Not personally, no. 13 Q. Did you believe that made you more 14 marketable? 15 A. To do the interviews? 16 Q. Yes. 17 A. I don't want to be marketable. 18 Q. I didn't ask that. I said, do you believe 19 that it made you more marketable; in other words, 20 for somebody else? 21 A. Yeah. 22 Q. Do you believe that you were asked to 23 participate in this interview because it would make 24 the film more marketable? 25 MR. MESEREAU: Objection. Calls for 26 speculation; foundation. 27 MR. ZONEN: It's her opinion. 28 MR. MESEREAU: And improper opinion. 8050 1 THE COURT: Sustained for speculation. 2 Q. BY MR. ZONEN: Did any of the three of them, 3 Konitzer or Weizner or Schaffel, talk to you about 4 your participation in this video in terms of 5 mentioning that it would make the film more 6 marketable? 7 A. Yes, and that it would help Michael. 8 Q. Help Michael Jackson in terms of its 9 marketability? 10 A. Of the damage control from the Bashir 11 document -- documentary thing, show. 12 MR. ZONEN: Thank you. I have no further 13 questions. 14 MR. MESEREAU: No further questions, Your 15 Honor. 16 THE COURT: All right. Thank you. You may 17 step down. 18 THE WITNESS: Thank you, Judge. 19 THE COURT: Call your next witness. 20 MR. ZONEN: Iris Finsilver, please. 21 Your Honor, I'm sorry, I believe this may 22 take a moment. I believe she's upstairs. 23 THE COURT: When you get to the witness 24 stand, please remain standing. 25 BAILIFF CORTEZ: Remain standing. 26 THE COURT: Please remain standing. 27 THE WITNESS: Oh, yes, Your Honor. I'm 28 sorry. 8051 1 THE COURT: Face the clerk and raise your 2 right hand. 3 4 IRIS JOAN FINSILVER 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: Iris Joan Finsilver. I-r-i-s. 11 J-o-a-n. F-i-n-s-i-l, V as in “Victor,” e-r. 12 THE CLERK: Thank you. 13 THE WITNESS: Thank you. 14 15 DIRECT EXAMINATION 16 BY MR. ZONEN: 17 Q. Miss Finsilver, good morning. 18 A. Good morning. 19 Q. You're not used to being on that side of the 20 witness stand, are you? 21 A. No, I'm not. 22 Q. What is your occupation? 23 A. I'm a lawyer. 24 Q. How long have you been an attorney? 25 A. I was admitted to the bar of Michigan in or 26 about 1986. 27 Q. In then California? 28 A. In California, I believe I was admitted in 8052 1 1989. 2 Q. What kind of a practice do you have? 3 A. Family law. 4 Q. And family law means what? 5 A. Divorce, custody, child custody, support, 6 family matters. 7 Q. All right. Is Debbie Rowe Jackson your 8 client? 9 A. Yes. 10 Q. How long has she been your client? 11 A. Since in or about 1996. 12 Q. Did you represent her in her divorce with 13 Michael Jackson? 14 A. Yes, sir. 15 Q. Do you continue to represent her? 16 A. Yes, sir. 17 Q. Were you present at the filming of an 18 interview that took place in Calabasas at the 19 residence of Marc Schaffel back in February of 2003? 20 A. Yes, sir. 21 Q. Prior to doing that, had you engaged in any 22 legal work to be able to allow Deborah Rowe to 23 participate in that interview? 24 A. Yes, sir. 25 Q. What was the purpose of that? 26 A. It was -- she had signed a confidentiality 27 agreement, and in order for her to speak of Mr. 28 Jackson, she would have to be released from the 8053 1 confidentiality agreement for the express purpose of 2 speaking about Mr. Jackson. 3 Q. Did you draft that waiver of 4 confidentiality? 5 A. I think it was a mutual effort between Mr. 6 Jackson's lawyers and myself. It was in fact, yes. 7 Q. But it was one that was drafted as a 8 document? 9 A. Yes, sir. 10 Q. And was it one that required signatures? 11 A. Yes, sir. 12 Q. Whose signatures were required on that 13 document? 14 A. Mr. Jackson's and Deborah Rowe Jackson's. 15 Q. And did Debbie Rowe sign the document? 16 A. Yes, sir. 17 Q. And to your knowledge, did Mr. Jackson sign 18 the document? 19 A. Yes, sir. 20 Q. And following the signing of that document, 21 did Miss Rowe participate in an interview? 22 A. Yes, sir. 23 Q. Were you present during the interview? 24 A. Yes, I was. 25 Q. Were you present during the entirety of the 26 interview? 27 A. Yes. 28 Q. Approximately how long did that interview 8054 1 last? 2 A. Well, I can tell you the whole day was about 3 nine hours. And I can't exactly tell you how long 4 the filming took place. It was many hours of 5 filming throughout a nine-hour day. 6 Q. All right. Was there a man by the name of 7 Marc Schaffel present? 8 A. Yes, sir. 9 Q. Did you know Marc Schaffel prior to that 10 day? 11 A. I had never met him prior to that day. 12 Q. Did you know his name prior to that day? 13 A. I believe I did. 14 Q. In what context? 15 A. In that he would be -- 16 MR. MESEREAU: Objection. Relevance and 17 foundation. 18 THE COURT: Overruled. 19 Q. BY MR. ZONEN: Go ahead. 20 THE COURT: Go ahead. 21 Q. BY MR. ZONEN: Oh, you don't need to be told 22 that, do you? 23 A. In that he would be part of the interview 24 that was going to be taking place, so that's how I 25 heard of his name. And I knew that we were going to 26 be going to Marc Schaffel's home, where the filming 27 was conducted. 28 Q. And was that where it was conducted, at his 8055 1 home? 2 A. Yes, sir. 3 Q. Was he present during the interview? 4 A. Yes, sir. 5 Q. Was he present during the entirety of the 6 interview? 7 A. Yes. 8 Q. Did he periodically make comments with 9 regards to the answers or questions that were given? 10 MR. MESEREAU: Objection; leading. 11 THE COURT: Overruled. 12 You may answer. 13 THE WITNESS: Thank you. 14 Yes. 15 Q. BY MR. ZONEN: Did you hear any 16 representations from Mr. Schaffel at any time during 17 the course of the filming that dealt specifically 18 with the subject of Ms. Rowe's children? 19 A. Yes. 20 MR. MESEREAU: Objection; leading. 21 THE COURT: Overruled. The answer was, 22 “Yes.” Next question. 23 Q. BY MR. ZONEN: What were those 24 representations? 25 MR. MESEREAU: Objection; hearsay. 26 MR. ZONEN: Relevant for prior stated 27 purposes. 28 THE COURT: Overruled. 8056 1 You may answer. 2 Q. BY MR. ZONEN: Go ahead. 3 A. I heard him, in connection with her answers, 4 when she would give a favorable answer, “Oh, Michael 5 will be very, very pleased about this. You're 6 really helping him out of a big jam, and you'll go 7 to Neverland and you'll see Michael and your kids.” 8 Q. On how many occasions did he give an answer 9 of that nature? 10 A. I recall two specific times. There may have 11 been more. I just -- 12 MR. MESEREAU: Objection; move to strike. 13 THE COURT: The last sentence is stricken. 14 MR. ZONEN: Thank you. I have no further 15 questions. 16 THE COURT: Mr. Mesereau? 17 MR. MESEREAU: No examination, Your Honor. 18 THE COURT: Thank you. You may step down. 19 THE WITNESS: Thank you, Your Honor. 20 THE COURT: Call your next witness. 21 MR. SNEDDON: Your Honor, I want to get an 22 exhibit book. 23 THE COURT: All right. 24 MR. SNEDDON: I was going to ask permission 25 to go between there, but I'll.... 26 MR. ZONEN: I apologize, Your Honor. 27 I thought it would be a little faster than we 28 expected, but we are moving ahead of schedule. 8057 1 THE COURT: That's fine. 2 MR. SNEDDON: Call Andrew Dietz, Your Honor. 3 THE COURT: Come forward, please. 4 When you get to the witness stand, remain 5 standing. Face the clerk and raise your right hand. 6 7 ANDREW R. DIETZ 8 Having been sworn, testified as follows: 9 10 THE WITNESS: I do. 11 THE CLERK: Please be seated. State and 12 spell your name for the record. 13 THE WITNESS: Andrew R. Dietz, D-i-e-t-z. 14 THE CLERK: Thank you. 15 16 DIRECT EXAMINATION 17 BY MR. SNEDDON: 18 Q. Good morning. 19 A. Good morning. 20 Q. Mr. Dietz, you have a business -- you're 21 going to have to lean into that mike. Okay? 22 A. Good morning. 23 Q. Good morning. Do you have a business? 24 A. Yes, I do. 25 Q. And what is the name of your business? 26 A. Air Apparent, Inc. 27 Q. And where is your business located? 28 A. Los Angeles, California. 8058 1 Q. And what is the nature of the business? 2 A. It's a retail travel agency. 3 Q. And basically could you describe for us what 4 that means? What's a retail travel agency do? 5 A. We arrange transportation. 6 Q. And any other services you provide in 7 addition to transportation? 8 A. Not that I can think of. 9 Q. In connection with that transportation, you 10 make reservations at hotels and things like that? 11 A. Yes. Certainly. 12 Q. Now, in that particular business, what is 13 your position? 14 A. I'm the president. 15 Q. And how long have you been associated with 16 that business? 17 A. Since 1980. 18 Q. Now, is one of your clients MJJ Productions? 19 A. Yes. 20 Q. And how long has MJJ Productions been a 21 client of yours? 22 A. I believe around 15 years. 23 Q. And what is the nature of the business 24 services that you provide to MJJ Productions? 25 A. We arrange hotel, air transportation, 26 commercial air transportation, car reservations for 27 many of the people that he employs and engages in 28 work for himself. 8059 1 Q. What is the -- can you describe to the jury 2 what the business relationship is in terms of how 3 the services, once they're provided, how they're 4 invoiced and paid and how that works? 5 A. A call -- I think if you're asking how is 6 business conducted -- 7 Q. Yes. 8 A. -- a call's typically made and a reservation 9 is usually made, a ticket is usually generated. 10 It's then invoiced and sent to the client. 11 Q. Now, at the time that the ticket is made, 12 do you have to -- do you have to pay for the ticket 13 yourself? 14 A. The minute the ticket is issued, it's my 15 obligation to pay the carrier. 16 Q. Okay. I guess that was the question. And 17 then you pay it and then invoice the client? 18 A. Correct. 19 Q. And then the client repays you? 20 A. Correct. 21 Q. Was that the type of business arrangement 22 that you had with MJJ Productions? 23 A. Yes. 24 Q. Now, at some point back in 2004, did members 25 of the sheriff's department come to your business 26 and execute a search warrant with regard to your 27 records? 28 A. Yes, they did. 8060 1 Q. And those records involved MJJ Productions; 2 is that correct? 3 A. Yes. 4 Q. And the time period covered by that was 5 March -- February and March of 2003? 6 A. I believe that's correct. 7 MR. SNEDDON: Your Honor, may I approach the 8 witness? 9 THE COURT: Yes. 10 Q. BY MR. SNEDDON: All right. Mr. Dietz, I'm 11 going to hand you a book, and there are a number of 12 exhibits in the book. And the first exhibit I'd 13 like you to look at begins with 223 and I'd like you 14 to look just quickly through 249, and ask you if you 15 examined those documents yesterday, just to ensure 16 they're the documents that you examined. 17 A. Through what number? 18 Q. 249. 19 A. Did you say 239? 20 Q. 249. 21 A. I believe these are all the records that we 22 reviewed last night. 23 Q. And those records are records from your 24 business; is that correct? 25 A. That is correct. 26 BAILIFF CORTEZ: Excuse me, sir. 27 THE WITNESS: That is correct. 28 Q. BY MR. SNEDDON: And these records generally 8061 1 deal with what type of transactions? 2 A. Airline reservations, or airline tickets. 3 Q. And are they records dealing with your 4 business relationships with MJJ Productions? 5 A. They are invoices which reflect transactions 6 that we did. 7 Q. I think you're going to have to lean into 8 that mike a little bit. 9 A. Those are invoices that relate to tickets 10 that were issued to MJJ Productions. 11 Q. Now, are these generally the records that 12 are kept in the regular course of your business? 13 A. Yes, but not in the manner in which they 14 were given to you. 15 Q. What do you mean by that? 16 A. I mean the invoices are separated from the 17 copies of the tickets. 18 Q. Okay. We'll get to that. But both of those 19 documents are kept in the regular course of your 20 business; is that correct? 21 A. Yes. 22 Q. And the transactions that are reflected in 23 those documents, do those reflect transactions that 24 were made at or about the time that those events 25 occurred? 26 A. I believe they do. 27 Q. By people who are in your organization who 28 are responsible for documenting those? 8062 1 A. Yes. 2 Q. Let's turn -- if you could get that exhibit 3 book and put it back in front of you, I'm going to 4 ask you a couple of questions. 5 A. Okay. 6 Q. With regard to -- let's turn to Exhibit No. 7 224, if we can. 8 A. Okay. 9 Q. All right. On -- 10 A. 2-2-4? 11 Q. Yeah, 2-2-4. 224. 12 A. Gotcha. All right. 13 Q. 224 has two pages in it, correct? 14 A. Yes. 15 Q. Now, with regard to the first page, what is 16 the title of that document? 17 A. It's called an “Itinerary/invoice number.” 18 Q. Do you recognize that document? 19 A. Yes, I do. 20 Q. Can you explain to us how that document's 21 generated? 22 A. An agent in the office will book a 23 reservation. The reservation system will then, at 24 the agent's queue, ticket the reservation for the 25 itinerary in question, and then an e-ticket is 26 basically created for a passenger to be picked up at 27 Los Angeles International Airport. 28 Q. And then with regard to that particular 8063 1 document, how do you use that in your business? 2 A. To collect money. 3 Q. To collect money. That's the invoice part 4 of it? 5 A. That's the invoice part. The itinerary part 6 is related to the -- for the accountant, business 7 manager, to see the nature of the -- see the actual 8 details of the flight, as would the ticket show you 9 the same things, as relates to dinner or how long 10 the flight was, things like that. 11 Q. All right. So these are generated at or 12 about the time of the transaction, contemporaneous 13 with the transaction? 14 A. Yes. In most cases. 15 Q. And you say the invoice part of it. How 16 does it serve as an invoice? How do you use that in 17 your business practice? 18 A. I mail them out for my services, and I 19 expect them to get paid in a timely manner. 20 Q. Okay. Now, the second part of that 21 Exhibit 224 has what is called an agent coupon, 22 correct? 23 A. Correct. 24 Q. All right. Would you explain to us what the 25 agent coupon is? 26 A. The agent coupon I believe represents our 27 copy of the transaction for purposes of maintaining 28 it for our regulatory people. In the airline 8064 1 business, you have to report your weekly sales of 2 airline tickets. 3 Q. So that would be a record used by you to be 4 audited -- 5 A. We present the, quote, “auditor's coupon,” 6 and we retain the agent coupon. A ticket has many 7 different -- has flight coupons, as well as agent 8 coupons, passenger coupons, and auditor coupons. 9 Q. And how is the document -- agent coupon 10 generated or prepared? 11 A. It's one of -- as I just stated, it's I 12 think a five-part document. 13 Q. But internally that document is generated 14 within your business? 15 A. Within our reservation system. 16 Q. Now, within your company, with regard to the 17 agent coupon document, are those located in a 18 separate place in your business? 19 A. Yes. 20 Q. So they're not located exactly with the 21 invoice and the itinerary information? 22 A. Definitely not. 23 Q. But they're both located and kept for 24 business purposes? 25 A. Correct. 26 Q. And are the exhibits contained in the ones 27 that you reviewed, 223 through 239 (sic), are those 28 records regularly relied upon by you to conduct 8065 1 business? 2 A. I believe they are, yes. 3 MR. SNEDDON: Your Honor, I'd move to admit 4 223 through 249 into evidence as business records. 5 MR. SANGER: No objection. 6 THE COURT: All right. They're admitted. 7 MR. SNEDDON: And with the Court's 8 permission, I'd like to remove a couple of the 9 documents to publish. 10 THE COURT: All right. 11 MR. SNEDDON: To ask some further questions. 12 I don't need the lights just yet, Your 13 Honor. 14 Q. There are two other documents that I want to 15 show you before we go through the publication 16 process. And I'm showing them to counsel. 17 These have been marked, Your Honor, as 852, 18 which is a three-page document from Air Apparent, 19 and 853, which is a five-page document, or five 20 pages in the document, which is also an Air Apparent 21 record. 22 And may I approach? 23 THE COURT: Yes. 24 Q. BY MR. SNEDDON: Mr. Dietz, I'm going to 25 hand you the exhibit marked as Exhibit 852. I'd 26 like you to take a look at that for just a moment. 27 A. Okay. 28 Q. Go ahead and take a look at the pages in 8066 1 that document. They're multiple pages. 2 Do you recognize those? 3 A. Yes. 4 Q. Those are also documents that were obtained 5 through the search warrant? 6 A. I believe so. 7 Q. And those are also records that are kept in 8 the normal course of your business? 9 A. I believe so. 10 Q. And it is also, just for the record, an 11 itinerary/invoice record, correct? 12 A. Correct. 13 Q. And let me show you 853 and ask you if you 14 recognize that. And the pages attached, there are 15 five pages. 16 A. Yes. 17 Q. Do you recognize those documents? 18 A. Yes, I do. 19 Q. And you were able to compare those documents 20 to your actual business records to ensure that they 21 were part of the records that were taken pursuant to 22 the search warrant, correct? 23 A. Yes. 24 Q. And with regard to those records, they were 25 also made at or about the time of the transaction? 26 A. Yes. 27 Q. By personnel -- 28 A. Yes. 8067 1 Q. -- in your office and kept in the normal 2 course of business? 3 A. Yes. 4 Q. All right. Thank you. 5 Your Honor, I'd move to admit 852 and 853. 6 MR. SANGER: No objection. 7 THE COURT: They're admitted. 8 MR. SNEDDON: All right. Now, Your Honor, 9 if we could have the Elmo, I'd appreciate it. 10 Q. The document that's up there is 223, which 11 is in evidence, okay? Now, do you recognize this 12 document? 13 A. Yes. 14 Q. Now, at the top of the document I'm 15 indicating a customer number. Are the individuals 16 that you service assigned a customer number? 17 A. Yes. 18 Q. And that number carried over to all the 19 business transactions that you conduct with that 20 particular individual or company? 21 A. Several accounts have different companies -- 22 there is different -- there are some accounts that 23 have different customer numbers. 24 Q. In other words, an individual or a business 25 may have more than one account with you? 26 A. Correct. 27 Q. Okay. But wherever they are billed to, that 28 number is used, either on one of the accounts or on 8068 1 another account with regard to that business or 2 individual? 3 A. The MJJ Productions had more than one 4 account. 5 Q. Correct. Now, the information at the top, 6 it says, “MJJ Productions.” What is that 7 information in terms of how you conduct your 8 business? 9 A. That's the mailing -- that's the mailing 10 address that we've been requested to send invoices 11 to. 12 Q. And with regard to the next line down, it 13 says “For,” and has “Gavin Arvizo, Star Arvizo, 14 Janet Arvizo.” Do you see that? 15 A. Yes. 16 Q. And what does that information reflect? 17 A. I believe it reflects the passengers' names. 18 Q. And obviously the next says, “Travel 19 Itinerary.” This is the itinerary that was explored 20 for these individuals; is that correct? 21 A. Correct. 22 Q. And lastly, it indicates whether the ticket 23 is a one-way ticket or a round-trip ticket, correct? 24 A. Correct. 25 Q. In this case, this particular itinerary 26 that was looked into was a one-way ticket for those 27 individuals? 28 A. Correct. 8069 1 Q. Now, with regard to this particular 2 document -- look in the book, if you would, to the 3 document in front of you that's 224, okay? 4 A. Yeah. 5 Q. On that particular document, the heading on 6 it is “Itinerary and Invoice,” correct? On 224? 7 A. Yes. 8 Q. And this particular document only reflects 9 the itinerary on the date of February the 5th, 10 correct, of 2003? 11 A. Correct. 12 Q. What is the difference, if there is one, in 13 the use between the document reflected in 223 and 14 the document that you just spoke about in 224? 15 A. Well, the itinerary typically is a document 16 which you would fax to somebody or e-mail somebody 17 to inform that -- to more or less confirm with the 18 person that requested the transportation that, “This 19 is the itinerary request” -- 20 Q. Okay. And -- 21 A. -- “correct?” And then we expect, you know, 22 “That's right. Ticket it.” 23 Q. And with regard to the travel itinerary, I 24 want to go back to the date underneath where it 25 says, “Travel Itinerary,” on 223, it says, “05 26 February, .03.” That would be the date of travel? 27 A. That's correct. 28 Q. Okay. We can take that one down. 8070 1 All right. This is Exhibit 852, all right? 2 A. Yes. 3 Q. Could you explain to us what this particular 4 document is that is displayed as 852 and that has 5 the heading “Itinerary/Invoice Number”? 6 A. This is primarily what I refer to as an 7 invoice. And as I was relating before, besides 8 showing you how much the tickets cost, it also 9 provides an itinerary for the passenger, or for the 10 person paying the bill, so that they can see that -- 11 whatever flight information they want to see from 12 that. 13 Q. All right. Now, in this particular 14 document, 852, it reflects that the customer -- it 15 has a customer number, correct? 16 A. Correct. 17 Q. Is that the customer number for one of the 18 accounts for MJJ Productions? 19 A. Yes. 20 Q. And then the “To” section on this particular 21 document, 852, is where you would send the bills to? 22 A. That's correct. 23 Q. Right below are a couple of names. What are 24 those names? Why are those names on that itinerary? 25 A. That probably represents the passengers 26 flying. 27 Q. And then under “Travel Itinerary,” then that 28 is the flight information, correct? 8071 1 A. That is correct. 2 Q. And then on the Travel Itinerary it has, 3 above -- on the line where I'm showing, it shows 4 air -- “American Airlines Flight 1245,” and then it 5 has across there “Business.” What does that 6 reflect? 7 A. The type of service. Business class. 8 Q. Business class. And to your knowledge, how 9 many types of services or classes are there on 10 ordinary domestic flights? 11 A. Primarily coach and first class. They throw 12 in business as well. 13 Q. And then down at the bottom it would be the 14 total amount due on this particular invoice? 15 A. That's correct. 16 Q. All right. The second page of the Exhibit 17 852, what is that? 18 A. That's a copy -- that's the agent coupon. 19 Q. This is what you told the jury about earlier 20 in your testimony? 21 A. Yes. 22 Q. And with regard to this particular document, 23 the information that is on this document, does it 24 give flight information? 25 A. Yes. 26 Q. And does it give the name of the individual 27 on it? 28 A. Certainly. 8072 1 Q. So in this case, it says, “Christopher 2 Carter,” correct? 3 A. Correct. 4 Q. And it also contains the amount of money 5 that's paid? 6 A. Correct. 7 Q. All right. The third and last document of 8 page 852 is another agent coupon, correct? 9 A. Yes. 10 Q. It reflects a different name on it; is that 11 right? 12 A. Correct. 13 Q. And the name being? 14 A. “Danny Crawford.” 15 Q. And these two names are the same names that 16 are on the front page of the invoice/itinerary that 17 you earlier talked about as Exhibit 852. I don't 18 know if you have that in front of you. We can put 19 that back up. Here it is. 20 Same two names under the “For” section, 21 F-o-r, in 852, correct? 22 A. The first one said Christopher Carter. That 23 makes sense. The second one said Danny Crawford. 24 Q. And they correspond to the agent coupons 25 that go with this document? 26 A. Yes. 27 Q. The flight information matches up; is that 28 correct? 8073 1 A. That's -- hold on one second. If you go 2 back to the ticket, I can tell you. 3 Q. All right. Put the agent coupon back up. 4 You may want to heighten that up a little bit. 5 A. I'm trying to look first. 6 BAILIFF CORTEZ: Okay. 7 THE WITNESS: Can't see the flight 8 information. J. American Airlines. I'm sorry, I'm 9 not that familiar with these documents. 10 MR. SANGER: Your Honor, excuse me. I'm 11 sorry. 12 MR. SNEDDON: Let me -- 13 MR. SANGER: I couldn't hear the witness's 14 last answer. 15 MR. SNEDDON: There was no question pending, 16 I don't think. 17 MR. SANGER: He was asked to look at the -- 18 he said something about, “I'm not” -- sounded like 19 he said, “I'm not familiar,” and I couldn't hear 20 what he said. 21 THE WITNESS: I said -- do you want me to 22 answer? 23 THE COURT: He said that he wasn't that 24 familiar with the document. 25 MR. SANGER: Thank you, Your Honor. 26 THE WITNESS: What are -- what do you want 27 me to tell you about this document? 28 MR. SNEDDON: Let me just put that down. 8074 1 Let's put 852 back up. This is.... 2 Q. All right. On the document, 852, it has two 3 airline ticket numbers, correct, in the lower 4 left-hand corner? 5 A. I can tell you if they're the same ticket 6 numbers for sure -- 7 Q. You have to turn into the microphone. 8 A. I can tell you if they're the same numbers 9 if you go back. 10 Q. You got ticket numbers on the invoice and 11 itinerary. 12 A. That I can see. 465, 466. 13 Q. Okay. And then if you put up the other 14 two -- 15 A. 466 and 465. 16 Q. They match? 17 A. That matches. 18 Q. So they go with that flight? 19 A. I believe they do. 20 Q. All right. Wasn't supposed to be that hard. 21 It's hard to see from here. No problem. 22 Let's try 853. All right. Now, this 853 is 23 another document that's an itinerary/invoice, 24 correct? 25 A. Yes. 26 Q. For March 2nd? 27 A. Right. 28 Q. And it reflects that there are four people 8075 1 who are supposed to travel under this invoice? 2 A. Yes. 3 Q. And four tickets issued down in the lower 4 left-hand corner, correct? 5 A. Yes. 6 Q. With ticket numbers associated with that 7 flight? 8 A. Yes. 9 Q. All right. Now, I'm going to put up the 10 first agent coupon for that flight. And I'll tell 11 you what I'm going to do. I'm going to come up 12 there and hand you 852, the first page. Make this 13 easier. 14 A. Yes. Thanks. 15 Q. Now, looking at 852, and the front part of 16 it that has the ticket information for it, and 17 looking at the exhibit -- agent coupon, which is 18 part of that exhibit, does the ticket number on the 19 front of that invoice match the agent coupon on the 20 Exhibit 853? Or -- 853, yes. 21 A. Yes. 22 Q. All right. Let's put the second one up. 23 And -- excuse me. That was for an M. Jackson, 24 correct? 25 A. Yes. 26 Q. All right. Let's put the second one up, the 27 second agent coupon. 28 Now, this particular agent coupon has 8076 1 stamped in the middle of it “Void,” v-o-i-d, 2 correct? 3 A. Correct. 4 Q. And could you look at the front of the 5 document, the first page with regard to the ticket 6 number? Does the ticket number on the agent coupon 7 for a Michael LaPerruque match the ticket number on 8 the front of the invoice for this particular 9 document, 853? 10 A. Yes. 11 Q. Now, with regard to your business practices, 12 what does it mean when you have an agent coupon that 13 has “Void” on it? 14 A. The ticket was not used. 15 Q. And how is it that you become informed, in 16 your normal business practices, that the ticket was 17 not used? 18 A. In our normal business practices? 19 Q. Right. 20 A. Either they don't show up at the airport, or 21 somebody calls in and tells us to cancel the 22 reservation. 23 Q. Are you also -- are you given any 24 information from the airlines themselves that 25 reflects whether the person was on the flight or 26 not? 27 A. No -- yes. For e-tickets, the person has to 28 pick up the e-ticket. 8077 1 Q. And if they don't, then you're notified? 2 A. Then we're notified. 3 Q. And -- 4 A. To the best of my knowledge. 5 Q. And the particular stamp “Void” that's on 6 the ticket agent -- or the agent coupon, on this one 7 for Mr. LaPerruque, is that placed on there by your 8 staff in the regular course of your business in the 9 performance of their responsibilities? 10 A. Yes. Yes. 11 Q. Is this document used to adjust any billings 12 that may have occurred where a ticket wouldn't be 13 used? 14 A. Certainly. 15 Q. Let's go back to the document you have in 16 front of you, which is 853, okay? 17 A. Uh-huh. 18 Q. So we're all on the same page. 19 853 is a billing for four tickets in the 20 total amount of what? 21 A. $6,644. 22 Q. And if this ticket -- if this particular 23 ticket to Mr. LaPerruque isn't used, then you have 24 to adjust your billings accordingly; is that 25 correct? 26 A. Yes. 27 Q. All right. Let's go to the next one. The 28 next agent coupon involves an individual by the name 8078 1 of Marie Cascio. Do you see that? 2 A. Yes. 3 Q. And on the exhibit that you have in front of 4 you, the itinerary invoice, does the name “Marie 5 Cascio” appear? 6 A. Yes. 7 Q. And is the ticket number assigned to her on 8 the exhibit number of the first age, 853, the same 9 as the ticket number on the agent coupon that the 10 jury's looking at? 11 A. Yes. 12 Q. And again, this one is stamped with “Void,” 13 correct? 14 A. Correct. 15 Q. Meaning she did not take the trip? 16 A. She did not make that trip. 17 Q. All right. Let's put up the last one. 18 The last agent coupon associated with the 19 invoice 853 is an Aldo Cascio, correct? 20 A. Yes. 21 Q. Does the ticket number on this particular 22 document, the agent coupon, match up with the ticket 23 number on the first page of 853? 24 A. Yes. 25 Q. And again, this one is stamped with “Void,” 26 correct? 27 A. Yes. 28 Q. Indicating the person did not make the 8079 1 flight? 2 A. Yes. 3 MR. SNEDDON: I think we can have the 4 lights, Your Honor. Thank you. 5 I have two more documents, Your Honor, that 6 I'd like to have marked for identification. 854 and 7 855 for identification purposes. I'm showing them 8 to counsel. He's seen them. 9 THE COURT: All right. 10 Q. BY MR. SNEDDON: All right. Mr. Dietz, I'm 11 going to take this back so we don't lose it. You 12 can swing around there. 13 I'm going to show you a document that -- 14 it's actually a three-page document, front, back and 15 then front, entitled, “Client Summary,” and ask you 16 to look at that document. 17 Do you recognize that document? 18 A. Yes, I do. 19 Q. And does that document for the time period 20 of - may I have it back just a second, just to make 21 sure I've got this right? - February 5th, 2003, 22 through February 12th, 2003, reflect the summary of 23 the transactions that -- and services provided by 24 your company to MJJ Productions? 25 A. Not this in front of us. This is only two 26 pages. 27 Q. No, the back page. 28 MR. SANGER: I'm sorry, I can't hear the 8080 1 witness. 2 MR. SNEDDON: He said -- 3 Q. Lean into it and say what you said. 4 A. I'm sorry, I thought we did more 5 transactions than this in that time frame. There 6 must be another client summary. 7 Q. This is only for the 5th to the 12th. 8 A. Okay. 9 MR. SANGER: Objection. Leading and 10 argumentative. 11 THE COURT: Overruled. 12 Q. BY MR. SNEDDON: Go ahead and take the paper 13 clip off and look at all three pages. 14 Have you looked at all three pages? 15 A. Yes. 16 Q. Okay. You -- 17 A. But they only reflect activity through 18 February 12th, when this is for February 1st through 19 March 31st. 20 Q. Okay. But the caption at the right is -- 21 has a larger period, correct? 22 A. That's right. 23 Q. All right. Now, I want to show you -- 24 A. And there's transactions that you've shown 25 me that are clearly not on here. 26 Q. Now I want to show you Exhibit 855. 27 A. Okay. 28 Q. And take the clip off and look at them front 8081 1 and back, if you would. 2 A. Okay. Okay. 3 Q. You've seen those documents before, correct? 4 A. Yes. 5 Q. You saw them last night? 6 A. Correct. 7 Q. Are those the other transactions that you 8 had in mind between this time period in question? 9 A. Yes. 10 MR. SANGER: Objection; calls for hearsay. 11 THE COURT: Overruled. 12 Q. BY MR. SNEDDON: And this particular 13 document, which is 13 pages in length, covers the 14 period 2-12-03 -- 15 A. Uh-huh. 16 Q. -- correct? And ends at the end of March of 17 2003, correct? 18 A. Uh-huh. Yes. 19 Q. Now -- all right. Why don't you keep these 20 for just a second. 21 All right. Now, Mr. Dietz, with regard to 22 the Exhibit 854, does that have an account number on 23 it? 24 A. 854. Yes, it does. 25 Q. What's the account number? 26 A. 1359. 27 Q. What's the customer? 28 A. MJJ Productions, Inc. 8082 1 Q. You're going to have to lean into the mike. 2 A. MJJ Productions, Inc. 3 Q. All right. Now, let's look at Exhibit 855, 4 if we can. 5 A. Okay. 6 Q. What's the billing account on that 7 particular series of transactions? 8 A. MJJ Productions, Inc. 9 Q. That's the customer? 10 A. That's the customer. 11 Q. What's the account number? 12 A. 1656. 13 Q. It's a different account from the other -- 14 from Exhibit 854, correct? 15 A. That's correct. 16 Q. Now, with regard to the information that is 17 reflected in those client summary forms - okay? - 18 the information reflected in those, is that 19 information that you keep in the normal course of 20 your business? 21 MR. SANGER: I'm going to object, Your 22 Honor. There's a lack of foundation as to who 23 prepared these and where they came from. 24 MR. SNEDDON: Well, that's what I'm trying 25 to do. 26 THE COURT: The objection is overruled. 27 You may answer. 28 Q. BY MR. SNEDDON: Is the information 8083 1 contained in these documents, Client Summary, 2 information that you utilized in your business to 3 bill clients and to keep a history on the services 4 you provide to those clients? 5 A. Is the information? 6 Q. Yes. 7 A. Yes, the information is. 8 Q. And then that information, in this 9 particular case with regard to MJJ Productions' 10 accounts during this time period, was put into this 11 format, correct? 12 MR. SANGER: Objection; lack of foundation. 13 THE COURT: I don't know what the question -- 14 really what you're asking him. Maybe you do, but I 15 don't. 16 MR. SNEDDON: If you don't, the jury 17 doesn't, so I better start over again. 18 Q. The documents that you have, let's start 19 with them individually. 854, the Client Summary for 20 854, okay? 21 A. Yes. 22 Q. All right. Did your -- did your business 23 prepare those documents? 24 A. Yes. 25 Q. And -- you have to lean into the microphone. 26 A. Yes. 27 Q. And did your business -- did the information 28 contained on the document, 854, come from business 8084 1 entries of documents that you maintained in the 2 regular course of your business, information that 3 you maintained? 4 A. Yes. It's a computer-generated report. 5 It's something we made up. It's something that the 6 computer generates based on the subpoena we 7 received, which was to give us all the transactions 8 that occurred between February 1st and March 31st. 9 Q. And between the documents 8 -- in 855, the 10 document 855, look at that. That's a Client 11 Summary? 12 A. Uh-huh. 13 Q. Is that the same -- would you make the same 14 statement with regard to that document? It's 15 information generated from your computers? 16 A. That's correct. 17 Q. And -- 18 A. For the purposes of the subpoena. 19 Q. Correct. Now, with regard to those 20 particular documents, do they cover the transactions 21 that are reflected in the Exhibits 223 through 249? 22 A. I haven't had time to do that, but I would 23 assume they do. 24 Q. Well, yesterday -- 25 MR. SANGER: Excuse me. Move to strike as 26 speculation. 27 THE COURT: Sustained. Stricken. 28 Q. BY MR. SNEDDON: Yesterday, you were asked 8085 1 to look at those Client Summary forms and compare 2 them with certain transactions to confirm whether or 3 not particular invoices were sent in certain amounts 4 for certain flights, correct? 5 MR. SANGER: Objection; leading. 6 THE COURT: Overruled. 7 THE WITNESS: Can you say that again? 8 THE COURT: I can have it read back to you. 9 Just a moment. 10 (Record read.) 11 THE WITNESS: Yes, we briefly looked at this 12 Client Summary for a few -- for a few -- I would say 13 for less than 30 seconds. And I referred -- I 14 actually remember going back to it once or twice 15 with respect to one or two invoices on it. 16 Q. BY MR. SNEDDON: Right. 17 A. Rather than every one on them. So I 18 couldn't attest to every one. In general -- 19 Q. We discussed in general -- 20 A. We discussed the ones you've already brought 21 up. 22 Q. Let's just establish that, okay? 23 A. Okay. 24 MR. SANGER: I want to move -- Mr. Sneddon's 25 comments about what he discussed, move to strike 26 those. 27 MR. SNEDDON: I don't have a problem with 28 that, Judge. I'll just ask the question. 8086 1 THE COURT: All right. Go ahead. 2 Q. BY MR. SNEDDON: Mr. Dietz, with regard to 3 the Documents 854 and 855 -- 4 A. Yes. 5 Q. -- yesterday you and I discussed how those 6 documents were prepared, correct? 7 A. Yes. 8 MR. SANGER: Objection; leading. 9 THE WITNESS: Yes. 10 THE COURT: Overruled. The answer is, “Yes.” 11 Next question. 12 Q. BY MR. SNEDDON: And then I asked you to 13 take those documents and look at a couple of 14 specific flights, did I not? 15 A. Yes. 16 MR. SANGER: Objection. Leading, Your 17 Honor. 18 THE COURT: Overruled. 19 Q. BY MR. SNEDDON: Now, with regard to the 20 transaction reflected in the Document 853 -- 21 A. Okay. 22 Q. -- all right? - were you asked to look at 23 your Client Summary form to determine whether or not 24 the invoice reflects a charge of 6,000 -- whatever 25 it is, $6,600 for those four people, or whether it 26 reflects a flight of one person? 27 A. It reflects -- I believe it reflects the 28 price of one person. 8087 1 MR. SANGER: I'm going to move to strike 2 that answer on the grounds that it's based on 3 hearsay. And there's no foundation. 4 MR. SNEDDON: Your Honor, I think he's -- 5 the records are before the Court, and he's simply 6 using this to verify the authenticity of those 7 records. 8 MR. SANGER: Objection to speaking 9 responses. 10 MR. SNEDDON: Well -- 11 THE COURT: Well, it seems to me you haven't 12 offered them as business records. 13 MR. SNEDDON: I was getting there. I was 14 trying to lay the foundation for that, as to the 15 relevancy first, and then I was going to go into 16 that. Perhaps if you -- 17 THE COURT: I think if you go to the business 18 record foundation first, and then they're either 19 admitted or not admitted, then you're -- if they're 20 admitted, then you can question him in the way 21 you're questioning him. 22 MR. SNEDDON: All right. 23 THE COURT: And I know I might be not quite 24 understanding still the record that he's looking at. 25 MR. SNEDDON: Let me ask one other question. 26 It might help the Court guide us through this. 27 THE COURT: All right. 28 MR. SNEDDON: Make it a little clearer. 8088 1 Q. Mr. Dietz, you're going to have to lean into 2 the microphone there, okay? 3 A. Uh-huh. 4 Q. Mr. Dietz, with regard to the Exhibit 853 - 5 okay? - that's the one that has the void tickets on 6 it. 7 A. Yes. 8 Q. -- does your business maintain information 9 that would reflect the adjustment as to whether or 10 not the original invoice is sent to your client for 11 payment or some subsequent amount is sent to reflect 12 the voids? 13 A. The original invoice may have definitely 14 been mailed out. Actually, no, I know that it was 15 not mailed out. It was adjusted to reflect that one 16 passenger -- that only one e-ticket was issued. 17 Q. Now, going to the Client Summary form, okay? 18 A. Yes. 19 Q. Do the Client Summary forms contain 20 information maintained by your business in the 21 normal course of business to reflect the 22 transactions that occurred on the exhibits that I 23 showed you, 223 to 249? 24 A. Yes. 25 Q. And that information is kept in the normal 26 course of your business, correct? 27 A. The information on that summary is. 28 Q. Yes. 8089 1 A. Yes. 2 Q. And with regard to the mode and time of the 3 preparation of that information as it's placed into 4 your computer, it's made at or about the time of the 5 transactions; is that correct? 6 MR. SANGER: Objection. That -- there's a 7 lack of foundation. That's the connection. Lack of 8 foundation. 9 THE COURT: Overruled. 10 You may answer. 11 THE WITNESS: Can you repeat the question? 12 THE COURT: Yes. 13 (Record read.) 14 THE WITNESS: Yes and no. 15 Q. BY MR. SNEDDON: Yes and what? 16 A. Reservations can be made. It's only -- an 17 invoice is generated only when the reservation is 18 turned into a ticket. 19 Q. Right. And that's what we're talking about 20 here. 21 A. Okay. 22 MR. SANGER: Objection. Move to strike 23 counsel's comment. 24 MR. SNEDDON: Well -- 25 THE COURT: Overruled. Go ahead. 26 Q. BY MR. SNEDDON: Just so there will be no 27 question about it, the exhibits we're talking about, 28 except for the one exhibit, 223, all reflect 8090 1 transactions that occurred, correct, tickets were 2 issued? 3 A. Except for -- 4 MR. SANGER: I'm sorry, I have to object. 5 What exhibits are we talking about, except for 223? 6 Vague. 7 MR. SNEDDON: I'll clarify it. 8 Q. I asked you to look at the documents 223 9 through 249, and then I asked you to look at 852 and 10 853, correct? 11 A. Yes. 12 Q. All right. Are those all transactions that 13 occurred between you, Air Apparent, your company, 14 and MJJ Productions? 15 A. Yes. 16 Q. And with regard to the information contained 17 on those transactions, is that the information 18 that's downloaded to your computers? 19 A. Yes. 20 Q. And you use that for your business purposes? 21 A. Yes. 22 Q. And with regard to the exhibits, now getting 23 back to 854 and 855 - all right? -- 24 A. Yeah. 25 Q. -- they contain a client summary - correct? -- 26 A. Yeah. 27 Q. -- of all of those transactions from 28 information that was loaded into your computers at 8091 1 or about the time of the transactions? 2 A. Correct. 3 MR. SNEDDON: All right. I move they be 4 admitted. 5 MR. SANGER: And I would object. 6 MR. SNEDDON: Let me ask one more question. 7 I want to ask one more question, and this may take 8 care of it. 9 Q. With regard to the Client Summary form - 10 okay? - and the information that's on that form - 11 okay? - does that information -- from that 12 information, are you able, in the due course of your 13 business, to be able to provide invoices to clients 14 to be paid that may be different than the original 15 invoices that were sent out? 16 A. Yes. 17 MR. SNEDDON: All right. Now I move they -- 18 THE WITNESS: But not in that form. 19 Q. BY MR. SNEDDON: I understand that. But 20 that's what the information is used for, correct, 21 the information that's in your computer? 22 A. Yes. 23 MR. SANGER: I'm going to object. It's 24 leading; argumentative; statements of counsel. 25 THE COURT: Overruled. 26 Q. BY MR. SNEDDON: I think the point you're 27 trying to make -- and I think you made it, but let's 28 just make sure that the jury understands. What 8092 1 you're -- 2 MR. SANGER: Move to strike comments of 3 counsel, Your Honor. 4 THE COURT: Sustained. 5 Q. BY MR. SNEDDON: The Client Summary form was 6 a form that was produced specifically to respond to 7 the search warrant, correct? 8 A. Yes. 9 Q. That form itself is not something that you 10 use ordinarily, correct? 11 A. Yes. 12 Q. All right. But the information on the form 13 is all information that you house at your place of 14 business to conduct business, correct? It was just 15 downloaded into a different format? 16 A. I -- yes. 17 MR. SANGER: Objection. Well -- I was going 18 to object, compound. 19 THE COURT: Sustained. 20 MR. SNEDDON: All right. We'll break it up. 21 Q. Is it information that you maintain at your 22 place of business to conduct business? 23 A. Is what, the -- 24 Q. The information on those forms. 25 A. Yes. 26 Q. Is that input into your computer? 27 A. Yes. 28 Q. All right. And is that information -- 8093 1 A. That's the output. That is the output from 2 input. 3 Q. Well, let's go back. It's a matter of 4 semantics. 5 A. Okay. 6 Q. The information on the form is the output? 7 A. Correct. 8 Q. The information that went into the computer 9 is the input? 10 A. Correct. 11 Q. The information that's input is information 12 that you keep in the normal course of your business? 13 A. Yes. 14 Q. It happened to be output into this format 15 for this trial? 16 A. Yes. 17 Q. But reflects information that you keep? 18 A. Yes. 19 MR. SNEDDON: All right. Now I move that 20 they be admitted. 21 MR. SANGER: And I object and request either 22 to have an opportunity to voir dire or ask the Court 23 to reserve ruling until cross. 24 THE COURT: Well, I think he needs to ask him 25 some questions about this, so I'll let you voir dire 26 now, rather than wait. I don't think that's 27 productive. 28 MR. SANGER: That's fine. That's why I 8094 1 offered. Thank you. 2 3 VOIR DIRE EXAMINATION 4 BY MR. SANGER: 5 Q. Mr. Dietz, how are you doing? 6 A. Good. How are you doing? 7 Q. I'm doing fine, thank you. 8 On 854 and 855, it's my understanding that 9 you had not seen those document before they were 10 shown to you by the District Attorney; is that 11 correct? 12 A. Um, before last evening? 13 Q. Yes. 14 A. I might have looked at them in preparation 15 for coming up here. 16 Q. You're not sure? 17 A. I'm not sure. 18 Q. And those are not documents that you 19 downloaded from your computer; is that correct? 20 A. I don't believe I downloaded them. I 21 believe one of my accounting staff did. 22 Q. Okay. So you're assuming that that was 23 something somebody on your accounting staff did; is 24 that correct? 25 A. I'm pretty certain that it's something that 26 somebody did on my accounting staff. 27 Q. You have not had an opportunity to verify 28 whether or not the billing amounts, the invoice 8095 1 amounts to the particular client, are accurate in 2 each regard on those two exhibits; is that correct, 3 sir? 4 A. Do you mean the invoices to the statement? 5 Q. Yes. In other words -- 6 A. To the Client Summary that's been presented? 7 Q. Let me withdraw it. Your question indicates 8 that my question was not clear. 9 A. All right. 10 Q. On 854 and 855 -- 11 A. Yeah. 12 Q. -- these client billing summaries -- 13 A. Yeah. 14 Q. -- they show invoice amounts to the client, 15 correct? 16 A. Correct. 17 Q. You have not had an opportunity to determine 18 whether or not the invoice amounts shown on those 19 documents are accurate in each case; is that 20 correct? 21 A. Not in each case. 22 Q. And these documents, as far as you knew, 23 were prepared for the purposes of this litigation; 24 is that right? 25 A. Yes. 26 MR. SANGER: I have no further questions on 27 voir dire, and I object. 28 THE COURT: Does that material on the 8096 1 printouts on 854, 855, is that a compilation of the 2 material that's in your computer on this particular 3 account? 4 THE WITNESS: Yes. 5 THE COURT: All right. Your objection is 6 overruled. They're admitted as a compilation. But 7 after that -- 8 MR. SNEDDON: I should have let you ask the 9 questions, Your Honor. We'd be way ahead of the 10 game. 11 THE COURT: Well, I've just got to start 12 this break early. That was so painful. 13 (Laughter.) 14 (Recess taken.) 15 THE COURT: All right. Mr. Sneddon, go 16 ahead. 17 Q. BY MR. SNEDDON: Mr. Dietz, I placed in 18 front of you the document that's in evidence. 19 That's 853, all right? 20 And does that document have or bear an 21 invoice number? 22 A. Yes, it does. 23 Q. What is that invoice number? 24 A. 0143505. 25 Q. And the amount of money that's indicated on 26 that invoice number is what? 27 A. $6,644. 28 Q. For four tickets? 8097 1 A. Correct. 2 MR. SNEDDON: I'm going to place on the 3 Elmo, Your Honor, if I might have it for just a 4 moment, page six of Exhibit 855. 5 No, the other one. Back. Back. There. 6 All right. 7 Q. The information contained on page six of 8 Exhibit 855 has the date in the far left-hand 9 corner; is that correct? 10 A. Correct. 11 Q. And moving down the date to March 1st, 2003, 12 in the second column over, what does the number 13 143505 refer to? 14 A. The invoice number. 15 Q. And with regard -- 16 MR. SANGER: Excuse me. 17 Q. BY MR. SNEDDON: -- to the far right-hand 18 side of the exhibit at the top, it bears the word 19 “fare,” correct, f-a-r-e? 20 A. Yes. 21 Q. And with regard to the flight on Invoice No. 22 143505, you billed $1,661, correct? 23 A. Yes. 24 Q. Is the invoice number and trip reflected on 25 page six of the Exhibit 855 the same trip that's 26 represented by the invoice number on 853? 27 A. You got me there. Where is 855? 28 Q. 853, the one in your hands. 855 is the one 8098 1 on the board. 2 A. Okay. 3 Q. Is that the same trip? 4 A. That is the same trip, but the invoice 5 was -- the ticket was issued the weekend. It was 6 changed over the weekend, or reservations were 7 cancelled. Flights were issued, e-tickets were 8 issued. Three of the passengers did not travel -- 9 Q. So this -- 10 A. -- on this itinerary. 11 Q. Okay. So 855 reflects the fact that only 12 one person traveled on that itinerary that's been 13 marked as 853 that's in your hand, correct? 14 A. Correct. 15 Q. I couldn't hear you. 16 A. Correct. 17 MR. SNEDDON: All right. No further 18 questions. 19 MR. SANGER: Can I have the exhibits, 20 please? 21 MR. SNEDDON: I was going to put them back 22 together again. If you want to have them, here. 23 MR. SANGER: Why don't we keep them out for 24 now, please. 25 MR. SNEDDON: The rest of them are up there. 26 MR. SANGER: May I approach to retrieve the 27 exhibits? 28 THE COURT: Yes. 8099 1 MR. SANGER: I'm just a little concerned, 2 Your Honor. Mr. Sneddon said he was going to put 3 them back together, so I think I will give them to 4 Mr. Sneddon so they get in the right position there. 5 MR. SNEDDON: They're all in order except 6 for the one that was taken away from me. 7 MR. SANGER: All right. There it is. 8 9 CROSS-EXAMINATION 10 BY MR. SANGER: 11 Q. All right. First of all, on -- with regard 12 to these summaries you just saw up on the board, 13 particularly you took a look at one of the pages, I 14 think it was page six, and it showed the amount that 15 was billed, and it showed it was billed for one 16 person to travel, right? 17 A. Yes. 18 Q. Say a word so the court reporter can get it 19 down. 20 A. Sorry. 21 Q. That's okay. 22 You are assuming that that record was 23 accurately placed into the computer database by 24 whoever entered these things; is that correct? 25 A. Correct. 26 Q. All right. And you noted from the other 27 actual tickets that it appeared that three of the 28 tickets, the ones for the Cascios, I believe, were 8100 1 voided? 2 A. Yes. 3 Q. Okay. There was the Cascios and LaPerruque, 4 correct? 5 A. Yes. 6 Q. They were voided. You look at that, and you 7 pretty much figure, well, as far as your company was 8 concerned, the person that traveled on that 9 particular day was Mr. Jackson? 10 A. I would not necessarily assume that. 11 Q. Okay. I was going to ask you how you would 12 come to that conclusion. So you're saying you don't 13 know that? 14 A. Correct. 15 Q. All right. Now, I want to show you -- you 16 have the book in front of you there -- 17 A. Yeah. 18 Q. -- with the exhibits in the 200 series. And 19 I'd ask you to turn to Exhibit 223, and I believe 20 that that is a two-page exhibit; is that correct? 21 A. Yes, it is. 22 MR. SANGER: All right. And, Your Honor, 23 with the Court's permission, I would like to put the 24 copy I was given of those two pages up on the -- on 25 the board, if I may. 26 THE COURT: Okay. 27 MR. SANGER: Or up on the machine. 28 Q. And I'm going to show you the first page of 8101 1 exhibit -- the 223. And that's already been up 2 there before, but I'll ask you to look at that 3 again. And this appears to be an itinerary that was 4 generated somehow, correct? 5 A. Yes. 6 Q. That's not your usual format for itineraries 7 that are generated, is it? 8 A. For itineraries, I believe it is. 9 Q. Okay. All the other itineraries that you 10 have shown for Exhibits 224 through 249 are 11 generated on letterhead, with a different font, in a 12 different format; isn't that correct? 13 A. Yes, they're associated with an invoice. 14 Q. All right. Now, this particular one was not 15 associated with an invoice because it was not 16 sent -- an invoice was not sent for payment on this 17 flight; is that correct? 18 A. I cannot tell from what I see here. 19 Q. All right. Do you know whether or not that 20 flight took place? 21 A. I do not know. 22 Q. All right. And ordinarily when flights are 23 booked through your agency by MJJ Productions, who 24 is it that contacts you to book the flights? 25 A. Evvy. 26 Q. All right. And I'll tell you what. I'm 27 going to ask you to just turn around and look this 28 way, and I'll direct your attention to the board in 8102 1 a second when we put the next one up, but it's hard 2 for everybody to hear you. 3 A. Okay. 4 Q. So Evvy Tavasci is ordinarily the person who 5 would be contacting your agency, correct? 6 A. Yes. 7 Q. All right. And she contacts your agency not 8 just for Mr. Jackson's travel arrangements, but for 9 other employees of MJJ Productions, correct? 10 A. Definitely. 11 Q. Okay. And to your knowledge, if some other 12 employee of MJJ Productions needs to travel for some 13 business-related purpose, they would contact her, 14 and she would in turn contact you; is that correct? 15 A. Yes. 16 Q. When you make a flight arrangement for Evvy 17 Tavasci, or at her -- at her request, do you fax a 18 confirmation? 19 A. I'm not sure. I don't know our daily 20 practices. 21 Q. You're not the person that actually does it? 22 A. Not at all. 23 Q. You just own the place? 24 A. Yes. 25 Q. There you go. All right. Well, let me show 26 you this anyway and see if this is -- this is the 27 second page I'm going to put up of this exhibit, and 28 I'd like you to read the top -- no, I'm kidding. 8103 1 (Laughter.) 2 Q. BY MR. SANGER: I'd like you just to look 3 down at the bottom there. There's a TX Result 4 Report. 5 A. Yes. 6 Q. Is that a fax report? 7 A. Yes, it is. 8 Q. Now, I am going to focus in on that a little 9 bit more here. Give you a fair chance. 10 Do you recognize the telephone or the fax 11 number that that was sent to as being a fax number 12 associated with anybody? 13 A. I do not. 14 Q. Okay. And it appears that this fax -- just 15 go a little wider there. The result on the right is 16 that it did not go through. It's “NG,” correct? 17 A. That's what it looks like to me. 18 Q. And it says, “Redial, all failed,” right? 19 A. That's what it looks like to me. 20 Q. Now, your business has regular 21 communications -- during this period of time, your 22 business had regular communications with Evvy 23 Tavasci, correct? 24 A. Yes. 25 Q. And you had a good fax number for her, 26 correct? 27 A. Yes. 28 Q. Is there any indication in these two 8104 1 documents -- and you can actually look at the 2 documents in front of you, since I just have a copy 3 here. 4 A. Okay. 5 Q. If you look at these two documents that are 6 marked as 223, is there any way to determine the 7 time of day on February 5th that these tickets were 8 requested? 9 A. Requested? 10 Q. Yes. 11 A. No. Prior to 11:31. 12 Q. You know it's prior to 11:31, because that's 13 when the fax first was attempted, the fax that 14 didn't work, correct? 15 A. That's correct. 16 Q. And ordinarily, your people would be pretty 17 prompt if they were setting up a ticket for the same 18 day. And I believe this is a ticket for the same 19 day, right? You can take a look at your -- 20 A. Yes, it looks like that way. Yes, for a 21 flight at two o'clock in the afternoon. 22 Q. The flight was to depart at two o'clock in 23 the afternoon of February the 5th? 24 A. Correct. 25 Q. So if somebody were doing this and faxing it 26 out at 11:51 in the morning, they probably had made 27 the arrangements very shortly before that; is that 28 correct? 8105 1 A. That is correct. 2 Q. All right. Now, the fact that on the top 3 of -- you keep looking at what you're looking at 4 there. 5 A. They didn't necessarily make the reservation 6 at the time they called it in. I mean, on this day. 7 They could have -- they could have made the 8 reservation prior to this date. 9 Q. Okay. 10 A. If that's the question. 11 Q. Well, that's fair enough. 12 You look -- well, you're looking at your 13 copy there. You're on the first page? 14 A. Uh-huh. 15 Q. And at the top -- at the top there, it says, 16 “To MJJ Productions,” and “Attention: Evvy, 17 Personal and Confidential”? 18 A. Uh-huh. 19 Q. Does that mean that Evvy was actually the 20 person that called this in? 21 A. Not necessarily. 22 Q. Somebody could have called it in and then 23 you would be dealing with Evvy Tavasci at MJJ 24 Productions, correct? 25 A. Yes. 26 Q. So, in essence, from the records that you 27 have before you, you do not have any idea who called 28 in this request for tickets? 8106 1 A. Let me clarify. Most of the tickets, to my 2 knowledge, were ordered or confirmed by Evvy. 3 Q. I understand. 4 A. Some of them were called in by other 5 employees of MJJ Productions. 6 Q. Okay. 7 A. But nothing was done without, typically, 8 getting Evvy's authorization. 9 Q. So theoretically, before this flight -- 10 before the tickets would actually issue on this 11 flight, you would need to have Evvy's confirmation, 12 correct? 13 A. Typically, yes. 14 Q. Maybe Narcisse, who also worked there, 15 correct? 16 A. I'm not sure if Narcisse is on the -- she 17 definitely is calling some things in. I'm not sure 18 if she's a part of the approval process. 19 Q. But going back to my question originally, 20 here, you cannot tell who actually called this in. 21 In other words, somebody else -- somebody else 22 entirely different could have called it in? 23 MR. SNEDDON: I'm going to object. Calls 24 for speculation, Your Honor. 25 THE COURT: Overruled. 26 THE WITNESS: I cannot tell who called this 27 in. 28 Q. BY MR. SANGER: All right. And then if you 8107 1 look at the air fare there, that's economy air fare, 2 $1,180.50 per person, right? 3 A. Yes. 4 Q. Does that tend to indicate to you that this 5 was a flight that was scheduled at the last minute? 6 A. I -- I can't speculate on that. I think it 7 was -- I mean, my gut feeling is yes, but -- 8 Q. All right. 9 A. I don't know if it was called in last 10 minute. 11 Q. Okay. I'm going to take that down for a 12 moment. 13 A. You know, it might have been 14 contemporaneously, only because ticket fares are 15 good for only, you know, for a 24-hour period per 16 se. So the fare is only good for -- for a certain 17 time frame, and then it will move on. So -- 18 Q. Now, you testified to some other documents 19 as to who might have been -- I'm sorry, you 20 testified to other documents as to whose names were 21 on particular tickets or potential tickets. You do 22 not actually know who flew on a particular day; is 23 that correct? 24 A. I do not. 25 Q. And, of course, if you -- if somebody booked 26 flights independent of your agency, you would not 27 know about those flights; is that correct? 28 A. That is correct. 8108 1 MR. SANGER: Okay. I have no further 2 questions. And I have the exhibits that were handed 3 to me. I'm just going to leave them here. 4 5 REDIRECT EXAMINATION 6 BY MR. SNEDDON: 7 Q. Mr. Dietz, are you familiar with the 8 regulations that were put in place as a result of 9 9/11? 10 A. Yes. 11 Q. And given the regulations that are in place 12 as a result of 9/11, in your opinion, based upon 13 your experience in the travel industry, that another 14 person cannot travel on a ticket -- that a person 15 cannot travel on a ticket not issued to them without 16 proof of identification? 17 A. That's my understanding. 18 MR. SNEDDON: Nothing further. 19 MR. SANGER: No further questions. 20 THE COURT: Thank you. You may step down. 21 MR. NICOLA: People call Jeff Schwartz, Your 22 Honor. 23 THE COURT: Come forward, please. 24 When you get to the witness stand, please 25 remain standing. 26 BAILIFF CORTEZ: Right here, sir. Stand up 27 there. Face the clerk. 28 THE COURT: Face the clerk and raise your 8109 1 right hand. She's right here. 2 3 JEFFREY SCHWARTZ 4 Having been sworn, testified as follows: 5 6 THE WITNESS: I do. 7 THE CLERK: Please be seated. State and 8 spell your name for the record. 9 THE WITNESS: Jeffrey Schwartz. 10 J-e-f-f-r-e-y, S-c-h-w-a-r-t-z. 11 THE CLERK: Thank you. 12 13 DIRECT EXAMINATION 14 BY MR. NICOLA: 15 Q. Good afternoon, sir. 16 A. Good afternoon. 17 Q. Would you tell the jury, please, who you're 18 employed with? 19 A. My employer is Talk America. 20 Q. And what is Talk America? 21 A. We're a C-lite local and long-distance 22 Internet telephone provider. 23 Q. Are you here to testify today as their 24 custodian of records? 25 A. I am. 26 MR. NICOLA: May I approach the witness, 27 Your Honor? 28 THE COURT: Yes. 8110 1 Q. BY MR. NICOLA: I've placed in front of you 2 Exhibit 458, and I ask you if you recognize that 3 document, and if you do, what is it, please? 4 A. I do. It's subscriber information from a 5 customer of Talk America, Jay Jackson. 6 Q. And does that Exhibit 458 also contain toll 7 records for the period of January, February and 8 March of the year 2003? 9 A. It does. 10 Q. Is the information contained within that 11 exhibit material that is generated within the 12 regular course and scope of the business of Talk 13 America? 14 A. It is. 15 Q. Okay. And is the material that is in there, 16 the information that is in that exhibit, collected 17 at or near the time of the individual toll calls? 18 A. Yes, it is. 19 Q. And is it relied upon to conduct the 20 business of Talk America? 21 A. Yes, it is. 22 MR. NICOLA: Your Honor, we would offer 458 23 into evidence at this time. 24 MR. SANGER: I just have a technical 25 question. There's a different 458 that we were 26 provided. Has that been withdrawn or -- 27 MR. NICOLA: That was never identified. 28 MR. SANGER: Never provided to the Court? 8111 1 MR. NICOLA: No. 2 MR. SANGER: Oh, okay. I'm just now 3 informed by counsel that what was provided to us was 4 not provided to the Court or marked. So.... 5 MR. NICOLA: We used a different exhibit 6 number for this. 7 MR. SANGER: So based on that, I have no 8 objection. 9 THE COURT: It's admitted. 10 MR. NICOLA: Thank you, Your Honor. 11 May I please have “Input No. 4,” Your Honor? 12 Q. Mr. Schwartz, I would just like to go to the 13 first page of the toll records of that exhibit. I'm 14 going to project a few items up onto the screen, and 15 if you could please explain them to the jury once 16 they're up there, okay? 17 A. Okay. 18 Q. Let's begin with the headings in the columns 19 entitled A, B, C, D, et cetera. And I'm just going 20 to point with the laser. If you can speak next to 21 that second mike, please, it would be more 22 convenient for you, and everyone will be able to 23 hear you. 24 Could you tell the jury what's in this 25 section, the first line, Section A, please? 26 A. That's a number where the call would 27 originate from. 28 Q. Is that the number that corresponds to the 8112 1 subscriber? 2 A. Yes, it does. 3 Q. The customer? 4 A. Yes, that's correct. 5 Q. Okay. And is that a mobile phone number or 6 is that a landline? 7 A. That's a landline. 8 Q. Do you provide local service for that, or 9 did you during the time period in question? 10 A. We did not. 11 Q. Okay. What kind of service did you provide 12 to that particular landline? 13 A. We provided LD service only. 14 Q. And LD, for those of us who don't know? 15 A. Long distance. 16 Q. Long-distance service. 17 What's in Column B? 18 A. Column B is where the call would have 19 terminated. 20 Q. What does that mean? 21 A. That means where the receiver would have 22 been picked up on the other end. 23 Q. The number that was dialed by the person at 24 the 9279 number? 25 A. That's correct. 26 Q. Okay. Column C, is that the date of the 27 call? 28 A. The date and the time. 8113 1 Q. Do you know whether the time stamp is based 2 on a particular time zone? 3 A. It is on the time zone where the call 4 originated from. 5 Q. So if the phone number is registered in Los 6 Angeles, it's going to be in Pacific Coast time, 7 correct? 8 A. Correct. 9 Q. The next column seems to indicate a place. 10 A. That is the origination column date. 11 Q. Okay. 12 A. That is the origination which corresponds to 13 the Column A. 14 Q. Column E appears to be the state, obviously, 15 correct? 16 A. Correct. 17 Q. Correct? 18 A. Correct, I'm sorry. 19 Q. And of course there's Column H and Column I. 20 What is Column H, please? 21 A. Column H is actually the duration of the 22 call, from the time the call is received until the 23 call was terminated. 24 Q. So that's the actual time that the call 25 lasted? 26 A. Correct. 27 Q. And what is this over here, Column I? 28 A. That would be the time that the call was 8114 1 billed for. 2 Q. Okay. For example, in this column, H, on 3 the second line, a 34-second call results in one 4 minute worth of billing? 5 A. Correct. That is correct. Common practice 6 in the telecommunications industry. 7 Q. We've heard that, yes. 8 I'd like to direct your attention, please, 9 to the middle of this chart, if I may. 10 Beginning with the entry on line 25 -- 11 A. Okay. 12 Q. -- this would be the calling number, Mr. 13 Jackson, correct? 14 A. That would be the origination of the call 15 for Mr. Jackson, correct. 16 Q. And this number here, (201) 213-0763, is the 17 number that was placed -- or dialed by whoever was 18 using this phone? 19 A. Placed and terminated at that number, 20 correct. 21 Q. Okay. And does this call on Item No. 24 -- 22 excuse me, Item No. 25 indicate the call was a 23 completed call? 24 A. Yes. 25 Q. How can you tell that? 26 A. By the duration of the call. 27 Q. Over here, the 6:32? 28 A. That's correct. 8115 1 Q. Which on the bill appears to be what, seven 2 minutes? 3 A. What line are we looking at? 25? 4 Q. Yes, right where the pointer is. 5 A. That's correct. Well, six minutes and 32 6 seconds. Billed for seven minutes. 7 Q. Okay. And that's how Cingular bought AT&T. 8 Okay. Here we go. Line No. 27, same 9 number, to Morristown, New Jersey? 10 A. Correct. 11 Q. And that call lasted 15 seconds, correct? 12 A. Correct. 13 Q. Now, is that a completed call, if it lasts 14 15.3 seconds? 15 A. Yes. Any call -- I'm sorry. 16 Q. Explain that, please. 17 A. Well, any call that is entered into the 18 record, if the call was not answered, if there was 19 not an answer on the telephone, there wouldn't be a 20 record for the call because the call would not have 21 terminated. But once the call is received and 22 answered, regardless of one second or 20 seconds, or 23 as far as ten minutes, there would be a record of 24 the call. 25 Q. Okay. So does that mean that this call was 26 either answered on the other end or it got forwarded 27 to voice mail or something like that? 28 A. Any one of those possibilities is possible, 8116 1 correct. 2 Q. Okay. And this 15 seconds also costs a 3 minute, right? 4 A. That is correct also. 5 Q. Going down the list to Item No. 28 on the 6 left, same number was dialed to Morristown, New 7 Jersey, at 11:53? 8 A. That's correct. 9 Q. Is this military time? 10 A. Yes. 11 Q. So the next call down here at 1320 hours, 12 that's actually 1:20 p.m., correct? 13 A. That's also correct. 14 Q. And the 1:20 p.m. call lasted one minute and 15 eight seconds? 16 A. And billed for two minutes, if that's what 17 you're asking, yes. Yes, it did. 18 Q. This is my favorite one right here. 19 The next call appears to be the same number, 20 is that correct, on line 30? 21 A. Yes. That's correct. 22 Q. And that call was placed at 1324, 1:24 in 23 the afternoon, correct? 24 A. Yes, that's correct. 25 Q. To Morristown, New Jersey, for a period of 26 2.4 seconds? 27 A. That's correct. 28 Q. Immediately thereafter, at 1334 hours, that 8117 1 number was called again, correct? 2 A. That's correct. 3 Q. And that call lasted 3.1 seconds? 4 A. That's also correct. 5 Q. And in total, that was two minutes, in 6 telephone company time, right? 7 A. That's also correct, yes. 8 Q. You can tell I enjoy this, huh? 9 The remainder of these calls, at 1539 hours, 10 Item 32, Item 33 at 1407 hours, Item 34 at 2036 11 hours, Item 35 at 2043, and Item 36 at 2048, were 12 all to the same phone number in Morristown, New 13 Jersey, right? 14 A. That is correct. 15 Q. And they were all completed calls? 16 A. That is correct also. 17 Q. Now, I believe I misspoke and called 1359 18 1539. So Item 32 is actually a call placed at 1359 19 or nearly two o'clock in the afternoon, right? 20 A. That's correct. 21 Q. Okay. Now, beginning with Item 36 -- 37, 22 excuse me, on February 16th, 2003, at 4:07 in the 23 afternoon, was a call placed to a phone number in 24 Wyckoff, New Jersey? 25 A. That's correct. 26 Q. And what does your record reflect that phone 27 number to be? 28 A. (201) 847-7576. 8118 1 Q. Now, you have no way of knowing whether the 2 receiving phone call -- excuse me, the number dialed 3 is a cellular phone or a landline, correct? 4 A. You could gather the information. I do not 5 know. You could gather the information if you had 6 to gather it. You could do that. 7 Q. By some kind of a cell site? 8 A. Or a customer service record. You could 9 request what we call a “CSR,” which would be a 10 Customer Service Record, for the receiving call. 11 Q. How long are those records kept? 12 A. I believe a record should be kept for eight 13 years, is what a telephone record is required to be 14 kept, so -- 15 Q. Okay. Would the subscriber information on 16 this end of the phone call also tell you whether 17 it's a cell phone or a landline? 18 A. Yes, it could. 19 Q. Okay. Now, beginning with Item 37, and 20 continuing down to Item 41, there appear to be 21 four -- four calls in a row between four o'clock in 22 the afternoon and approximately 10:23 the following 23 day, February 17th, to the same number in Wyckoff, 24 New Jersey; is that correct? 25 A. That's correct. 26 Q. And were those completed calls? 27 A. Yes, they were. 28 Q. Proceeding to Item 42, was a different 8119 1 number called on February 17th of 2003 at 11:24 in 2 the morning? 3 A. Yes. Different between 41 and 42 is what 4 your -- is the question? 5 Q. Yes. 6 A. Yes, different. 7 Q. Is that the same phone number that was 8 called on the 15th to Morristown, New Jersey? 9 A. Yes, it is. 10 Q. Okay. And was that a completed phone call? 11 A. Yes. 12 Q. And how long did that one last? 13 A. Item 42? 14 Q. Yes, please. 15 A. It looks like 17 minutes and 39 seconds, 16 billed for 18 minutes probably. 17 Q. There you go. Okay. 18 And the item right below 42 is 43. 19 A. Right. 20 Q. Could you tell us about that phone call 21 including the location and duration, please? 22 A. It looks like it was 26 minutes and 15 23 seconds to Wyckoff, New Jersey. The (201) 847-7576 24 number. 25 Q. Would you turn the page, please? Okay. I'm 26 trying to get this up there. How about we just do 27 it verbally. 28 Items 45 through 48 -- excuse me, 45 through 8120 1 47, are they all telephone calls placed from the 2 Jackson residence, Jay Jackson residence, to the 3 7576 telephone number in Wyckoff, New Jersey? 4 A. Yes, they are. 5 Q. And were they all completed phone calls? 6 A. Yes, they were. 7 Q. And did they occur between February 18th of 8 2003 and February 19th of 2003? 9 A. Yes, they did. 10 MR. NICOLA: Your Honor, I have no further 11 questions of this witness. 12 13 CROSS-EXAMINATION 14 BY MR. SANGER: 15 Q. Mr. Schwartz, how are you? 16 A. Pretty well. 17 Q. Good. I think you need to kind of list more 18 towards that microphone, if you could. 19 A. This one? 20 Q. Yes, please. 21 The phone records that you just testified to 22 are in the name of Jay Jackson; is that correct? 23 A. Yes, that's correct. 24 Q. And there's a billing address in Los 25 Angeles; is that correct? 26 A. That's correct. 27 Q. Is this a land-based landline phone or is 28 this a mobile phone? 8121 1 A. It's a land-based phone. 2 Q. Is it your understanding this is a residence 3 phone? 4 A. It is. Our company only provides LD service 5 to residence phones. We don't provide any type of 6 cellular service. 7 Q. So this particular phone number -- let me 8 see if I can put one of these up here. 9 Your Honor, with the Court's permission, 10 I'll put up page -- I guess it's really just page 11 one. I'll put up my copy of page one and see if 12 this looks like your copy of page one of Exhibit 13 458. 14 A. That is. 15 Q. All right. So you can look at yours, 16 because it's a little hard to read. 17 A. Okay. 18 Q. But look up here first just so you can see 19 what I'm pointing at. I'm going to point on the 20 screen at a phone number up there. Is that the 21 phone number that is associated with this account? 22 A. Yes, it is. 23 Q. And the account is for Jay Jackson, correct? 24 A. That's correct. 25 Q. Now, I'm going to ask you to tell us what 26 the -- well, let me ask -- 27 Your Honor, I need to ask for the actual 28 phone number. It's up there. Is that all right if 8122 1 I do that? I don't want to -- 2 THE COURT: Yes. It was the other 3 information that we were concerned about, the Social 4 Security numbers, that kind of thing. 5 MR. SANGER: That's fine. Thank you. I 6 just want to make sure. 7 Q. Can you read that phone number from the 8 exhibit? 9 A. From your exhibit or my exhibit? 10 Q. You have the official exhibit. I'm putting 11 up a copy. 12 A. All right. Yes, I can. 13 Q. Please read it. 14 A. (213) 739-9279. 15 Q. All right. Now, your phone company provided 16 service, provided long-distance service to that 17 number; is that correct? 18 A. That's correct. 19 Q. Does that mean anytime that the phone was 20 picked up and a call was made on that telephone 21 number ending in 9279, anytime the phone was picked 22 up and a long-distance call was made, it would be 23 automatically billed to your carrier? 24 A. That's correct. 25 Q. Is there a way to bill it to some other 26 carrier? 27 A. No. 28 Q. All right. So I'm going to put up page two 8123 1 with the Court's permission. And if you can look in 2 the book there so you can actually read it. But 3 I'll also help you to stay closer to the microphone, 4 because we have that microphone issue here. 5 These records start when? 6 A. On page one is what we're talking about? 7 Q. Yeah. I mean the records you just -- 8 A. January 1 of .03. 9 Q. January 1 of .03. And these appear to be 10 the comprehensive records for that period of time; 11 is that correct? 12 A. They are, correct. 13 Q. All right. Now, do you know what carrier 14 this customer, Jay Jackson, had for his regular 15 telephone services? 16 A. It would -- probably -- I don't know 17 specifically. It would probably be Pac-Bell. 18 Q. Pac-Bell. Okay. So if we had seen, for 19 instance, on February 4th a Pac-Bell record showing 20 a call from this number to Reseda, two calls to 21 Reseda on February 4th, they were logged in on the 22 Pac-Bell statement, those calls would not 23 necessarily show up here; is that right? 24 A. I'm not sure I understand your question. 25 Q. Well, let's do it this way. I'll just ask 26 you to look at yours, because I can't read mine from 27 the thing there. 28 If you look at the entries -- 8124 1 I'm going to put that page back up again, 2 Your Honor, if I may. Now that I've seen it, I'll 3 do it this way here. 4 I'll just try to look at the particular 5 entries here. If you look at the entries for -- 6 starting at the top, it starts with 1-1-03, correct? 7 A. Correct. 8 Q. And it goes through the month of January. 9 There is a total of 11 calls through January, 10 correct? Well, no, I'm sorry, there's a total of 11 nine calls. It starts on line 3 and goes to line 12 11, correct? 13 A. Right. 14 Q. And -- 15 A. 1-20-03 would be the last call in January. 16 Q. Okay. And then as far as your carrier is 17 concerned, the next charge you have is on 2-4-03, 18 correct? 19 A. To Newport News, Virginia. 20 Q. That is a call to Newport News, Virginia. 21 A. Talking about line 12, correct? 22 Q. Line 12, correct. 23 A. That's correct. 24 Q. And then on 2-5-03, there's a call to 25 Naples, I suppose. 26 A. I'm sorry. Yeah. Naples, Florida, correct. 27 Q. All right. Now, I'm going to show you 28 Exhibit 451, and I'm going to have to ask the clerk 8125 1 for that, if I may, please. Should be a book. 2 May I inquire of the government to see if 3 they have that book there, by any chance? We're 4 looking for an Exhibit 451, which is the Pac-Bell 5 records. You don't have it there at the counsel 6 table is what I was inquiring. 7 MR. NICOLA: I don't. It was released for 8 us to redact per the Court's instruction. I didn't 9 bring it down with me. 10 THE COURT: She couldn't hear what you said. 11 MR. NICOLA: I'm sorry, Your Honor. I took 12 that per the Court's instructions to redact. I 13 haven't brought it back. 14 THE COURT: Try to blame it on me, will you? 15 (Laughter.) 16 THE COURT: That's the book you have. 17 MR. NICOLA: Yes. It's one of several. 18 MR. SANGER: Okay. May I confer with 19 counsel, see if we can find a way around this? 20 THE COURT: Yes. 21 (Discussion held off the record at counsel 22 table.) 23 MR. SANGER: Your Honor, with the 24 stipulation of counsel, we'll use my copy and the 25 one that was provided to me of 451, Tab 6. It's 26 already been received into evidence. And that's 27 what we'll use in a second, if I may. 28 THE COURT: All right. Good. 8126 1 Q. BY MR. SANGER: Okay. Mr. Schwartz, let me 2 ask you, how long have you worked in the phone 3 business? 4 A. Nine years. 5 Q. And are you familiar with phone billing 6 records in general? 7 A. Yes, I am. 8 Q. And how many companies have you worked for 9 in that period of time? 10 A. Just one. 11 Q. Which one is that? 12 A. Talk America. 13 Q. Has Talk America been in existence all that 14 time? 15 A. Yes, that's correct. 16 Q. Oh, okay. 17 All right. I'm going to show you a phone 18 record that has been admitted into evidence, which 19 is 451, Tab 6, and it's page three of Tab 6. And 20 this was -- I think I can say for your benefit, to 21 orient you, this was provided by a Pac-Bell 22 representative. 23 And I'll put that up if I may, Your Honor. 24 THE COURT: Yes. 25 Q. BY MR. SANGER: Now, this is -- I'll let you 26 take a look at that for a second and see if you can 27 orient yourself and get a feel for that. That is -- 28 A. It looks like a phone bill. 8127 1 Q. There you go. All right. And if you look 2 in the upper left-hand corner, the indication is 3 that this phone bill pertains to this phone number, 4 (213) 739-9279. 5 A. Okay. 6 Q. See that? Is that the phone number that's 7 referred to on your Exhibit 458, the Talk America 8 exhibit that's in front of you? 9 A. It is. 10 Q. I think you have to lean into the 11 microphone. 12 A. Yes, it is. 13 Q. Oh, that one works, too. All right. 14 Okay. And I guess what I was referring to 15 is there are a couple of entries here for February 16 the 4th at 6:11 p.m. and then 6:14 p.m., both 17 four-minute calls to a number apparently in Reseda, 18 an (818) number. 19 And my question to you is, assuming this is 20 the same telephone, why would there be two calls 21 billed to Pacific Bell on that date and another 22 long-distance call to - where did we say? - Newport 23 News billed to Talk America on the same date? 24 A. Why would there be? 25 Q. Yeah. 26 A. So you're asking why a long-distance call 27 would show up on a local phone bill? 28 Q. Yes. 8128 1 A. I'm not familiar with the geography of 2 California, but Reseda may be within the latta, and 3 it may not reflect as a long-distance call. 4 Q. Could you turn around and talk into the mike 5 there, please. You said -- I think everybody heard, 6 but you said “within the latta”? 7 A. Correct. 8 Q. And what is a latta? I'm afraid to ask. 9 A. For lack -- I guess to -- a layman term 10 would be an area code or a geographic area in which 11 the phone call would be billed in, so -- do you want 12 me to explain it or -- 13 Q. Go ahead. 14 A. A latta is the area where the phone call -- 15 you'd be charged different rates when you went 16 across a latta. And once you cross a latta, it 17 would be considered a long-distance call. 18 Q. All right. So your local phone bill might 19 have a call that crosses a latta but does not invoke 20 your carrier's business? 21 A. That's correct. 22 Q. All right. So if I then put 458 back up, 23 and this is page two, the calls that we've just 24 referred to there are not inconsistent with your 25 carrier providing service during that same period of 26 time; is that right? 27 A. No. 28 Q. Okay. Thank you. I just have a couple of 8129 1 more questions here. And let me look at this first. 2 Yes, all right. I'm going to put this up 3 and we'll again try to orient ourselves. Okay. 4 You're welcome to look at the actual exhibit in 5 front of you, but I'm going to refer to Line 17, 18, 6 and 19 from February the 11th, 2003. Do you see 7 those? 8 A. I do. 9 Q. Okay. And your bill would reflect only 10 outgoing calls, I suppose, unless somebody called 11 collect, correct? 12 A. Outgoing only, that's correct. 13 Q. So it appears on February the 11th, 2003, 14 there were three outgoing calls to Santa Barbara; is 15 that correct? 16 A. That's correct. 17 Q. And those three calls were at 2322 hours, 18 which would be 22 minutes after eleven o'clock at 19 night, correct? 20 A. Correct. 21 Q. And the next -- that's to one number. And 22 then the other two calls are to the same number. I 23 didn't say that correctly. The first call is to 24 a -- one number. And the second two calls are to 25 the same number? 26 A. The first one's to 2300, and the second two 27 are 2724. 28 Q. And the second two were placed at 11:23 at 8130 1 night and 11:49 at night, correct? 2 A. Yes. 3 MR. SANGER: Let me have just one more 4 second, if I may, Your Honor, please. 5 All right. I have no further questions. 6 MR. NICOLA: No questions, Your Honor. See 7 you “latta.” 8 THE COURT: Call your next witness. 9 MR. NICOLA: Crystalee Danko. 10 11 CRYSTALEE DANKO 12 Having been sworn, testified as follows: 13 14 THE WITNESS: I do. 15 THE CLERK: Please be seated. State and 16 spell your name for the record. 17 THE WITNESS: Crystalee Danko. 18 C-r-y-s-t-a-l-e-e; Danko, D-a-n-k-o. 19 THE CLERK: Thank you. 20 21 DIRECT EXAMINATION 22 BY MR. NICOLA: 23 Q. Good afternoon, Miss Danko. 24 A. Good afternoon. 25 Q. I've placed in front of you Exhibit 454, 26 correct? 27 A. That's correct. 28 Q. Do you recognize that exhibit? 8131 1 A. Yes, I do. 2 Q. Have you had an opportunity to review it and 3 its contents before you came to court today? 4 A. Yes, I have. 5 Q. Can you tell the jury, please, what exhibit 6 four fifty -- 7 A. Five. 8 Q. -- five is? Excuse me. 9 A. Yes, these are Sprint cell phone records and 10 landline records, including subscriber information 11 and billing information. 12 Q. And are the contents of Exhibit 455 those 13 which are regularly made in the course of your 14 business? 15 A. Yes, they are. 16 Q. Would you open up Exhibit 455 in the index, 17 please? 18 A. Yes. 19 (Off-the-record discussion held at counsel 20 table.) 21 MR. NICOLA: Okay. Just want to make sure 22 we're all on the same page. 23 Q. With respect to Exhibit 455, did you compare 24 the contents of the table of contents with the 25 information contained in the corresponding tabs 26 within the binder? 27 A. Yes, I have. 28 Q. Okay. 8132 1 MR. SANGER: We're not on the same page. 2 We're not on the same page, I'm sorry. There is 3 no -- there's no -- there's no table of contents on 4 this one. 5 MR. NICOLA: You can use mine. 6 MR. SANGER: Okay. Thank you. Let's see 7 what you did here. 8 MR. NICOLA: You ready? 9 MR. SANGER: Excuse me just one second. 10 Q. BY MR. NICOLA: I'm sorry. 11 A. That's okay. 12 Q. With respect to the information contained in 13 Tab No. 1, is that subscriber information for a firm 14 listed in the table of contents? 15 A. Yes, it is. 16 Q. Okay. And are there telephone numbers that 17 your records show connected with that firm? 18 A. Yes. 19 Q. And are they also on the table of contents? 20 A. Yes, they are. 21 Q. Would you read those telephone numbers into 22 the record, please? 23 A. (702) 362-5118; (702) 222-2500; (702) 24 365-6940. 25 Q. If you would turn to Tab 1 of your exhibit, 26 and does the first page of the exhibit list the same 27 name that is under “Subscriber Name” in the table of 28 contents? 8133 1 A. Yes, it does. 2 Q. If you would turn to page two. And what is 3 page two? 4 A. It is listing information, listing address 5 and names for the information on the front page. 6 Q. Do those names correspond to the 222-2500 7 number? 8 A. Yes, they do. 9 Q. And is one of those names a David LeGrand? 10 A. Yes, it is. 11 Q. Would you please turn the page and go to the 12 page marked 3 of 11. Are you there? 13 A. Yes, I am. 14 Q. And on page 3 of 11 of what appears to be a 15 February 21, 2003, phone bill, is there a list of 16 telephone numbers which include the 362-5118 and 17 365-6940 numbers listed in the table of contents? 18 A. Yes. 19 Q. Okay. And do all those telephone numbers 20 belong to the firm of Hale Lane Peek Dennison and 21 Howard? 22 A. Yes, they do. 23 Q. If you would turn to Tab 2, please. Now, 24 does Tab 2 contain the subscriber information for a 25 business entitled, “Geragos & Geragos”? 26 A. Yes, it does. 27 Q. And is there a telephone number on the table 28 of contents which corresponds to the number you have 8134 1 on record for Geragos & Geragos? 2 A. Yes. 3 Q. And what is that number? 4 A. (213) 864-2100. 5 Q. If you would turn to page two, the second 6 page, do you find an additional number for the 7 business “Geragos & Geragos”? 8 A. Yes. 9 Q. And what is that number? 10 A. (213) 625-3900. 11 Q. Turning to Tab No. 3, does Tab No. 3 contain 12 subscriber and billing information for one Vincent 13 Amen? 14 A. Yes, it does. 15 Q. Is there a cellular number associated with 16 Mr. Amen in your subscriber records? 17 A. Yes. 18 Q. And what is that number, please? 19 A. (201) 838-4345. 20 Q. If you would turn, please, to Exhibit 21 No. -- excuse me, Tab 4 in Exhibit 455. Do you have 22 in Tab 4 the subscriber information for one Frederic 23 Marc Schaffel? 24 A. Yes, I do. 25 Q. And do the numbers in the table of contents 26 correspond to the subscriber information in your 27 Sprint records? 28 A. Yes, it does. 8135 1 Q. Is there an additional telephone number in 2 your subscriber information for Mr. Schaffel that is 3 not on the table of contents? If you would look at 4 page one. 5 A. Yes, there is. 6 Q. And what is that number? 7 A. (818) 876-0029. 8 Q. And can you tell if that is a cellular 9 number or a landline? 10 A. I cannot tell by these records. 11 Q. If you would turn briefly to Exhibit No. 5. 12 Does Exhibit 5 contain the subscriber information 13 for a Maria Farshchian? 14 A. Yes, it does. 15 Q. F-a-r-s-h-c-h-i-a-n? 16 A. Yes, it does. 17 Q. Okay. And does the Tab No. 5 also contain 18 the toll records -- excuse me, the billing for the 19 period of January, February and March of 2003? 20 A. Yes, it does. 21 Q. Are the records contained within Exhibit 455 22 records which Sprint regularly relies upon in the 23 normal course and scope of their business? 24 A. Yes, they are. 25 MR. NICOLA: Your Honor, we would offer 455 26 into evidence at this time, please. 27 MR. SANGER: On these, we have the objection 28 of relevance as to, in particular, some of the 8136 1 subscribers. It's the same objection that I made 2 previously, that there's no foundation to show 3 relevance. And I think the Court -- 4 THE COURT: I'll admit them, subject, as I 5 did the others, to the District Attorney tying up 6 the relevance. 7 MR. SANGER: Thank you. 8 MR. NICOLA: Thank you, Your Honor. 9 Your Honor, may I publish? 10 THE COURT: Yes. 11 Q. BY MR. NICOLA: Mrs. Danko? It's Missus? 12 A. Yes. 13 Q. If you would please turn to the billing 14 information for Fred Schaffel and find the page that 15 corresponds to February 7th of 2003, please. 16 A. Okay. 17 Q. Have you found it? 18 A. Yes. 19 Q. Okay. Does the billing for February 7th of 20 2003 begin on page eight of the February 21 bill? 21 A. Yes. 22 Q. Okay. I'd like to talk to you about a code 23 on your bills which is denoted as “CW.” 24 A. Yes. 25 Q. Okay. On line -- excuse me. On Line No. 26 194, there's a “CW” next to the date and time stamp 27 of 10:17 a.m., entitled “Incoming.” Can you explain 28 to us how an incoming call -- what an incoming call 8137 1 on your system means, call waiting? 2 A. Yes. Our subscriber was on the phone. 3 Either he had received an incoming call or he had 4 made an outgoing call. Either way, he was on a 5 phone call. And during that phone call, he received 6 another call. And when he received that second 7 call, he answered it. And that's what indicates 8 here, an incoming call. And a “CW” over there is 9 what indicates the call waiting was used. 10 Q. Okay. Now, after he received, he or she -- 11 A. Or she. 12 Q. After the call came in at 10:17 a.m., can 13 you tell whether or not your subscriber stayed on 14 the phone with the call immediately preceding? 15 A. For one minute or less. 16 Q. Okay. How can you tell that? 17 A. Our corporation bills in one-minute 18 increments, and one minute is listed here next to 19 the call waiting indicator. 20 Q. So this could have actually been a 21 2.4-second call? 22 A. Yes. 23 Q. My question, however, is, if the caller was 24 on the phone to this number at 10:16 a.m., and it 25 lasted for six minutes, did this call actually 26 interrupt this call? 27 A. Yes, it does. 28 Q. Okay. So the Entry 193, did that continue 8138 1 after the entry on 194? 2 A. Yes, it did. 3 Q. If you could please turn to page nine, and 4 I'd like you to begin at line 215. I'll project 5 that. 6 There appears to be the same call -- excuse 7 me, the same code here a number of times. “CW” and 8 “CW”? 9 A. That's correct. 10 Q. There's also this code right here, what does 11 that mean, the “3W”? 12 A. The “3W” indicates that a three-way call was 13 initiated. 14 Q. And how does that work on your system? 15 A. You would need to be on the phone call in 16 the first place, just like the call waiting 17 situation. In this situation, if you look at 2-7 at 18 3:13 p.m., there was an outgoing call. Our 19 subscriber had made an outgoing call and was on the 20 phone for approximately 14 minutes. During that 21 time frame, at 3:22, our subscriber called out and 22 conferenced in another number. 23 Q. Let me stop you for a minute. Where are 24 you? Which line item? 25 A. I'm on line 230. 26 Q. Would you look at line -- 27 A. Sorry. 28 Q. -- 218? 8139 1 A. That's kind of hard for you to see. How 2 about line 217? 3 Q. Okay. Explain how that came about. 4 A. Our customer had received a call, an 5 incoming call, at 3 -- at 1:13 p.m., and that lasted 6 for seven minutes. During that call, they made a 7 call out, three-waying into the (702) 222-2520 8 number. 9 Q. Okay. Would you expect, in a three-way 10 call, that when the user of Mr. Schaffel's phone 11 dialed the 222-2520 number, that would show as an 12 incoming call on their system, if they record such 13 things? 14 A. The receiver? 15 Q. Yes. 16 A. Yes. 17 MR. NICOLA: Okay. I think I have no 18 further questions. Thank you. 19 THE COURT: Counsel? 20 MR. SANGER: No questions, Your Honor. 21 THE COURT: Good. 22 You may step down. 23 THE WITNESS: Thank you. 24 THE COURT: Next witness. 25 MR. NICOLA: Our next witness is Ms. 26 Jennifer Simmons. 27 // 28 // 8140 1 JENNIFER SIMMONS 2 Having been sworn, testified as follows: 3 4 THE WITNESS: I do. 5 THE CLERK: Please be seated. State and 6 spell your name for the record. 7 THE WITNESS: Jennifer Simmons. 8 J-e-n-n-i-f-e-r, S-i-m-m-o-n-s. 9 THE CLERK: Thank you. 10 11 DIRECT EXAMINATION 12 BY MR. NICOLA: 13 Q. Good afternoon, Miss Simmons. I'd like to 14 hand you Exhibit No. 450, and ask if you recognize 15 that, please. 16 A. Yes. 17 Q. What is it? 18 A. It's records of Nextel statements from 19 Tavasci, Evvy; MJJ Productions. 20 Q. These are records of Nextel Phone Company? 21 A. Correct. 22 Q. Do you work for them? 23 A. Yes, I do. 24 Q. For how long? 25 A. Six years. 26 Q. And are you here today as their custodian of 27 records? 28 A. Yes. 8141 1 Q. He's going to adjust your microphone. 2 A. Oh. 3 Q. Are you familiar with the contents of 4 Exhibit 450? 5 A. Yes. 6 Q. And is there a three-page table of contents? 7 A. Yes. 8 Q. Have you gone through the subscriber 9 information, the corresponding telephone numbers 10 that are listed out in that table of contents? 11 A. Yes. 12 Q. And have you confirmed the accuracy of the 13 entries on the table of contents? 14 A. Yes. 15 Q. With respect to Tab No. 1, does that contain 16 account statements for the telephone numbers (310) 17 901-7487 and (818) 402-7087 for the billing period 18 of February of 2003? 19 A. Could you repeat the second number? The 20 first one was correct. 21 Q. (818) -- 22 A. Uh-huh. 23 Q. -- 402-7087? 24 A. Yes. 25 Q. Okay. I have the same question about those 26 two phone numbers in Tab No. 2, and I ask if the 27 contents of Tab No. 2 are the billing statements for 28 the month of March for those two numbers? 8142 1 A. Yes. 2 Q. And the same question with respect to those 3 telephone numbers and the April billing statement. 4 Are those contained within Tab No. 3? 5 A. Yes. 6 Q. Is the bill address under Tab No. 1, 2 7 and 3 - you can look at Tab 1 first - Evelyn 8 Tavasci -- 9 A. Yes. 10 Q. -- MJJ Productions, P.O. Box 6034, Sherman 11 Oaks, California? 12 A. Yes. 13 Q. Is that the same on exhibits -- excuse me, 14 the bills on Tabs 1, 2 and 3? 15 A. Yes, they are. 16 Q. With respect to Tab No. 4, can you describe 17 what is in that exhibit, please? 18 A. This is a subscriber history, a description 19 of each unit. It will show the unit's phone number; 20 the user name of that unit that's listed in our 21 bill; the radio I.D.; an IMSI I.D., which is for our 22 network to identify each unit for billing purposes; 23 a serial number, which is a SIM identification, 24 which tells what piece of equipment it is, as well 25 as the effective date of the activation, and if 26 there was an expiration, meaning a cancellation of 27 that unit, if it cancelled. 28 It also includes the account number for the 8143 1 bill, the billing name, and the billing address. 2 Q. Are there a number of phones -- excuse me, 3 phone numbers registered to an Evelyn Tavasci -- 4 A. Yes. 5 Q. -- that are listed in the table of contents 6 under Tab No. 4? 7 A. Yes. 8 Q. Did you confirm that each one of those 9 telephone numbers corresponds to the information in 10 Tab No. 4? 11 A. Yes. 12 Q. And with respect to the billing information, 13 do all the bills appear to go to the address at P.O. 14 Box 6034 -- 15 A. Yes, they do. 16 Q. -- Sherman Oaks, California? 17 Are some entitled, “Ms. Evelyn Tavasci, 18 Attention: MJJ Productions”? 19 A. Yes. 20 Q. And some are not, correct? 21 A. Correct. 22 Q. But they're all going to the P.O. Box at 23 6034? 24 A. Yes. 25 Q. I'd like you to turn, please, to Tab No. 5. 26 A. Actually, there is no Tab No. 5 in this one. 27 Q. Oh, I'm sorry. 28 A. That's all right. 8144 1 Q. It's actually Tab No. 7. Does Tab No. 7 2 contain four additional phones registered to an 3 Evelyn Tavasci? 4 A. Yes. 5 Q. And are those phone numbers accurately 6 printed on the table of contents on Exhibit 450? 7 A. Yes. 8 Q. Are the billing statements attached for the 9 February billing cycle of the year 2003? 10 A. Yes. 11 Q. Okay. With respect to the final two tabs, 12 No. 8 and No. 9, are the numbers listed in the table 13 of contents and registered to an Evelyn Tavasci 14 contained within the Tabs 8 and 9 for the months of 15 March and April of 2003? 16 A. For 8 and 9, yes. 17 Q. And you confirmed both of those -- 18 A. Yes. 19 Q. -- sections before you came to court? 20 A. Uh-huh. 21 Q. Now, with respect to the contents of 22 Exhibit 450, are these all records which record the 23 information contained at or near the time of each of 24 the events recorded? 25 A. Yes. Yes. 26 Q. Nextel is just a wireless company, correct? 27 A. Correct. 28 Q. And none of these telephones are landlines? 8145 1 A. Right, they are all wireless. 2 Q. Okay. And does Nextel rely on the 3 information contained within Exhibit 450 in the 4 regular course of their business? 5 A. Yes, they do. 6 MR. NICOLA: We would offer Exhibit 450 into 7 evidence. 8 MR. SANGER: I have the same objection. 9 THE COURT: All right. They're admitted, 10 subject to connection later. 11 MR. NICOLA: Thank you, Your Honor. I have 12 no further questions. 13 MR. SANGER: I have no questions, Your 14 Honor. 15 THE COURT: Thank you. 16 Call your next witness. 17 MR. NICOLA: It's going to be Joe Corral. 18 19 JOE J. CORRAL, JR. 20 Having been sworn, testified as follows: 21 22 THE WITNESS: I do. 23 THE CLERK: Please be seated. State and 24 spell your name for the record. 25 THE WITNESS: Joe J. Corral, Jr., 26 C-o-r-r-a-l. 27 THE CLERK: Thank you. 28 // 8146 1 DIRECT EXAMINATION 2 BY MR. NICOLA: 3 Q. Good afternoon, Mr. Corral. 4 A. Afternoon. 5 Q. I'd like to show you Exhibit 457 and Exhibit 6 459, please. Do you recognize Exhibit 457? 7 A. Yes, I do. 8 Q. And what is it, please? 9 A. It's telephone records that were subpoenaed 10 from Verizon. 11 Q. Do you work for Verizon? 12 A. Yes, I do. 13 Q. For how long? 14 A. Approximately 27 years. 15 Q. And are you here to testify as Verizon's 16 custodian of records with respect to the California 17 and I think it's New York records? 18 A. Yes, I am. 19 Q. And are the New York records kept in 20 Exhibit 459? 21 A. Yes, they are. 22 Q. Okay. With respect to Exhibit 457, is there 23 a table of contents with a number of entries 24 corresponding to tabs in the exhibit? 25 A. Yes, there is. 26 MR. NICOLA: Would you give us just a 27 moment. 28 MR. SANGER: Just one second, Your Honor, 8147 1 please. 2 THE COURT: Why don't we take our break now. 3 (Recess taken.) 4 THE COURT: Go ahead, Counsel. 5 MR. NICOLA: Thank you, Your Honor. 6 Q. Mr. Corral, we just started talking about 7 the two exhibits in front of you. Why don't we 8 start with the New York exhibit. Is that Exhibit 9 459? 10 A. Yes. 11 Q. And contained within that exhibit, is there 12 subscriber information and toll records for 13 Franchesco Cascio? 14 A. Yes. 15 Q. Does he have a billing address in New 16 Jersey? 17 A. Yes. 18 Q. Are the records contained in Exhibit 459 19 those kept within the normal course and scope of the 20 business of Verizon? 21 A. Yes, they are. 22 Q. And is the information contained within that 23 exhibit gathered at or near the time of the event? 24 A. Yes, they are. 25 Q. And does Verizon rely upon those records to 26 conduct their business? 27 A. Yes, we do. 28 MR. NICOLA: Your Honor, we would move 459 8148 1 into evidence at this time. 2 MR. SANGER: Same objection. I take it same 3 ruling. 4 THE COURT: Same ruling, yeah. I'll allow it 5 with the proviso that it's connected up later. 6 Q. BY MR. NICOLA: If you would please turn to 7 Exhibit 457. Are those the records for Verizon 8 California? 9 A. Yes, they are. 10 Q. And with respect to the ten numbers listed 11 in the table of contents, are those landlines? 12 A. Yes, they are. 13 Q. I didn't ask you, but is it a landline in 14 Exhibit 459 as well? 15 A. Yes, it is. 16 Q. Okay. And listed within Exhibit 457, is 17 there a table of contents that lists five sections 18 where the subscriber is the Neverland Ranch? 19 A. Yes. 20 Q. Have you examined the exhibit and all of its 21 contents prior to your testimony today? 22 A. Yes, I have. 23 Q. And are the numbers listed for Neverland 24 Ranch which are listed on the table of contents - 25 those telephone numbers appear on your records 26 contained within Tabs 1, 2, 3, 4 and 6 - do those 27 numbers correspond to the information contained 28 within those tabs? 8149 1 A. Yes, they do. 2 Q. Do your records show that the numbers listed 3 for Neverland Ranch were active during the period of 4 January through April of 2003 -- excuse me, through 5 March of 2003? 6 A. Yes, they do. 7 Q. So those phone lines were active during that 8 period of time? 9 A. Yes. 10 Q. If you would turn your attention, please, to 11 the contents of Tab No. 5. Is that subscriber and 12 billing information for one Rudy Provencio? 13 A. I'm sorry? Could you repeat the question? 14 Q. Are the contents of Tab No. 5 the subscriber 15 and billing information for Rudy Provencio? 16 A. Yes. 17 Q. And is the corresponding telephone number 18 for him (301) 473-5702? 19 A. Yes, it is. 20 Q. Okay. I'm going to show you some records, 21 if you could please turn to page 22. 22 May I publish, Your Honor? 23 THE COURT: They're admitted, are they? Have 24 these been -- 25 MR. NICOLA: Oh, I'm sorry. The rest of the 26 foundation. 27 Q. Are the contents of Exhibit 457 records 28 which are kept within the ordinary course and scope 8150 1 of your business? 2 A. Yes, they are. 3 Q. And are the entries recorded at or near the 4 times of the events recorded? 5 A. Yes. 6 Q. And are they records which Verizon regularly 7 relies upon in the normal course of their business? 8 A. Yes, they do. 9 MR. NICOLA: We'd make our proffer at this 10 time, Your Honor. 11 THE COURT: Are you asking that they be 12 admitted? 13 MR. NICOLA: May we admit 457 in evidence at 14 this time, Your Honor? 15 MR. SANGER: Same objection. 16 THE COURT: All right. Same ruling. It's 17 admitted. 18 Q. BY MR. NICOLA: If you could turn to Tab 4, 19 page 22 at the bottom, if I could direct your 20 attention to this section of the phone bill. And 21 maybe give us a little interpretation of what all 22 this means, this string of numbers and letters and 23 numbers. Start right here where it says, “0204,” if 24 you could. 25 A. Yes, it's a record of billable calls, and in 26 this case, the first call on the very top shows the 27 date, which would be “0204,” or February 4th. The 28 call that was made to would be Canoga Park - that's 8151 1 an abbreviation “CANO” - in California. 2 Q. Okay. 3 A. The time right after that is in military 4 time, which would be 2234, which would convert to 5 10:34 p.m. 6 Q. Okay. 7 A. The numbers after that would be the number 8 that was called, which would be (818) 876-0029. 9 Q. Okay. Is there a header column at the top 10 of this? I'll focus on that so you can see that one 11 more clearly. 12 A. Yes. It basically states calls billed to 13 (310) 473-5702. 14 Q. And that corresponds to the subscriber's 15 phone number, correct? 16 A. Yes, it does. 17 Q. Now, this column up here that says “Date,” 18 “Call,” et cetera, that corresponds with the numbers 19 down this -- these columns here? 20 A. Yes, they do. 21 Q. Okay. So when someone wants to read these 22 records, if they want the phone number dialed, they 23 go to the end of this block and count backwards to 24 get to the area code, correct? 25 A. Yes. Or, on the very top, where it says, 26 “MPA,” which basically is the area code, that's 27 where you can start, and in this case it's (818). 28 MR. NICOLA: Okay. Your Honor, I have no 8152 1 further questions. 2 THE COURT: Cross-examine? 3 MR. SANGER: Your Honor, I have no 4 questions. 5 THE COURT: Thank you. 6 Call your next witness. 7 MR. NICOLA: We have no other witnesses, 8 Judge. 9 THE COURT: Those are all the witnesses for 10 today? 11 MR. NICOLA: It is. 12 THE COURT: (To Mr. Sanger) Do you want to 13 go back and cross-examine? We've got some extra 14 time. 15 (Laughter.) 16 THE COURT: (To the jury) I'll see you 17 tomorrow morning at 8:30. 18 Counsel approach for just a moment. I want 19 to talk to you about our schedule for a moment. 20 (To the jury) You can go ahead. 21 22 (Discussion held off the record at sidebar.) 23 24 (The following proceedings were held in 25 open court outside the presence and hearing of the 26 jury:) 27 28 THE COURT: All right. Let me just put this 8153 1 on the record. We're going on the record. 2 The Court was just inquiring of counsel 3 about the schedule tomorrow, and there's anticipated 4 to be three witnesses tomorrow. Some will be 5 outside the presence of the jury and some will be in 6 the presence of the jury. 7 Do you think it will be a full day tomorrow? 8 Or what's your anticipation? 9 MR. SNEDDON: I anticipate it will not be, 10 Your Honor. But from there on, it will be. 11 THE COURT: They can't hear you back there. 12 Go ahead. 13 MR. SNEDDON: And I anticipate it will not 14 be a full day tomorrow. I anticipate on Monday and 15 Tuesday we will complete our case, and we will go 16 all the way through without a break until we finish. 17 THE COURT: And then you now anticipate we'll 18 complete the People's case Tuesday? 19 MR. SNEDDON: I believe, depending on 20 cross-examination, but we will not have any more 21 breaks. We will have all our ducks in order for 22 those two days. 23 THE COURT: Then the Court was addressing 24 with counsel Exhibits 809-A and 810-A, which are the 25 transcripts for -- 809-A is the transcript for the 26 CD tape of the phone conversation between Janet 27 Arvizo Jackson and Frank. And 810-A is the 28 transcript of the tape, CD, made during the Los 8154 1 Angeles Protective Services interview. 2 And they were previously accepted into 3 evidence, and the Court's pulling them from evidence 4 and having them lodged as transcripts, which is the 5 proper procedure when you file a transcript with the 6 Court. Unless the parties stipulate the transcript 7 may go to the jury, the transcript doesn't go to the 8 jury. So we're just correcting that. 9 The other transcripts all were lodged 10 properly, and those were the only two that we found 11 that were taken into evidence. 12 MR. SNEDDON: That's fine with us, Your 13 Honor. 14 THE COURT: Is there anything else to take 15 up before we recess for the day? 16 MR. SNEDDON: No, sir. 17 MR. MESEREAU: No, Your Honor. 18 THE COURT: All right. Court's in recess. 19 (The proceedings adjourned at 1:49 p.m.) 20 --o0o-- 21 22 23 24 25 26 27 28 8155 1 REPORTER'S CERTIFICATE 2 3 4 THE PEOPLE OF THE STATE OF ) 5 CALIFORNIA, ) 6 Plaintiff, ) 7 -vs- ) No. 1133603 8 MICHAEL JOE JACKSON, ) 9 Defendant. ) 10 11 12 I, MICHELE MATTSON McNEIL, RPR, CRR, CSR 13 #3304, Official Court Reporter, do hereby certify: 14 That the foregoing pages 8033 through 8155 15 contain a true and correct transcript of the 16 proceedings had in the within and above-entitled 17 matter as by me taken down in shorthand writing at 18 said proceedings on April 28, 2005, and thereafter 19 reduced to typewriting by computer-aided 20 transcription under my direction. 21 DATED: Santa Maria, California, 22 April 28, 2005. 23 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 OFFICIAL COURT REPORTER 8156